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FATF lists February 2026: what's new and what does this mean for your Wwft process

During its plenary meeting in Mexico City from February 11 to 13, 2026, the FATF published new updates to the blacklist and gray list. These lists have direct consequences for your risk assessment and AML policy. This blog provides a clear and concise overview of what has changed and how you, as an AML officer in the Netherlands, can respond to these changes efficiently.

What exactly has the FATF changed?

Blacklist

The blacklist remained unchanged. Iran, the Democratic People's Republic of Korea, and Myanmar remain designated as high risk. For Iran and North Korea, a permanent call for countermeasures applies. For Myanmar, enhanced due diligence appropriate to the risk is necessary.

Grey list

The FATF added two countries to the grey list: Kuwait and Papua New Guinea. These countries are now under increased monitoring and are working on an action plan with the FATF.

EU list differs from FATF

Since January 29, 2026, the Russian Federation has been on the EU list of high-risk third countries. This means that EU-regulated institutions are required to apply Enhanced Due Diligence to transactions and relationships involving Russia. Russia is not on the FATF gray or black list, making this a clear regulatory deviation that you must incorporate into your policy.

What does this mean for your AML policy in the Netherlands?

1

Update your country risk model

Adjust your risk scores based on the new lists. Clients, UBOs, or transactions involving these countries may be subject to a higher risk.

2

Apply EU rules for Russia

Because Russia is on the EU list, you are required to apply EDD when there is a Russian component in a relationship or transaction.

3

Tighten up monitoring

Increased monitoring applies to gray list countries. For black list countries, you must take stricter measures and risks into account.

4

Update intake and reviews

Include the new country labels in your onboarding questions, risk assessments, and review moments. Refine documentation requirements and decision logic where necessary.

5

Inform your teams

Ensure that first line, compliance, and risk are aware of the changes and that no old lists are still in circulation.

SCOPE FinTech Solutions takes the work off your hands

At SCOPE FinTech Solutions, we understand how crucial it is that your risk lists are always up to date. That is why the FATF lists, EU high-risk lists, and other relevant risk country lists are updated fully automatically in our solutions.
This means you don't have to make any adjustments yourself. As soon as the FATF or EU publishes a change, it is automatically processed in your risk models and country indicators. This applies not only to your risk-based customer investigations, but also to the monitoring of existing relationships. This helps you avoid compliance gaps and saves you time in your onboarding, monitoring, and policy processes.

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Ruby Hovenier
I'm Ruby Hovenier, the digital marketer at SCOPE FinTech Solutions. My focus is on keeping up with the latest news and events within the FinTech, KYC, and Wwft markets. By constantly looking for the latest information on these topics, I ensure that our readers are always up-to-date. My goal is to offer new insights and provide readers with fresh information on developments in these industries. You can find my contributions on our website and in our newsletters.

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