Terms
Anti-Money Laundering (AML) Policy and Procedures
PAYBLIS SAS
Registered in France
Payblis SAS is committed to preventing the use of its services for money laundering, terrorism financing, and other criminal activities. In compliance with French and EU regulations, including but not limited to the 5th Anti-Money Laundering Directive (EU) 2018/843 and the French Monetary and Financial Code, we implement robust procedures and internal controls to identify and mitigate these risks.
This policy applies to all business relationships, clients, partners, and transactions processed via Payblis SAS. It covers Know-Your-Customer (KYC) procedures, risk-based monitoring, suspicious activity reporting, record keeping, and internal responsibilities.
Payblis SAS applies a risk-based approach to CDD. We verify the identity of all clients, whether individuals or legal entities, before initiating any business relationship.
For individuals: Government-issued ID, proof of address.
For companies:
Company registration certificate
Identity documents of UBOs (25%+ shareholding), directors
Proof of business bank account
Where applicable, online or in-person verification is conducted. If verification fails, the business relationship is refused.
We assess each client and transaction based on several risk factors:
High cash-volume activities
Complex or opaque ownership structures
Jurisdiction of client
Nature and size of transactions
High-risk clients or transactions are either subject to enhanced due diligence or rejected.
Client accounts and transactions are reviewed regularly. Monitoring focuses on:
Unusual transaction patterns
Sudden changes in business activity
Inconsistent information
Payments to or from high-risk jurisdictions
Clients must provide updated KYC documents when required.
If a suspicion of money laundering arises, the MLRO will assess the situation and submit a SAR to the competent French authority (TRACFIN).
The appointed Money Laundering Reporting Officer (MLRO) is:
Jonathan Petit
CEO & MLRO, Payblis SAS
[[email protected]]
The MLRO is responsible for:
Ensuring staff awareness
Reviewing KYC files
Reporting to TRACFIN
Updating this policy as required
All KYC, transaction and compliance documents are retained for 5 years after the end of the business relationship. All records are securely stored and accessible for regulatory inspection.
Due to the current size of Payblis SAS, the MLRO is the sole compliance officer. However, in the event of future recruitment, new employees will be trained on:
AML regulations
Their individual obligations
Internal procedures for escalating suspicious activity
This policy is reviewed annually or upon regulatory changes. Last updated: June 2025.
Approved by:
Jonathan Petit
Founder & CEO – Payblis SAS
Date: 13/06/2025
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