Curaçao (Offshore / IFC • Dutch Caribbean). Risk report as of the 19 Jun 2026 FATF plenary.
Moderate country risk. Curaçao's country risk score is 4.5/10, placing it in the moderate-risk band. Some information is unavailable, so the available parts are rebalanced and the country will not be labelled Low risk while information is missing. The principal driver is its governance profile. Curaçao is not currently FATF grey- or black-listed. Curaçao is not subject to comprehensive country-wide sanctions. Firms should apply additional scrutiny where exposure involves state-linked entities, restricted sectors, sensitive technology, dual-use goods or politically exposed counterparties.
Recommended treatment
Standard due diligence, with enhanced checks for defined risk triggers.
At a glance
- FATF status: Not currently listed (one indicator only; it does not set the overall country risk rating by itself)
- Comprehensive country sanctions: none identified. Targeted sanctions exposure: possible, screen applicable persons, entities and sectors
- Government effectiveness and rule of law: information unavailable
- Corruption (CPI): no score
- Enforcement data: not yet assessed (no RegActions coverage)
Country Risk Score: 4.5/10 (Moderate)
Higher score means higher country risk (global average 4.6). Some information unavailable. Limited supporting information. Enforcement activity and CPI are shown for context but do not change the score.
One of the three parts is unavailable. The available parts are rebalanced, and the result will not be labelled Low risk while information is missing.
How this score was calculated
- Financial crime controls: 6.3/10 — 71% of this score
- Government effectiveness and rule of law: information unavailable — 0% of this score
- International sanctions: 0.0/10 — 29% of this score
- Government effectiveness and rule of law information is unavailable.
International sanctions contributes 0.0 because the complete UN, UK, EU and US review found no direct country-level sanctions programme. People or organisations connected to the country may still appear on sanctions lists.
Show the exact calculation
aml 6.3 × 71.4% + sanctions 0 × 28.6% = 4.5; final 4.5
Principal risk drivers
- Government effectiveness and rule of law drive the score; no FATF listing or direct country-level sanctions were identified
Mitigating factors
- Not currently on the FATF grey or black list.
- No comprehensive country-wide sanctions programme.
- Risk is concentrated in specific counterparties, sectors and transactions rather than applying uniformly.
Business impact
- Customer onboarding (Medium): Additional ownership and control verification may be required.
- Payments and transactions (Medium): Review transaction purpose, counterparties and geographic routing.
- Trade and export activity (Medium): Screen goods, end users and potential dual-use exposure.
- Corporate clients (Medium): Assess state ownership, government links and political exposure.
- Ongoing monitoring (Medium): Apply alerts for ownership changes, sanctions and geopolitical developments.
Recommended controls
- Verify ultimate beneficial ownership using more than one reliable source.
- Identify state ownership, government influence and politically exposed persons.
- Screen entities, directors and beneficial owners against applicable sanctions lists.
- Apply enhanced review to technology, defence, telecommunications, financial services and dual-use activity.
- Document transaction purpose and source of funds where cross-border structures are complex.
- Escalate unresolved ownership opacity or adverse information to Compliance.
Enhanced due diligence triggers
- State ownership / control
- PEP involvement
- Sensitive / restricted sectors
- Opaque ownership
- Adverse media
- Dual-use goods & technology
- High-risk intermediary routing
FATF status: Not currently listed
Curaçao is not on the FATF grey or black list as of the 19 Jun 2026 plenary.
Source details
International sanctions by issuing body
- UN: No
- EU: No
- UK: No
- US: No
No means the complete UN, UK, EU and US review found no direct country-level programme. People or organisations may still appear on sanctions lists.
Government effectiveness and rule of law (World Bank 2024, percentile)
- Government Effectiveness: no data
- Regulatory Quality: no data
- Rule of Law: no data
Regulators and legal framework
FATF network
FATF network via CFATF.
Last mutual evaluation: 2025 · report
National regulators
Regulator profiles not yet available on RegActions.
FIU: Egmont Group member (FIU Curaçao)
Framework signals
- FATF listing: Not currently listed
- International sanctions: no listed programme identified
- Corruption (CPI): no score
- Rule of law (WGI): no data
Sector exposure
- Banking & payments (Review): Rule-of-law evidence unavailable; no low-exposure conclusion
- Trade & export controls (Low): No sanctions programme or FATF black-list constraint identified
- Crypto & virtual assets (Review): Accountability evidence unavailable; no low-exposure conclusion
- Real estate & luxury assets (Review): Corruption-control evidence unavailable; no low-exposure conclusion
- State-linked & procurement (Review): Governance evidence incomplete; no low-exposure conclusion
Derived from sanctions tier, FATF listing, World Bank WGI governance and CPI; no per-sector dataset is asserted.
Curaçao: analysis
Curacao is a self-governing constituent country within the Kingdom of the Netherlands and a long-standing Caribbean financial and corporate-services centre. World Bank WGI governance domain data are not published for Curacao, so its headline scoring rests on a limited evidence base rather than a full governance profile; the data gap is not itself a positive or negative assessment. No CPI data are available either, and no governance percentile can be derived. The jurisdiction is assessed for AML/CFT purposes by the Caribbean Financial Action Task Force (CFATF); its most recent fourth-round mutual evaluation report was published in the 2025 cycle. No FATF listing or sanctions escalators apply. In the absence of quantified governance data, firms should treat Curacao's risk as evidence-limited and rely on regulatory guidance and third-party country risk assessments.
Outlook
Curacao's forward risk picture rests on its completed CFATF fourth-round mutual evaluation and the associated follow-up process, given the limited governance evidence base. The effectiveness of AML/CFT supervision across its banking, trust and corporate-services sectors, and beneficial ownership transparency for Curacao entities, are the primary monitoring considerations. Any future WGI data availability would allow a modelled risk picture to be constructed.
Key watchpoints
- CFATF fourth-round mutual evaluation follow-up reporting and any technical compliance re-ratings for Curacao.
- Beneficial ownership transparency and source-of-wealth diligence for Curacao corporate and trust structures.
- Effectiveness of AML/CFT supervision across the banking, trust and international-financial-services sectors.
- Absence of WGI, CPI and percentile data makes independent risk calibration difficult; supplement with regulatory guidance and third-party assessments.
Assessment currency
- FATF status: Not listed (as of 19 Jun 2026)
- Sanctions exposure: None identified (as of Jul 2026)
- Governance (WGI): Latest dataset incorporated (as of 2024)
- Corruption (CPI): Not available (as of 2025)
- RegActions assessment: Reviewed (as of 19 Jun 2026)
Public evidence layer
FATF action: none. No FATF call-for-action or increased-monitoring status was identified at the latest plenary. This does not establish low risk.
Contextual signals (not scored)
- FATF network membership: FATF regional network: CFATF (present, as of 2026-07)
- EU non-cooperative tax jurisdictions: Not listed in Annex I (absent, as of 2026-02-17)
- Egmont Group FIU: FIU Curaçao (present, as of 2026-07-17)
- Beneficial-ownership register: No live register identified in the source (unavailable, as of 2026-07-17)
- Transparency International CPI: No CPI result available (unavailable, as of 2025)
Evidence freshness
- FATF monitored-jurisdiction status: current; data 2026-06-19
- FATF mutual evaluation and follow-up ratings: current; data 2026-07-31; follow-up 2025-07; base assessment 2025-07
- World Bank governance indicators: current; data 2024
- UN, UK, EU and US sanctions regimes: current; data 2026-08-13
Contextual signals are public evidence only and do not change the immutable v2 score.
Download evidence PDF · CSV · JSON
Regional peer scores
- British Virgin Islands: 6.0/10 (High)
- Sint Maarten: 5.6/10 (High)
- Turks and Caicos Islands: 4.5/10 (Moderate)
- Barbados: 4.4/10 (Moderate)
- Antigua and Barbuda: 4.2/10 (Moderate)
- Bahamas: 4.2/10 (Moderate)
FAQ
Is Curaçao on the FATF grey list?
No. Curaçao is not on the FATF grey or black list as of the 19 Jun 2026 plenary. FATF listing is one AML indicator; absence from the list does not by itself make Curaçao low risk. The next FATF plenary review is scheduled for Oct 2026.
Is Curaçao subject to sanctions?
No country-level programme was identified. In the approved RegActions snapshot, no comprehensive or targeted country-wide sanctions programme was found for Curaçao, but individual listed persons may still exist, so firms should continue to screen counterparties against the applicable lists.
What is Curaçao's country risk rating?
RegActions rates Curaçao at 4.5/10 (Moderate risk), where a higher score means higher country risk. The score combines financial crime controls, government effectiveness and rule of law, and international sanctions. Some information is unavailable, so the available parts are rebalanced and the country will not be labelled Low risk while information is missing.
What due diligence applies to Curaçao?
Standard due diligence, with enhanced checks for defined risk triggers. This is decision-support based on Curaçao's FATF status, governance and sanctions signals, and is not a substitute for a firm's own risk assessment.
Source: FATF black & grey lists · World Bank WGI (CC BY 4.0 — World Bank WGI) · TI CPI (CC BY-ND 4.0 — Transparency International, display only)