FATF Public Statements – 21st February 2025
Financial Intelligence Analysis Unit (FIAU) Malta
Malta's Financial Intelligence Unit and AML/CFT compliance supervisor.
The FIAU would like to bring to your attention the latest FATF 'High-Risk Jurisdictions subject to a Call for Action' and 'Jurisdictions under Increased Monitoring' documents issued by the FATF on the 21st of February 2025. A copy of these documents has been uploaded on the FIAU’s website under ‘Country Statements’.?
The FATF classifies the jurisdictions included in these documents into different categories, according to the deficiencies present in the listed jurisdictions, and the level of commitment and progress made in addressing such deficiencies.?
The categories are the following:
This document also lists jurisdictions that are no longer subject to the FATF on-going global AML/CFT compliance process, where applicable.
Subject persons are required to implement the measures set out under Regulation 11 of the Prevention of Money Laundering and Funding of Terrorism Regulation S.L. 373.01 (PMLFTR), and under Chapter 8 of the FIAU Implementing Procedures Part I, which is legally binding upon all subject persons in terms of Regulation 17 of the PMLFTR.?
High-Risk Jurisdictions subject to a Call for Action?
Iran and the Democratic People’s Republic of Korea (DPRK) remain in the list of high-risk jurisdictions subject to a call for action. The FATF reiterated its concerns over the DPRK’s continued failure to address the significant deficiencies in its AML/CFT regime and the serious threats posed by the DPRK’s illicit activities related to the proliferation of weapons of mass destruction and its financing. In particular, the FATF notes that DPRK has increased connectivity with the international financial system, which raises proliferation financing risks. Therefore, the FATF calls for greater vigilance and renewed implementation and enforcement of countermeasures against the DPRK.?
Since February 2020, Iran reported in January, August and December 2024 with no material changes in the status of its action plan.?The FATF’s call to apply countermeasures?on these high-risk jurisdictions remains in effect.
In October 2022, the FATF added Myanmar to the list of jurisdictions subject to a call for action until its full action plan is completed. If no further progress is made by June 2025, the FATF will consider countermeasures.
Subject persons should refer to Regulation 11(11) of the PMLFTR and apply the enhanced due diligence measures therein to the above-mentioned jurisdictions.
Jurisdictions under Increased Monitoring?
The following countries had their progress reviewed by the FATF since October 2024: Bulgaria; Burkina Faso, Cameroon, Croatia, Democratic Republic of Congo, Kenya, Mali, Mozambique, Namibia; Nigeria, Philippines, South Africa, South Sudan, Tanzania, Venezuela, and Vietnam.?
Algeria, Angola, C?te d’Ivoire, Haiti, Lebanon, Monaco, Syria and Yemen chose to defer reporting; thus, the statements issued previously for those jurisdictions are applicable, but it may not necessarily reflect the most recent status of the jurisdictions’ AML/CFT regimes.
Following review, the FATF now also identifies Lao PDR and Nepal.?
With regards to the enhanced due diligence measures to be applied to the above-mentioned jurisdictions, subject persons should refer to Regulation 11(10) of the PMLFTR. ?
Jurisdictions no longer subject to Increased Monitoring by the FATF?
Philippines is no longer under increased monitoring by the FATF.
A more detailed summary of the outcomes of the FATF Plenary which took place between 19 - 21 February 2025 can be accessed from the following link.
Membership Issues
The suspension of the Russian Federation's membership remains in effect.
Furthermore, the FATF emphasised that the statements it has published since March 2022 are still valid and must be upheld. The FATF urges all jurisdictions to be vigilant with regards to current and emerging risks of the countermeasures in place being circumvented, to ensure that the international financial system is protected.?
If any further information is required, you may contact the FIAU on [email protected]