2023-07-12
Added · Updated
Exchange institutions are prohibited from accepting cash to be credited to a customer's account, as this constitutes money remittance rather than an exchange transaction. This service requires a license as a payment institution under the Financial Supervision Act (Wft), as exchange institutions are not authorized to perform payment services. Additionally, money remittances of EUR 2,000 or more must be reported to FIU-NL.
Q&A
Read aloud
Question:
Mogen wisselinstellingen van klanten contant gelden aannemen (aan de balie of via een geldkoerier of sealbag) zodat deze giraal in de gewenste valuta op een rekening van de klant (of een ander) kan worden geplaatst?
Published: 12 July 2023
Answer:
No, this is a payment service (service 6 – money remittance) for which the service provider must be licensed as a payment institution.
Due to the non-cash component this service does not qualify as an exchange transaction but as a payment transaction. Payment service providers and payment institutions, and the services provided by each of them (including money remittance) are differently defined in the Wft, and they are subject to different licence requirements from exchange institutions.
Notes:
Exchange transactions, as defined in Section 1:1 of the Wft, include:
A – A money exchange transaction This is a transaction in which coins or banknotes are exchanged against other coins or banknotes, and the funds are not held in a payment account.
B – The disbursement of coins or banknotes upon presentation of a credit card The service described in the question clearly has a non-cash component. It must be noted that the inherent risks surrounding the identification and verification of the identity of online customers will be much greater than those involving customers who present themselves at the counter.
Due to the non-cash component this service does not qualify as an exchange transaction but as a payment transaction. Payment service providers and payment institutions, and the services provided by each of them (including money remittance) are differently defined in the Wft, and they are subject to different licence requirements from exchange institutions. Although payment institutions (i.e. authorised payment service providers) may under specific circumstances effect exchange transactions, the reverse does not apply: an authorised exchange institution may not perform payment services, such as money remittance.
Therefore, payment service providers and payment institutions are subject to stricter requirements in terms of notifications. For example, money remittances of EUR 2,000 or more (or equivalent) must always be reported to FIU-NL.
Discover related articles
Q&A
Integrity & sanctions
Share:
Share on LinkedIn
Share on X
Share on Facebook
Share via Email
Necessary cookies
To ensure the proper operation of the website, De Nederlandsche Bank (DNB) uses functional cookies and analytics cookies, and has taken measures to ensure that these cookies have little or no impact on the privacy of website users.
Optional cookies
Some pages include embedded content from external websites. These websites may use proprietary (tracking) cookies. This allows third parties to track visitor statistics, show personalised content and display targeted ads, for example.
You can make your choice about allowing these optional cookies both when you first visit the website and when you navigate to a page with embedded content.