🛡️ AML/CTF & Sanctions Policy — Chaiger Ecosystem
Version 1.0 • Effective Date: 2025-08-16
AML/CTF & SANCTIONS POLICY Version: 1.0 • Effective Date: 2025-08-16 • Compliance: contact compliance@chaiger.xyz PURPOSE AND SCOPE Principles against money laundering, terrorist financing, and sanctions compliance (FATF, OFAC, EU, UK-HMT, SECO/CH, and equivalents). Applies to users, partners, and operations related to the ecosystem. RISK-BASED APPROACH Risk classification (user, geography, product — staking, marketplace, affiliates, Phase 1 redemption, Phase 2 conversions), volume, and behavior. Graduated diligence measures. ELIGIBILITY AND RESTRICTED JURISDICTIONS Access prohibited from sanctioned countries/territories and listed individuals. Redemptions (Phase 1) and conversions (Phase 2) may be unavailable in certain jurisdictions. DUE DILIGENCE (CDD/EDD) AND VERIFICATIONS — KYC (Individuals): identity, selfie/liveness, PEP, sanctions, proof of address (where applicable). — KYB (Entities): incorporation docs, UBOs, directors, sanctions/PEP. — EDD: high risk (PEPs, high-risk countries, high volumes, suspicious patterns). — Revalidation based on risk level. MONITORING AND RED FLAGS — Unusual patterns: bursts, mixers, suspicious bridging, high-risk chains/DEXs, wash trading, abuse in Phase 1 redemption (multi-accounts, sybil, artificial farming). — On-chain heuristics (flagged addresses, clustering) and reports from analytics providers. TRAVEL RULE AND VASP QUALIFICATION — Chaiger is non-custodial by design; when applicable to transfers between VASPs or on/off-ramp integrations in Phase 2, we will apply the Travel Rule through compatible providers. — VASP partners must maintain compliance and interoperability. SANCTIONS AND SCREENING — Screening at onboarding (when applicable) and ongoing (OFAC/EU/UK/UN/SECO). — Blocking of programmable benefits, restricted access, and reporting where required. RECORDKEEPING AND RETENTION — Records of KYC/KYB, verifications, and suspicious activity reports retained for the legal period (up to 10 years, depending on jurisdiction). REPORTING AND COOPERATION — Reports to competent authorities when required. — Response to valid judicial/administrative orders. AFFILIATE PROGRAM — KYC required above thresholds; prohibition of marketing in restricted jurisdictions; ban on profit guarantees and promotion of redemptions/conversions as financial gain. TRAINING AND AUDIT — Annual training; periodic review (at least annually) and compliance audits. DISCIPLINARY AND RISK MEASURES — Account termination/suspension due to AML/CTF risk. — Refusal to engage with high-risk partners. COMPLIANCE CONTACT compliance@chaiger.xyz