Ministerial exemption: Motor Trade Finance Group
Status: Expired
Date Made
Date signed: 2020-08-04
Sectors
Financial leasing
Enacting statement
As the Associate Minister of Justice, and pursuant to section 157 of the Anti-Money Laundering and Countering Financing of Terrorism Act 2009 (“Act”), I exempt Motor Trade Finance Group (Motor Trade Finance Limited, each person appointed as a franchisee of Motor Trade Finance Limited and MTF Leasing Limited, together MTF) from the requirements of paragraph (d) relating to the definition of “designated business group” under section 5 of the Act.
Commencement date
This exemption comes into force on 2020-08-04
End date
This exemption will expire on 2025-08-04
Exemption
On 10 November 2020, the Associate Minister of Justice exempted Motor Trade Finance Group (Motor Trade Finance Limited, each person appointed as a franchisee of Motor Trade Finance Limited and MTF Leasing Limited, together MTF) from the requirements of paragraph (d) relating to the definition of “designated business group” under section 5 of the Act.
Conditions
This exemption is subject to the following conditions:
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- MTF is required to satisfy all other requirements of the definition of a “designated business group”;
- each member of the designated business group must be a wholly owned subsidiary of Motor Trade Finance Limited or party to a franchise agreement with Motor Trade Finance Limited, which is similar to each other such agreement in all material respects;
- MTF must inform the Ministry of Justice of any changes that may affect the exemption within 10 working days of when the change occurs; and
- all other provisions of the Act apply.
Statement of reasons
This exemption has been granted for the following reasons:
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- Sub-paragraph (d) of the definition for “designated business group” (DBG) contained within section 5 of the Act provides that in order to be classed as a DBG, each member must be related to each other within the meaning of section 2(3) of the Companies Act 1993.
- MTF cannot rely on sub-paragraph (d) as its members do not meet the test for being related to each other under section 2(3) of the Companies Act. This is because the majority of its members are franchisees.
- The exemption will allow MTF to achieve consistency across all the franchisees, ensuring that they meet the obligations under the Act by allowing one compliance officer in the head office to formulate a shared risk assessment and compliance programme for the whole group.
- Allowing MTF to be treated as a DBG is an effective and efficient way to address and mitigate MTF’s cost of compliance while ensuring that MTF meets its AML/CFT obligations.
Contact
Any person wishing to provide comment on this notice should contact the Anti-Money Laundering and Countering Financing of Terrorism Team at the Ministry of Justice by emailing amlcft.exemptions@justice.govt.nz
Corrigendum
Previous exemptions
Motor Trade Finances Group