Mastercard SPME §11.5.1 · Sep 2024 → May 2025
Acquirer Responsibility: Requests for Removal from MATCH Pro
The updated section removes the MATCH reason codes and instead provides clear instructions that any MATCH merchant can request removal from MATCH Pro without legal counsel and specifies the required information for such requests, including merchant name, address, principal owner's name, and website URL.
Security Rules and Procedures—Merchant Edition • 6 August 2024
MATCH Reason Code Description Violation of Standards With respect to a Merchant reported by a Mastercard Acquirer, the Merchant was in violation of one or more Standards that describe procedures to be employed by the Merchant in Transactions in which Cards are used, including, by way of example and not limitation, the Standards for honoring all Cards, displaying the Marks, charges to Cardholders, minimum/maximum Transaction amount restrictions, and prohibited Transactions set forth in Chapter 5 of the Mastercard Rules manual. With respect to a merchant reported by an American Express acquirer (ICA numbers 102 through 125), the merchant was in violation of one or more American Express bylaws, rules, operating regulations, and policies that set forth procedures to be employed by the merchant in transactions in which American Express cards are used. Merchant Collusion The Merchant participated in fraudulent collusive activity. PCI Data Security Standard Noncompliance The Merchant failed to comply with Payment Card Industry (PCI) Data Security Standard requirements. Illegal Transactions The Merchant was engaged in illegal Transactions. Identity Theft The Acquirer has reason to believe that the identity of the listed Merchant or its principal owner(s) was unlawfully assumed for the purpose of unlawfully entering into a Merchant Agreement.
Any MATCH Merchant may contact an Acquirer regarding a request to be removed from MATCH Pro. For the avoidance of doubt, there is no requirement for a MATCH Merchant to engage legal counsel regarding a request to be removed from MATCH Pro. Any request to be removed from MATCH Pro sent to an Acquirer must contain each of the following pieces of information:
- Current and/or previous MATCH Merchant name;
- Current and/or previous MATCH Merchant Address;
- Principal Owner First Name and Last Name; and
- MATCH Merchant Website URL (if applicable).
program: Acquirer KYB- authority: Mastercard SPME 2.1, 11.2.3, 11.2.6, 11.7.1, 2.4.1+ authority: Mastercard SPME 2.1, 11.2.3, 11.2.6, 11.7.1, 2.4.1, 11.5.1required_documents:- incorporation- beneficial_ownership- aml_screen- license_verificationmin_review_cycle_days: 365suspension_trigger: document_collection_failurerecord_retention_years: 7aml_watchlist_sources:- ofac_sdn- eu_consolidatedagent_owner: kyb_agent# Acquirers must perform a MATCH inquiry prior to entering into any Merchant Agreement or enabling a Merchant to accept transactions, as detailed in Mastercard SPME §11.2.3. This inquiry must be conducted using the correct Member ID/ICA Number associated with the Merchant to ensure proper compliance reporting.# Failure to adhere to these requirements may result in noncompliance assessments.# The Acquirer is also required to retain all MATCH records related to any Merchant, Sponsored Merchant, or ATM owner for a minimum of two years post-agreement termination, as per Mastercard SPME §11.2.6.# Additionally, Acquirers that store, transmit, or process personal data of residents in the European Economic Area (EEA), the UK, or Switzerland—or are otherwise subject to EU Data Protection Law—must comply with the standards specified in Appendix D concerning MATCH activity within the Europe Region, consistent with Mastercard SPME §11.7.1.# Per the updated Mastercard SPME §2.4.1, Acquirers are required to properly manage their PIN Entry Device (PED) and Encrypting PIN Pad (EPP) inventories. This includes maintaining an up-to-date inventory of device types and locations, ensuring devices receive timely software security patches distributed by vendors, and conducting regular physical inspections by trained staff to detect tampering or substitution.# Acquirers must also manage devices whose PCI PTS approvals have expired by moving them from approved lists to appropriate expired approval lists and ceasing their use for processing transactions if Mastercard issues a sunset date for specific device models.# These controls strengthen the security posture of Acquirers in line with Mastercard's risk management directives, helping to prevent device-related compromises.+ # Updates to Mastercard SPME §11.5.1 clarify the process for MATCH merchants seeking removal from MATCH Pro. Acquirers must ensure they accept and properly document removal requests containing the merchant's current or previous MATCH name, address, principal owner's full name, and, if applicable, website URL. There is no requirement for merchants to engage legal counsel for such requests, and Acquirers should update their KYB processes to accommodate these verification and documentation standards.
Acquirer KYB (Know Your Business) Obligations
Acquirers processing transactions on the Mastercard network must perform Know Your Business (KYB) due diligence on merchants prior to onboarding and on a recurring basis. Halyard Pay is responsible for collecting and verifying required documentation to confirm business legitimacy, vet beneficial ownership, and satisfy anti-money laundering (AML) screening.
When this policy applies
This policy applies at initial merchant onboarding and during periodic re-verification reviews. Merchants that do not provide required documentation within set timelines must be suspended until compliance is restored.
Required actions
-
Collect all KYB documentation needed at onboarding.
-
Conduct AML screening against applicable watchlists before approval.
-
Verify business licenses for regulated merchant categories.
-
Schedule full re-verification at least annually.
-
Document verification outcomes and maintain records for audit.
-
Retain MATCH system records related to Merchants, Sponsored Merchants, or ATM owners for at least two years after contract termination or expiration, to meet Mastercard record retention requirements.
-
Before Merchant Agreement execution or enabling transactions, conduct a MATCH inquiry using Halyard Pay's Member ID/ICA Number to ensure compliance; failure may lead to Mastercard assessments.
-
For merchants whose personal data pertains to residents of the European Economic Area, the UK, or Switzerland, Halyard Pay must comply with EU Data Protection Laws as specified in Appendix D of the Mastercard SPME manual concerning MATCH activities in the Europe Region.
-
Maintain proper management of PED and EPP device inventories, ensuring devices receive timely software security patches and are physically tracked and inspected regularly for tampering or substitution. This includes keeping an accurate inventory of device types and locations, and training staff to conduct these inspections. Any device model sunset announcements by Mastercard must be adhered to, including ceasing use of such devices by the specified deadline.
10. If a MATCH-listed Merchant requests removal from MATCH Pro, Halyard Pay Acquirers must accept removal requests without requiring legal counsel engagement. The request must include the merchant’s current or previous MATCH name, address, principal owner’s full name, and website URL if applicable, which will assist in verifying and processing the removal accurately.
Source authority: Mastercard SPME §§2.1, 2.4.1, 7.1, 11.2.3, 11.2.6, 11.5.1, 11.7.1.
Acquirer KYB (Know Your Business) Obligations
Acquirers processing transactions on the Mastercard network must perform Know Your Business (KYB) due diligence on merchants prior to onboarding and on a recurring basis. Halyard Pay is responsible for collecting and verifying required documentation to confirm business legitimacy, vet beneficial ownership, and satisfy anti-money laundering (AML) screening.
When this policy applies
This policy applies at initial merchant onboarding and during periodic re-verification reviews. Merchants that do not provide required documentation within set timelines must be suspended until compliance is restored.
Required actions
-
Collect all KYB documentation needed at onboarding.
-
Conduct AML screening against applicable watchlists before approval.
-
Verify business licenses for regulated merchant categories.
-
Schedule full re-verification at least annually.
-
Document verification outcomes and maintain records for audit.
-
Retain MATCH system records related to Merchants, Sponsored Merchants, or ATM owners for at least two years after contract termination or expiration, to meet Mastercard record retention requirements.
-
Before Merchant Agreement execution or enabling transactions, conduct a MATCH inquiry using Halyard Pay's Member ID/ICA Number to ensure compliance; failure may lead to Mastercard assessments.
-
For merchants whose personal data pertains to residents of the European Economic Area, the UK, or Switzerland, Halyard Pay must comply with EU Data Protection Laws as specified in Appendix D of the Mastercard SPME manual concerning MATCH activities in the Europe Region.
-
Maintain proper management of PED and EPP device inventories, ensuring devices receive timely software security patches and are physically tracked and inspected regularly for tampering or substitution. This includes keeping an accurate inventory of device types and locations, and training staff to conduct these inspections. Any device model sunset announcements by Mastercard must be adhered to, including ceasing use of such devices by the specified deadline.
10. If a MATCH-listed Merchant requests removal from MATCH Pro, Halyard Pay Acquirers must accept removal requests without requiring legal counsel engagement. The request must include the merchant’s current or previous MATCH name, address, principal owner’s full name, and website URL if applicable, which will assist in verifying and processing the removal accurately.
Source authority: Mastercard SPME §§2.1, 2.4.1, 7.1, 11.2.3, 11.2.6, 11.5.1, 11.7.1.
Source authority: Mastercard SPME §11.5.1.
--- a/policies/kyb_acquirer/rules.yaml +++ b/policies/kyb_acquirer/rules.yaml @@ -1,5 +1,5 @@ program: Acquirer KYB -authority: Mastercard SPME 2.1, 11.2.3, 11.2.6, 11.7.1, 2.4.1 +authority: Mastercard SPME 2.1, 11.2.3, 11.2.6, 11.7.1, 2.4.1, 11.5.1 required_documents: - incorporation - beneficial_ownership @@ -18,4 +18,5 @@ # Additionally, Acquirers that store, transmit, or process personal data of residents in the European Economic Area (EEA), the UK, or Switzerland—or are otherwise subject to EU Data Protection Law—must comply with the standards specified in Appendix D concerning MATCH activity within the Europe Region, consistent with Mastercard SPME §11.7.1. # Per the updated Mastercard SPME §2.4.1, Acquirers are required to properly manage their PIN Entry Device (PED) and Encrypting PIN Pad (EPP) inventories. This includes maintaining an up-to-date inventory of device types and locations, ensuring devices receive timely software security patches distributed by vendors, and conducting regular physical inspections by trained staff to detect tampering or substitution. # Acquirers must also manage devices whose PCI PTS approvals have expired by moving them from approved lists to appropriate expired approval lists and ceasing their use for processing transactions if Mastercard issues a sunset date for specific device models. -# These controls strengthen the security posture of Acquirers in line with Mastercard's risk management directives, helping to prevent device-related compromises.+# These controls strengthen the security posture of Acquirers in line with Mastercard's risk management directives, helping to prevent device-related compromises. +# Updates to Mastercard SPME §11.5.1 clarify the process for MATCH merchants seeking removal from MATCH Pro. Acquirers must ensure they accept and properly document removal requests containing the merchant's current or previous MATCH name, address, principal owner's full name, and, if applicable, website URL. There is no requirement for merchants to engage legal counsel for such requests, and Acquirers should update their KYB processes to accommodate these verification and documentation standards. --- a/policies/kyb_acquirer/policy.md +++ b/policies/kyb_acquirer/policy.md @@ -17,5 +17,6 @@ 7. Before Merchant Agreement execution or enabling transactions, conduct a MATCH inquiry using Halyard Pay's Member ID/ICA Number to ensure compliance; failure may lead to Mastercard assessments. 8. For merchants whose personal data pertains to residents of the European Economic Area, the UK, or Switzerland, Halyard Pay must comply with EU Data Protection Laws as specified in Appendix D of the Mastercard SPME manual concerning MATCH activities in the Europe Region. 9. Maintain proper management of PED and EPP device inventories, ensuring devices receive timely software security patches and are physically tracked and inspected regularly for tampering or substitution. This includes keeping an accurate inventory of device types and locations, and training staff to conduct these inspections. Any device model sunset announcements by Mastercard must be adhered to, including ceasing use of such devices by the specified deadline. +10. If a MATCH-listed Merchant requests removal from MATCH Pro, Halyard Pay Acquirers must accept removal requests without requiring legal counsel engagement. The request must include the merchant’s current or previous MATCH name, address, principal owner’s full name, and website URL if applicable, which will assist in verifying and processing the removal accurately. -Source authority: Mastercard SPME §§2.1, 2.4.1, 7.1, 11.2.3, 11.2.6, 11.7.1. +Source authority: Mastercard SPME §§2.1, 2.4.1, 7.1, 11.2.3, 11.2.6, 11.5.1, 11.7.1.