It is imperative that terrorist suspects and designated parties can be identified when dealing with customers, intermediaries, third parties as well as Employees. Screening procedure must be in place utilizing a data base specialized in this type of activity. The data base should incorporate updates issued by the respective regulatory authorities in a timely manner. Taking into consideration that circumstances of the customers, intermediaries, third parties and Employees may change or additional information may come forth at any given time during the life of a business relationship, screening of all relevant parties is obligatory at the establishment of the business relationship and upon updates to the data base on a daily basis. Receivers to any payment instruction is subject to the screening process. Any suspicious activity identified during a screening exercise must be reported in accordance with the local suspicious activities reporting procedures