In response to the Joint Money Laundering Steering Group’s (JMLSG) Draft Travel Rule Guidance Consultation, CryptoUK, a prominent association representing the UK’s cryptocurrency sector, has expressed its views on the challenges surrounding the Travel Rule implementation.
The consultation addresses the intricate landscape of crypto-related financial crime and the measures needed to uphold financial integrity.
CryptoUK acknowledges the UK’s commitment to fortifying its financial crime framework and applauds the inclusion of Travel Rule (TR) obligations.
However, the association underscores significant challenges posed by the absence of a de minimis threshold and regulatory proportionality in the UK’s crypto regulations.
Notably, the lack of a threshold and proportionality in regulations other than transactions to unhosted wallets has led to operational complexities and costs for the industry, even when financial crime risks are low.
Operational Hurdles and Costs
The consultation raises concerns within the industry about the operational burden posed by the requirement to verify all transactions against verified Customer Due Diligence (CDD) information, regardless of transaction size.
Additionally, the stipulation to return transactions with inadequate TR information, irrespective of size or risk, has presented operational and financial challenges.
One of the major issues highlighted by CryptoUK is the lack of global interoperability among TR solutions and legislative obligations.
This poses an ongoing challenge that hinders seamless compliance within the industry. Without clear guidelines on addressing interoperability, the effective implementation of TR protocols becomes a substantial hurdle for cryptocurrency businesses (CBs).
CryptoUK’s submission also delves into specific issues within the draft guidance. The association emphasizes the importance of addressing challenges related to the “sunrise” guidance.
While acknowledging the FCA’s approach, CryptoUK suggests additional clarity to guide CBs receiving assets from non-UK Virtual Asset Service Providers (VASPs) in jurisdictions lacking TR regulations.
The submission outlines recommendations for addressing this concern and maintaining operational certainty.
Aligning with Industry Needs
To ensure compliance and regulatory alignment, CryptoUK advocates for clarifications in the draft guidance.
It proposes that the status of Travel Rule implementation in the jurisdiction of the counterparty CB be considered a relevant factor in risk assessment.
By doing so, the industry seeks to enhance alignment with the FCA’s statements on the sunrise issue.
CryptoUK’s submission to the consultation underscores its commitment to collaboratively shape the regulatory landscape.
The association’s input aims to support the UK’s crypto industry while ensuring compliance with international standards.