Edited by Dr. Monte Friesner Ph.D., LL.D., CD.C.


PANAMA IS HAVEN FOR IRAN TERRORIST COMMERCE | MONTE FRIESNER BREAKING NEWS |

FROM THE - JOURNALS of Monte Friesner Criminal & Intelligence Analyst 
and Consulaire for WANTED SA ~
 
Contributed & Written by Kenneth Rijock

VENEZUELANS USING 700 PANAMANIAN COMPANIES TO EVADE SANCTIONS ON IRAN

A governmental source in the Republic of Panama has confidentially disclosed to me that Venezuelan nationals have formed more than seven hundred companies there, and are using them for the sole purpose of trading with Iran, thereby efficiently evading international sanctions against Iran. All the corporate formation, and associated legal work, is being performed by the same lawyers each time.



 This is a major pipeline through which important industrial and commercial goods are purchased for Iran,  which is the end user not disclosed to sellers of goods, who are led to believe that they are destined for Latin America, specifically Venezuela and Panama.

 The companies then make deposits in two major Venezuelan banks, and obtain Letters of Credit in Panama from those banks' Panamanian subsidiaries. After all the goods are sold and delivered to solely Government-controlled Iranian entities and agencies, the funds are wired into Panama to pay off the Letter of Credit. Neither the original manufacturer or wholesaler is aware of the illegal final destination of their products, nor are any regulatory agencies, in any country where either is located, alerted to the violations.



If the Venezuelan and Panamanian banks involved will not now terminate their relationships with the sanctions evaders, and discharge the bankers who are involved in approving this business,  they will sustain major reputation damage, plus possible US criminal indictment of senior officers and owners, when they are identified in a public forum. Additionally, their US subsidiaries and/or correspondent relationships are at serious risk of revocation and termination, or even the loss of access to the American financial structure, pursuant to US Treasury Department regulations.

Assuming that you are a compliance officer at a Canadian or American bank with customers who engage in international trade:

(1) Do you have any bank clients who are selling goods to Panamanian companies ?
 
(2) Does your division have the necessary databases that allow you to identify, or rule out,  whether your customers' customers are Venezuelan nationals ?
 
(3) Do you have sufficient back-up information sources to verify the identities of all the parties?

If you cannot satisfactorily answer the above, then you could be unwittingly facilitating illegal Iranian Weapons of Mass Destruction or Ballistic Missile programmes. I will answer any specific questions that you may have about (2) and (3) upon request. (miamicompliance@gmail.com).

 
NOTE: The Person who is the Minister of Ministry of Commerce & Industries (MICI) who oversees and approves all companies being registered in the Republic of Panama is Mr. Ricardo Quijano.
 
* Mr. Quijano who recently deeded 500 HA of land to a friend of his without authorization and is a at present an investigation is underway.
 
MICI and the lawyers who incorporate such compnies must conduct a proper KNOW YOUR CLIENT & COMPLIANCE procedure unless of course there is a good reason not to do so; however, many companies have been exposed even with the sons of the President of Panama as Directors and lawyers who are also on the Board of The Nacional Bank of Panama.
 
Strange?

WANTED SA kindly thanks US Treasury, Kenneth Rijock, AFP, Reuters, BBC, Associated Press, DEA, FBI, ICE, Westlaw, Arutz Sheva, and all the Parties, Press, Journalists, Law Enforcement and Securities forces  who have contributed to the many articles and their sincere opinions and statements.
 
WANTED SA states that the facts and opinions stated in this article are those of the author and not those of WANTED SA. We do not warrant the accuracy of any of the facts and opinions stated in this article nor do we endorse them or accept any form of responsibility for the articles.

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