StixRamp
Operated by KALYXIO (SASU)
This Anti-Money Laundering and Counter-Terrorist Financing Policy (“AML/CTF Policy”) describes the measures implemented by KALYXIO, operator of StixRamp, to prevent money laundering, terrorist financing, and other illicit activities.
This policy is designed in accordance with:
EU AML Directives
French AML regulations
FATF recommendations
A risk-based and proportional approach, reflecting the actual role of StixRamp.
Company: KALYXIO
Legal form: SASU (Simplified Joint-Stock Company – single shareholder)
Registered address:
195 Rue Pierre et Marie Curie
27310 Bourg-Achard
France
RCS: 999 024 862 R.C.S. Bernay
VAT: FR26999024862
Product / Trade name: StixRamp
StixRamp operates as a technical on-ramp aggregator and introducer.
StixRamp:
Provides a technical interface to compare and route users to third-party crypto on-ramp providers
Acts as a technical integrator and commercial introducer
Does not process payments
Does not execute transactions
Does not hold or custody fiat or crypto assets
Does not set prices, fees, or exchange rates
Does not conduct KYC or AML checks on end users
All fiat-to-crypto transactions are executed directly between the user and the selected third-party on-ramp provider.
StixRamp integrates regulated or compliance-oriented third-party on-ramp providers (e.g. Transak, Mercuryo, Cryptix, FinchPay).
Each provider is solely responsible for:
Customer identification (KYC)
Transaction monitoring
Sanctions screening
AML/CTF compliance
Regulatory reporting
StixRamp relies on the AML/CTF frameworks of its partners and does not duplicate or override their compliance processes.
Given its limited role, StixRamp presents a low AML/CTF risk profile, as it:
Does not touch customer funds
Does not control transaction flows
Does not onboard users directly
Does not allow anonymous execution of transactions
Misuse of the platform as a redirection layer
Reputational risk via third-party misconduct
Partner due diligence
Clear contractual allocation of compliance responsibilities
Platform-level monitoring of abnormal technical activity
Immediate suspension of integrations in case of compliance concerns
StixRamp does not perform Customer Due Diligence.
All CDD obligations are performed by integrated on-ramp providers, including:
Identity verification
Source of funds checks
Enhanced due diligence when required
Users are clearly informed that they will be subject to KYC/AML checks by the selected provider.
StixRamp does not monitor financial transactions, as it does not process or execute them.
However, StixRamp may:
Monitor technical usage patterns
Detect abuse, automated misuse, or suspicious platform behavior
Suspend access to providers or users in case of abnormal activity
StixRamp does not actively screen users against sanctions lists.
Sanctions screening and geographic restrictions are fully enforced by the on-ramp providers, in accordance with their regulatory obligations.
StixRamp does not intentionally target or promote services to sanctioned jurisdictions.
StixRamp maintains limited technical records, including:
Logs of redirection events
Timestamps and technical identifiers
Non-sensitive operational data
No financial transaction records or KYC documents are stored by StixRamp.
Data retention complies with GDPR and applicable legal requirements.
As StixRamp does not process transactions, it does not file Suspicious Activity Reports (SARs).
If suspicious behavior is identified at a technical level:
The relevant partner may be notified
Access may be restricted or suspended
Cooperation with competent authorities may occur when legally required
The AML/CTF framework is overseen by the Founder and Director of KALYXIO, who is responsible for:
Maintaining this policy
Partner selection and oversight
Responding to compliance inquiries
Periodic review of AML risks
Given the size and structure of KALYXIO:
No dedicated AML staff is required
The director remains informed of AML/CTF regulatory developments
Compliance awareness is maintained proportionally
This AML/CTF Policy is reviewed:
At least annually
Upon material changes to the business model
Upon regulatory or partner requirements
For AML / compliance matters:
Email: contact@stixramp.com
Company: KALYXIO – StixRamp