United States Of America (usa): SWIFT/BIC Codes & Payment Info

Browse banks, EMIs, PSPs and other organizations in United States Of America (usa) that hold a SWIFT/BIC code. See correspondent banking data and review the country's payment requirements.

Currency
USD (United States Dollar)
Convertibility
Freely convertible
The US dollar (USD) is the world's primary reserve currency, freely floating and fully convertible, and the dominant unit for global trade invoicing, commodity pricing and cross-border settlement.
Currency controls
None
The United States imposes no foreign-exchange or capital controls and accepted IMF Article VIII in 1946; there are no repatriation or surrender requirements, though sanctions and CFIUS national-security review are separate targeted tools.
FATF
Founding member, not listed
The United States is a founding FATF member (1989) and is on neither the grey nor the black list; its fifth-round mutual evaluation is underway in 2026, with the on-site assessment taking place during the year and the report expected later in 2026.
CRS / AEOI
Not a CRS jurisdiction
The United States has not adopted the OECD Common Reporting Standard; it exchanges financial-account information instead under FATCA through a network of intergovernmental agreements.
Sanctions
Own extensive program (OFAC)
The US Treasury's OFAC runs one of the world's most extensive sanctions regimes, implements UN measures and applies secondary sanctions with extraterritorial reach, so screen counterparties before settling.
Crypto / digital assets
Legal, framework forming
Crypto is legal and treated as property, not legal tender; the GENIUS Act (2025) created a federal payment-stablecoin regime now being implemented, broader market-structure rules remain pending, and a US central bank digital currency is prohibited.
Cross-border payments and banking in United States Of America (usa):

The currency of the United States is the US dollar (USD), the world's primary reserve currency and the dominant unit for global trade invoicing, commodity pricing and cross-border settlement. The dollar floats freely and is fully convertible: the United States imposes no exchange or capital controls, accepted IMF Article VIII obligations in 1946, and has no repatriation or surrender requirements. The United States does not use IBAN. To route an inbound payment you need the beneficiary bank's SWIFT BIC and the beneficiary's account number, plus the nine-digit ABA routing number (RTN) for domestic routing; for USD clearing through CHIPS a four-digit CHIPS participant code may also be quoted. The United States is not part of SEPA, which is a euro-area scheme.

The United States is the center of global USD clearing, and virtually every international dollar payment ultimately settles through the US banking system. Large-value payments settle in central bank money over Fedwire, the Federal Reserve's real-time gross settlement system, while CHIPS, operated by The Clearing House, nets and settles most cross-border USD payments among its member banks. Inbound cross-border payments arrive by SWIFT and then settle domestically over these rails. Messaging is now ISO 20022: Fedwire completed its migration in July 2025 and the SWIFT cross-border CBPR+ coexistence period closed in November 2025. For lower-value and instant flows the United States runs FedNow and the private RTP network, both around-the-clock instant services, alongside the ACH batch system. To credit a beneficiary without delay an instruction typically needs:

The United States has no purpose-of-payment code requirement for cross-border transfers, so the SWIFT BIC is the key routing identifier and the account number with the ABA routing number identifies the account. Using a beneficiary's initials instead of the full registered name, or omitting the routing number, is a common cause of delay. Because the United States is itself the USD clearing hub, inbound dollars to a US account need no external correspondent chain and typically credit the same day, while a US payer's foreign-currency leg instead clears through that currency's home market. The routing choice, not access to the country, is usually what drives cost and cut-off times.

On compliance, the United States is a founding FATF member and sits on neither the FATF grey nor black list; its fifth-round mutual evaluation is underway in 2026, with the on-site assessment taking place during the year and the report expected later in the year. Unusually, the United States is not a CRS jurisdiction: it has not adopted the OECD Common Reporting Standard and instead exchanges financial-account information under FATCA through a network of intergovernmental agreements. Anti-money-laundering rules rest on the Bank Secrecy Act, administered by FinCEN, the US financial intelligence unit, with a USD 10,000 currency-transaction reporting threshold and travel-rule recordkeeping from USD 3,000. Sanctions are administered by the Treasury's OFAC, which runs one of the world's most extensive programs, implements UN measures and applies secondary sanctions with extraterritorial reach; comprehensive US programs cover Cuba, Iran, North Korea, Russia and the occupied regions of Ukraine, and major banks in those jurisdictions are designated, so screen counterparties before you pay.

Cryptoassets are legal in the United States and treated as property for federal tax purposes rather than legal tender, and there is no federal ban on using them for payment. The framework is forming quickly: the GENIUS Act, enacted in 2025, created the first federal regime for payment stablecoins, with implementing rules from the OCC and other regulators being finalized through 2026 and the framework taking effect in stages into 2027. A broader market-structure bill, the CLARITY Act, which would divide oversight of digital assets between the CFTC and the SEC, passed the House in 2025 and remains before the Senate as of mid-2026. Crypto-asset businesses register with FinCEN as money services businesses and are licensed largely at state level, for example under New York's virtual-currency regime and state money-transmitter licences, while federally chartered banks may custody crypto and handle stablecoins under OCC guidance. The United States has chosen not to issue a central bank digital currency: a January 2025 executive order prohibits a Federal Reserve CBDC, and policy favours regulated private stablecoins instead.

Regulatory and cross-border snapshot

Central bank
The US central bank; it operates the Fedwire large-value RTGS, the FedNow instant service and FedACH, and sets monetary policy through the Board of Governors and the FOMC. · official site
AML authority
The Financial Crimes Enforcement Network, a bureau of the US Treasury, is the US financial intelligence unit and administers the Bank Secrecy Act; it is an Egmont Group member.
Sanctions posture
The US Treasury's OFAC runs one of the world's most extensive sanctions regimes, implements UN measures and applies secondary sanctions with extraterritorial reach, so screen counterparties before settling.
Correspondent routing
The United States is the hub of global USD clearing, so inbound dollar payments to a US account settle domestically over Fedwire or CHIPS and need no external correspondent chain, typically crediting the same day. For a US payer sending another currency, the foreign-currency leg clears through that currency's home market rather than through the United States. The currency of settlement, not access to the country, is usually what drives routing and cut-off times. Sanctions screening applies to every payment: OFAC-designated persons and entities are blocked and flows to comprehensively sanctioned jurisdictions are restricted, while ordinary country corridors stay open.
Reference sources: Federal Reserve System· US Department of the Treasury - OFAC· Financial Crimes Enforcement Network (FinCEN)· Office of the Comptroller of the Currency (OCC)· Federal Deposit Insurance Corporation (FDIC)· FATF - United States· OECD - CRS by jurisdiction (AEOI portal)· Federal Reserve Financial Services (Fedwire, FedNow, FedACH)· The Clearing House (CHIPS, RTP)· IRS - FATCA
Cross-border invoice requirements for United States Of America (usa) E-invoicing rules, tax IDs, mandatory fields and invoice language for invoices issued in United States Of America (usa).

SWIFT/BIC code holders in United States Of America (usa) (3479)

Banks, EMIs, PSPs and other organizations with an assigned BIC. Click any entry for SWIFT/BIC details, correspondent banking data and supported currencies.

ROCKUS3B ROCKEFELLER AND CO, LLC ROCWUS33 ROCKET SOFTWARE, INC. ROTOUS41 ROCKFORD BANK AND TRUST COMPANY ROANUS31 ROCKHAVEN ASSET MANAGEMENT RTCOUS33 ROCKLAND TRUST COMPANY RODMUS41 RODMAN AND RENSHAW, INC. RRAMUS31 ROLL AND ROSS ASSET MANAGEMENT ROPCUS41 RONIN CAPITAL LLC RCRIUS32 ROOSEVELT AND CROSS, INCORPORATED SHSNUS31 ROOSEVELT INVESTMENTS ROILUS31 ROPART INVESTMENTS, LLC ROPHUS33 ROPER TECHNOLOGIES, INC RGCMUS31 ROSE GROVE CAPITAL MANAGEMENT, LLC ROISUS61 ROSENBLUM-SILVERMAN-SUTTON, S.F., INC RCGRUS41 ROSENTHAL COLLINS GROUP, LLC ROASUS31 ROSSELL AND ASSOCIATES, INC. ROTIUS44 ROTARY INTERNATIONAL RCPCUS61 ROTH CAPITAL PARTNERS, LLC ROAGUS32 ROTHSCHILD AND CO ASSET MANAGEMENT US, INC ROCPUS31 ROULSTON AND COMPANY, INC. ROYCUS3M ROYAL BANK OF CANADA - WFC BRANCH RBBCUS6L ROYAL BUSINESS BANK RFDSUS33 ROYCE AND ASSOCIATES, LP RPITUS33 RPM INTERNATIONAL INC. RREEUS41 RREEF AMERICA L.L.C. RTFKUS62 RTFKT INC. UTCHUS33 RTX CORPORATION RUCGUS31 RUANE, CUNNIFF AND GOLDFARB INC. RUINUS31 RUESCH INTERNATIONAL INC. RUISUS66 RUSSELL INVESTMENTS IMPLEMENTATION, SERVICES, LLC RCMMUS31 RUTABAGA CAPITAL MANAGEMENT RVXAUS42 RVX ASSET MANAGEMENT, LLC RYSNUS61 RYDER, STILWELL INCORPORATED SATBUS33 S AND T BANK MTRCUS32 S.M.A.R.T. MATRIX REGISTRAR LLC SWTMUSB2 S.W.I.F.T. OPERATING CENTRE SWHQUS3N S.W.I.F.T. PAN-AMERICAS, INC. PCSXUSUS S.W.I.F.T. SC PCSXUSUS S.W.I.F.T. SC - PRODUCTS DATA AND SERVICES SWCEUS5P S.W.I.F.T. SC GLOBAL SUPPORT DELIVERY (LIVE) NACPUS31 SABA CAPITAL MANAGEMENT LP SGLBUS44 SABRE GLBL INC. SBSNUS32 SACO AND BIDDEFORD SAVINGS INSTITUTION RSMTUS51 SADOFF INVESTMENT MANAGEMENT LLC SNBYUS33 SAFRA NATIONAL BANK OF NEW YORK SFSLUS33 SAFRA SECURITIES LLC SAPMUS31 SALEM CAPITAL MANAGEMENT SAVVUS33 SALEM FIVE CENT SAVINGS BANK SFDCUS6S SALESFORCE, INC. SMONUS61 SALOMON SMITH BARNEY, INC. SMCEUS42 SAMCO CAPITAL MARKETS, INC. SCNTUS31 SAMSUNG C AND T AMERICA, INC. SECTUS31 SAMSUNG ELECTRONICS AMERICA, INC. SECTUS81 SAMSUNG ELECTRONICS HOME APPLIANCES, AMERICA, LLC SECTUS61 SAMSUNG NEXT FUND LLC SECTUS51 SAMSUNG NEXT LLC SARZUS32 SAMUEL A. RAMIREZ AND CO., INC SFFEUS66 SAN FRANCISCO FIRE CREDIT UNION SMERUS61 SAN MATEO COUNTRY EMPLOYEES', RETIREMENT ASSOCIATION SMHAUS41 SANDERS MORRIS HARRIS, INC. SRORUS66 SANDISK CORPORATION SACGUS31 SANDS CAPITAL MANAGEMENT, LLC. SBCBUS33 SANFORD C. BERNSTEIN AND CO., LLC NIISUS61 SANTA BARBARA ASSET MANAGEMENTDD SCUYUS66 SANTA CRUZ COUNTY BANK SVRNUS33 SANTANDER BANK, N.A SINSUS3N SANTANDER US CAPITAL MARKETS LLC SAFPUS31 SANWA FINANCIAL PRODUCTS SRINUS61 SARATOGA RESEARCH AND INVESTMENT, MANAGEMENT SACAUS31 SASCO CAPITAL, INC.

Frequently asked questions

Does the United States use IBAN?

No. The United States does not use IBAN. To send an international payment you need the beneficiary bank's SWIFT BIC and the beneficiary's account number, plus the nine-digit ABA routing number (RTN) for domestic routing; for USD clearing through CHIPS a four-digit CHIPS participant code may also be quoted. There is no standardized national account-number format, and account-number length varies by bank.

Is the United States on the FATF grey list?

No. The United States is a founding member of the FATF (since 1989) and is on neither the grey list (jurisdictions under increased monitoring) nor the black list. Its fifth-round mutual evaluation is underway in 2026, with the on-site assessment taking place during the year and the report expected later in 2026.

How do international payments reach a bank in the United States?

Cross-border payments arrive by SWIFT and then settle domestically. The United States is the center of global USD clearing: large-value payments settle in central bank money over Fedwire, and most cross-border USD payments clear through CHIPS. To route funds you need the beneficiary bank's SWIFT BIC, the beneficiary's account number and full name and address, and the ABA routing number or CHIPS participant code where available. No purpose-of-payment code is required, but using full names rather than initials helps avoid delays.

Is the United States a CRS country?

No. The United States has not adopted the OECD Common Reporting Standard (CRS). It exchanges financial-account information instead under the Foreign Account Tax Compliance Act (FATCA), through a network of intergovernmental agreements with other countries. FATCA predates CRS and was one of its models, but the two regimes are separate and the United States remains outside CRS as of 2026.

Do US sanctions affect cross-border payments?

Yes. Sanctions are administered by the Treasury's Office of Foreign Assets Control (OFAC), which runs one of the world's most extensive programs and implements UN measures. US persons are generally prohibited from dealing with designated parties, and secondary sanctions can reach non-US institutions that process prohibited transactions, since access to USD clearing depends on the US financial system. Comprehensive programs cover Cuba, Iran, North Korea, Russia and the occupied regions of Ukraine. Screen every counterparty and beneficiary against the OFAC lists before settling.

How is cryptocurrency regulated in the United States?

Crypto is legal in the United States and treated as property for federal tax purposes, not legal tender, and there is no federal ban on using it for payment. The framework is developing quickly: the GENIUS Act (2025) created the first federal regime for payment stablecoins, with implementing rules being finalized through 2026, while a broader market-structure bill (the CLARITY Act) that would split oversight between the CFTC and the SEC passed the House in 2025 and remains before the Senate as of mid-2026. Crypto businesses register with FinCEN and are licensed mainly at state level, and federally chartered banks may custody crypto under OCC guidance. The United States has chosen not to issue a central bank digital currency; a January 2025 executive order prohibits a Federal Reserve CBDC.

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