Legal

AML Policy

Last updated: January 2026. Anti-Money Laundering and Counter-Terrorism Financing Policy for F-Change. Financial privacy and financial integrity are complementary requirements of this platform, not opposing ones.

1. Introduction and Scope

F-Change is a private cryptocurrency swap service supporting Bitcoin, Ethereum, Litecoin, Monero, XRP, Solana, USDT and 60+ other digital assets. We are committed to ensuring our platform is never used to facilitate money laundering, terrorist financing, sanctions evasion, or any other serious financial crime. Our service is built to protect the financial privacy of legitimate users, and we draw a firm and unambiguous line against enabling criminal activity of any kind.

This Anti-Money Laundering and Counter-Terrorism Financing (AML/CTF) Policy sets out the framework we apply to manage financial crime risk. It applies to all users of the service, all transactions processed through the platform, and all individuals involved in operating the service.

Protecting user privacy is a legitimate and important objective. Preventing money laundering and terrorism financing is a legal and moral obligation. These two commitments are not in conflict, and this policy reflects both without compromise.

2. Strictly Prohibited Activities

The following activities are absolutely prohibited on F-Change. Engaging in any of them constitutes a material breach of our Terms of Use and may result in immediate service refusal and disclosure to law enforcement where legally required:

3. Transaction Limits as a Risk Control

F-Change imposes per-transaction limits as part of our risk management framework. These apply to every swap on the platform without exception:

These limits apply equally to all users. They serve to limit exposure to high-volume financial crime while preserving accessibility for legitimate users. The exact cryptocurrency equivalent is displayed in the exchange widget before any order is created.

4. Our Risk-Based Controls

While we operate without collecting user identity data, we apply a substantive risk-based approach to AML/CTF compliance through the following technical and operational measures:

5. User Declarations

By using F-Change, every user confirms, represents, and warrants each of the following at the time of every transaction:

6. Cooperation with Law Enforcement

F-Change will cooperate fully with legitimate law enforcement and regulatory authorities where legally required. Where a valid legal order, subpoena, warrant, or other compulsory legal process is served on us, we will provide whatever information we lawfully hold that is relevant to that order.

By design, the information we retain about any given transaction is technically minimal: deposit address, destination wallet, currency pair, amount, and timestamp — held in session storage without persistent user identity linkage. This structural limitation on data retention reflects our privacy-first architecture and the fact that identity-less swap processing is entirely lawful in our operating jurisdiction.

We encourage any user who suspects money laundering or terrorist financing activity connected to cryptocurrency transactions to report it to their national financial intelligence unit (FIU) or relevant law enforcement agency.

7. No Protection from Criminal Liability

Using F-Change does not provide any shield from criminal liability. A user who employs our platform for money laundering, terrorist financing, sanctions evasion, or any other financial crime remains fully and personally liable under the laws of their jurisdiction. The absence of identity collection on our part does not create legal anonymity where serious criminal offences are involved.

8. Staff and Operational Responsibilities

All individuals involved in operating or administering the F-Change platform are required to be aware of and comply with this AML Policy. Any suspicious activity identified in the course of platform operations will be escalated and handled in accordance with applicable legal obligations.

9. Policy Review and Updates

This AML Policy is reviewed periodically and updated to reflect changes in applicable law, evolving financial crime typologies, and the operational environment of the service. All updates will be published on this page with a revised effective date.

10. Contact

For AML-related enquiries, to report suspicious activity connected to our platform, or for compliance-related correspondence, please contact us at support@f-change.exchange.