Is your personal data processed by FIU-Netherlands and do you have the right to access this?
Do you want to know whether FIU-the Netherlands has personal data about you and whether you can access it?
The answers to these questions can be found in articles of the General Data Protection Regulation, in the associated directives, and in the Police Data Act (Dutch acronym: Wpg) and Decree. But the bottom line is that you are not allowed to access this data with us. How is that?
All unusual transactions reported to us remain in our database for five years, as required by the Money Laundering and Terrorist Financing (Prevention) Act (Dutch acronym: Wwft). To give an impression of the size of this database, in 2022 we received over 1.8 million unusual transactions (UTRs). It is determined by law that the UTR-information we have, i.e. the unusual transactions and the associated personal data, fall under the classification State Secret – Secret, see Article 5 of the Government Information Security Decree – Special Information. Only authorized FIU employees have access to this information. Therefore, if a person asks us for access to his or her personal data, we are not allowed to provide it. After all, the information is state secret.
Unusual transactions are analyzed by FIU-the Netherlands to establish whether there are sufficient grounds to designate them suspicious. These transactions declared suspicious (STRs) may then be shared with the relevant intelligence, security and investigation services, such as the police and the fiscal intelligence and investigation service (Dutch acronym: FIOD). This is allowed since STRs are legally subject to the Wpg.
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Yes, you must report these unusual transactions to FIU-the Netherlands. This is required in line with one of the objective indicators set out in the Implementation Decree for the Money Laundering and Terrorist Financing (Prevention) Act (Wwft) (Uitvoeringsbesluit Wwft 2018): “It is logical that transactions reported to the police or the Public Prosecution Service in connection with money laundering or terrorist financing should also be reported to the Financial Intelligence Unit; after all, there is an assumption that these transactions may be related to money laundering or terrorist financing”.
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If your organization is registered with FIU-the Netherlands, it has a unique identity number for submitting reports: the Reporting ID. You can find the Reporting ID in the reporting portal under ‘My Reporting Details’.
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No, you must be registered as a separate reporting entity in each capacity.
If, for example, you are an estate agent and a valuer, then the capacity in which you make the report depends on the situation. In such cases, you need to have two registrations with FIU Netherlands: one as an estate agent and one as a valuer. If you come across an unusual transaction in your estate agency business, you report as an estate agent; if you encounter an unusual transaction when carrying out valuations, you report as a valuer.