Insurance companies play a critical role in global financial systems, offering products that can be exploited for money laundering or sanctions evasion if controls are weak. Regulators expect insurers, whether life, health, property, or reinsurance providers, to maintain rigorous sanctions screening programs that prevent doing business with prohibited individuals or entities.
Sanctions are legally binding measures imposed by governments or international bodies, including the United Nations, the U.S. Office of Foreign Assets Control (OFAC), the European Union, and the U.K.’s Office of Financial Sanctions Implementation (OFSI). Non-compliance can result in multimillion-dollar fines, restricted market access, and reputational harm. For insurers, even a single policy written for a sanctioned entity can trigger enforcement action.
A robust sanctions screening framework ensures your organization complies with global regulations while protecting policyholders, intermediaries, and partners from exposure to illicit activity.
Key Principles of Sanctions Screening
Insurance firms handle complex customer relationships, brokers, policyholders, claimants, and beneficiaries, making sanctions compliance particularly challenging. The following best practices help to form the foundation of an effective program:
- Adopt a risk-based framework: Prioritize screening for higher-risk products such as trade credit, marine, or political risk insurance, and for clients or intermediaries operating in sensitive jurisdictions.
- Use multiple, continuously updated sanctions lists: Screen against OFAC, UN, EU, and OFSI lists, as well as any relevant national lists or regulatory authority sources.
- Leverage advanced matching technology: Utilize systems that support fuzzy logic, alias recognition, and transliteration to identify potential matches accurately.
- Ensure strong governance and auditability: Clearly document decision-making processes and maintain evidence of compliance for regulators.
- Commit to training and testing: Regularly train underwriting, claims, and compliance teams, and test system performance.
You can learn more about global watchlists and their regulatory impact in Alessa’s guide to OFAC sanctions lists.
Sanctions Screening Checklist for Insurance Companies
This checklist outlines actionable steps insurance companies can take to build and maintain an effective sanctions screening program aligned with industry regulations.
Governance and Policy
| Checklist Item | What to Do |
| Define a sanctions compliance policy | Develop a written policy that specifies roles, responsibilities, and escalation procedures across business lines. |
| Identify applicable sanctions regimes | Determine which global and domestic sanctions programs apply to your insurance operations and jurisdictions. |
| Conduct a risk assessment | Evaluate exposure by product line, distribution channel, and geographic reach. |
| Maintain policy and list updates | Subscribe to official sources or vendors that provide timely sanctions list updates. |
Data Collection and Integration
| Checklist Item | What to Do |
| Gather comprehensive customer and counterparty data | Collect data for all relevant parties, including policyholders, brokers, reinsurers, and claim beneficiaries. |
| Integrate screening into operational systems | Embed sanctions screening into onboarding, policy issuance, and claims management workflows. |
| Reference multiple list sources | Include OFAC, UN, EU, and OFSI lists, along with jurisdiction-specific or insurance regulatory lists. |
| Maintain high data quality | Standardize and validate customer and policy data to improve accuracy and reduce false positives. |
Screening Execution
| Checklist Item | What to Do |
| Deploy insurance-specific screening software | Implement automated tools that integrate with policy administration and claims systems. Alessa’s sanctions and watchlist screening solution helps insurers detect risks in real time. |
| Configure risk-based rules | Apply differentiated screening thresholds based on product type, value, and jurisdiction. |
| Conduct real-time and batch screening | Screen at onboarding, renewal, and claims payout stages, and rescreen periodically. |
| Document alert handling | Record all alerts, reviews, and outcomes in a centralized audit trail. |
| Define escalation protocols | Outline how alerts are reviewed, escalated, and resolved within compliance teams. |
Monitoring and Maintenance
| Checklist Item | What to Do |
| Rescreen existing relationships regularly | Trigger re-screening when sanctions lists or client details change. |
| Monitor regulatory changes | Stay updated on evolving sanctions obligations affecting the insurance sector. |
| Test system effectiveness | Perform periodic validation of screening algorithms to ensure they identify true matches. |
| Train staff consistently | Provide training for underwriters, claims adjusters, and brokers on sanctions compliance. |
| Conduct internal audits | Perform independent audits to evaluate program effectiveness and regulatory alignment. |
Handling Matches and Alerts
| Checklist Item | What to Do |
| Investigate potential matches | Verify matches by cross-checking customer information and external data sources. |
| Escalate and resolve alerts | Follow internal workflows for deciding whether to block, freeze, or proceed with transactions. |
| Maintain investigation records | Keep comprehensive documentation of reviews and decisions for inspection. |
| Report confirmed sanctions violations | File required notifications with authorities promptly and follow internal escalation procedures. |
Moving Forward with Sanctions Screening
As insurance companies expand globally and digitize their operations, sanctions screening processes must evolve accordingly. Robust, automated systems combined with clear governance ensure that compliance is consistent across underwriting, claims, and reinsurance functions.
By implementing a risk-based, data-driven approach, insurers can strengthen compliance, protect brand integrity, and demonstrate regulatory diligence. Platforms like Alessa offer comprehensive screening, real-time monitoring, and case management capabilities that make it easier for insurers to manage complex compliance workflows efficiently.
A well-designed sanctions screening program helps insurers safeguard their business, customers, and reputation, while contributing to the broader fight against financial crime.