Whilst here we focus on money laundering and the FSA role in relation to it, it must be acknowledged that counter-terrorist finance (CTF) and international sanctions against weapons proliferation have been moving up the policy agenda. FSA-regulated entities are or may become subject directly to targeted sanctions of the UN, EU and trading partners, as well as indirectly via the obligation to check that their customers are not on these lists. [FSA, 2008, EU imposes financial sanctions against Ban
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