億東金融科技有限公司

Anti-Money Laundering and Sanctions Updates

(March 2026)

aml sanctions updates

In early March 2026, the Insurance Authority (“IA”) issued several key circulars and updates on anti-money laundering (“AML”) and counter-financing of terrorism (“CFT”) matters, accessible via the dedicated IA page for 2026 AML circulars. These updates primarily relate to international sanctions regimes, United Nations measures, and Financial Action Task Force (“FATF”) guidance, requiring prompt attention from authorized insurers and licensed insurance intermediaries (especially those handling long-term business).

 

Effective Date

Circulars /Sanction List Updates

Contents

3 March 2026

Circular on United Nations (Anti-Terrorism Measures) Ordinance

[G.N. (E.) 11 of 2026]

Significant Updates:

The updated Schedule specifies the following individuals (no entities or groups are added in this update):

 

 

These designations trigger asset freezing, prohibitions on making funds or financial services available, and other restrictions under the Ordinance.

3 March 2026

Circular on Statements issued by the Financial Action Task Force (“FATF“)

Informs insurance institutions (“IIs”) of the FATF Plenary outcomes (11–13 February 2026), including:

 

  • High-Risk Jurisdictions subject to a Call for Action: DPRK (Democratic People’s Republic of Korea) and Iran remain listed due to ongoing strategic deficiencies and proliferation/terrorism financing risks; countermeasures and enhanced vigilance required. Myanmar continues under enhanced due diligence with potential future countermeasures if no progress by June 2026.
  • Jurisdictions under Increased Monitoring: IIs must factor these into risk assessments and monitor the FATF website for changes. Where the Virgin Islands (UK) (BVI) still remain in the list.
  • Emerging focus areas: Cyber-enabled fraud, virtual assets, offshore VASPs, stablecoins, and unhosted wallets (with related FATF reports expected in March 2026).

2 March 2026

United Nations Sanctions (Sudan) Regulation 2013

[G.N. (E.) 10 of 2026]

Significant Updates:

United Nations Sanctions (Sudan) Regulation 2013 (Cap. 537 sub. leg. BF), notice updates the list of relevant persons specified under section 31 of the Regulation.

 

It reflects amendments or additions to designations related to Sudan sanctions (imposed by UN Security Council resolutions concerning the situation in Sudan, including arms embargoes, asset freezes, and travel bans on certain individuals or entities linked to conflict or violations).

2 March 2026

Updated list of relevant persons and entities under the United Nations Sanctions (ISIL and Al-Qaida) Regulation

Features the latest consolidated list (as at 27 February 2026) of designated individuals and entities linked to ISIL (Da’esh) and Al-Qaida;

 

Insurers and intermediaries must screen clients and transactions against this list to avoid sanctions violations.

SIGNIFICANCE:

These updates reinforce Hong Kong’s alignment with global standards set by the FATF and UN, helping to safeguard the insurance sector against money laundering, terrorism financing, and proliferation risks.

 

Insurance companies, agents, and brokers need to be aware of immediately updating their name screening databases to include the latest UN Security Council Consolidated List, FATF High-Risk Jurisdictions subject to a Call for Action, and FATF Jurisdictions under Increased Monitoring, while conducting enhanced due diligence on high-risk elements, incorporating emerging risks into assessments, and ensuring staff training for ongoing compliance.

 

Timely compliance is essential to avoid regulatory breaches, reputational damage, or enforcement actions by the IA. With increasing scrutiny on virtual assets and cyber fraud, these notices underscore the need for robust screening, risk assessment, and staff training to maintain policyholder protection and industry integrity in an evolving threat landscape.

 

For more information, please visit –  eDon AML Transaction Monitoring System.