Charles M. Craig Sr. Vice President & International Group Counsel, Associate General Counsel & Senior Underwriter Stewart Title Guaranty Company.

Slides:



Advertisements
Similar presentations
Prevention of Money Laundering Training session. Overview What is Money laundering? Requirements under the Act Arcadias policy Relevance to your routine.
Advertisements

Prevention of money laundering / combating terrorist financing
© 2007 Dechert LLP Anti-Money Laundering Responsibilities of Transfer Agents Securities Transfer Association Annual Conference Naples, Florida October.
1 2 Note: The following slides represent suggestions to enhance the writing of a SAR narrative. This information should be used in conjunction with the.
Red Flags Rule BAS Forum August 18, What is the Red Flags Rule? Requires implementation of a written Identity Theft Prevention Program designed.
1 New obligations for real estate brokers and agents in accordance with the Proceeds of Crime (Money Laundering) and Terrorist Financing Act.
Anti Money Laundering (AML) An Overview for Staff Prepared by MSM Compliance Services Pty Ltd.
1 Financial Crimes Enforcement Network “FinCEN” Anna Fotias Senior Regulatory Compliance Specialist Office of Regulatory Policy
M i l l e r & c h e v a l i e r Chartered Anti-Money Laundering Compliance Overview Michael L. Burton James G. Tillen Miller & Chevalier Chartered May.
Anti-Money Laundering and OFAC Compliance for Transfer Agents SSA Annual Conference July 25, 2008.
07-08Available from BankersOnline.com Bank Secrecy Act (BSA) For New Hires.
Unlawful Internet Gambling Enforcement Act Final Rule Joseph Baressi June 3, 2009.
Anti-Money Laundering (AML)
KYC Norms & AML Standards Guidelines
1 Supplement to the Guideline on Prevention of Money Laundering Hong Kong Monetary Authority 8 June 2004.
1 CSI COMPLIANCE AWARENESS TRAINING ANTI MONEY LAUNDERING July 2004 This is confidential proprietary and trade secret information of American Express Travel.
This tool can be found in the Banker Tools section of BankersOnline.com. 1 Bank Secrecy, Anti-Money Laundering & OFAC Director Education.
Regulating and Prosecuting Global Money Laundering
Money Laundering 23 September Contents 1 What is money laundering? 2. The ‘primary’ money laundering offences 3. Failure to report and tipping off.
AML Training Program Presented by Continental Funding Corp.
1 Raymond Doray Conflicts between the new Canadian Money Laundering Act and the rules of professional conduct and ethics September 13, 2002.
Top 10 Things a New BSA Officer Must Know. What is Associated Risk Group? Premier provider of BSA/AML regulatory best practices to financial institutions.
Global Treasury Services Latin America Operating Risk.
Risk Management Reconstructed Implementing fraud risk intelligence practices July 2011 KPMG FORENSIC SM.
ANTI-MONEY LAUNDERING TRAINING FOR LENDERS Bill Heyman Offit Kurman
The Patriot Act Protecting the US or Violating People’s Freedoms.
E XTRATERRITORIAL A PPLICATION OF U.S. L AW - S ECTION 319 OF THE U.S.A. P ATRIOT A CT Alcides I. Avila Holland & Knight LLP FIBA/CSBS ANTI MONEY LAUNDERING.
Combating Terrorism Financing 1 National Accountants Conference 2004, Kuala Lumpur “Combating Terrorism Financing” 13 October 2004 by Koid Swee Lian Financial.
INFORMATION PRESENTATION NOVEMBER  Barristers & Accountants AML/ATF Board  Regulatory Framework  Requirements for Regulated Persons  Registration.
Professional Values and Basic Business Legislation.
Agent Compliance Training Proceeds of Crime (Money Laundering) & Terrorist Financing Act (PCMLTFA) Requirements.
AL ZAROONI EXCHANGE AML POLICY.
Legal Framework and Regulatory Regime Required for an effective AML/CFT System Richard Pratt 29 March 2005.
Forensic and Investigative Accounting
Western Union Confidential ©2009 Western Union Holdings, Inc. All Rights Reserved. Document Number FAC001 The Government Sanctions List.
Bank Secrecy Act. Many Laws Make Up “BSA” Bank Secrecy Act Money Laundering Control Act Currency and Foreign Transactions Reporting USA PATRIOT Act.
Challenges and Opportunities in the Caribbean Financial Services Sector Rudolph F. Zepeda, Jr. Federal Reserve Bank of Atlanta Miami Branch.
ANTI-MONEY LAUNDERING COMPLIANCE PROGRAM FCM TRAINING
FINANCIAL INTELLIGENCE CENTRE
Agenda  Background and Purpose  Money Laundering and Terrorist Financing  BSA Program Requirements  Risk Based Program Management  Suspicious Activity.
Presented by: Hany Faidy Senior Vice President, Head of Compliance Division March 2009 Procedures followed by FI’s when reporting Suspicious Transaction.
World Bank International Standards and their Measures for Financial Institutions and Non-Financial Businesses and Professions to Prevent Money Laundering.
Prevention of Identity Theft. Why now, Why us? Federal Trade Commission (FTC) regulations for Identity Theft which may not apply, but it is good business.
Responsibilities of Financial Institutions in the AML Architecture – AML Regulations in Afghanistan Mr. Jafar Sadat, Da Afghanistan Bank.
FERPA for the Financial Aid Office NCASFAA Fall Conference November 2012.
Legal Considerations Members in Practice (MIP) Members in Business (MIB)
Legal Considerations Members in Practice (MIP) Members in Business (MIB)
Workshop on Privacy of Public Figures and Freedom of Information - Skopje, 9-10 October 2012.
Payment Risk Management Chip Martin Bottomline Technologies.
Enforcement Actions and Penalties Wyn Clark U.S. Treasury 1.
MONEY LAUNDERING “The Basics”.
John Robinson Identity Management: Do You Know Who You Are Doing Business With?
Bank Secrecy Act Training For Volunteers
Forensic and Investigative Accounting
Anti-Money Laundering Compliance Training October 2014
Bank Secrecy Act SCEFCU June 21, 2005.
Correspondent Banking (1)
Anti Money Laundering (AML)
USA PATRIOT ACT WHAT DOES IT STAND FOR?.
Anti-Money Laundering Guidelines
Proof of Concept Samples and Techniques
OFAC.
Red Flags Rule An Introduction County College of Morris
Leaders Credit Union Board Presentation
Anti-Money Laundering
Identity Theft Prevention Program Training
Forensic and Investigative Accounting
CF Canada Financial Group
Presentation transcript:

Charles M. Craig Sr. Vice President & International Group Counsel, Associate General Counsel & Senior Underwriter Stewart Title Guaranty Company

The USA PATRIOT Act was signed on October 26, 2001, following the September 11 th attacks; extended until 2015 conglomeration of: Bank Secrecy Act, President's 2001 National Money Laundering Strategy, International Emergency Economic Powers Act, Trading with the Enemy Act, Executive Order Blocking Property and Prohibiting Transactions with Persons Who Commit, Threaten to Commit, or Support Terrorism; and public will.

The USA PATRIOT Act Purpose: to deter and punish terrorist acts in the USA and around the world, to enhance law enforcement investigatory tools, and To prevent, detect and prosecute international money laundering and financing of terrorism; To specially scrutinize international jurisdictions, financial institutions, and transactions or types of accounts that are susceptible to criminal abuse; To require the financial institutions to report potential money laundering; To prevent use of U.S. financial system for personal gain by corrupt foreign officials and Facilitate repatriation of stolen assets to the citizens of countries to whom such assets belong.

Title III. The Act comprises 10 titles. The provisions that most affect all of us are those contained in Title III. Title III enhanced authority Among other things, Title III amends the Bank Secrecy Act of 1970 and provides the U.S. Treasury Department and federal agencies with enhanced authority to combat international money laundering. Title IIIfinancial institutions Title III applies to all financial institutions regardless of charter or size. The USA PATRIOT Act

Section 312 of the Act “…financial institutions must establish appropriate, specific, and, where necessary, enhanced due diligence policies, procedures, and controls that are reasonably designed to enable the financial institution to detect and report instances of money laundering...” 31 CFR Part 103, 496 The USA PATRIOT Act

Section 352: “ Financial Institutions” Section 352: “ Financial Institutions” covered by the Act includes “persons engaged in real estate closings and settlements” - Treasury Department to adopt regulations on required money laundering programs for title insurers, real estate closers… – still waiting… Stewart didn’t wait - adopted Anti-Money Laundering Policies, Compliance Training Program

What is money laundering? disguising illegally obtained money the process of disguising illegally obtained money so that the funds appear to come from legitimate sources or activities. Money laundering occurs in connection with a wide variety of crimes, including illegal arms sales, drug trafficking, robbery, fraud, racketeering, and terrorism.

Elements of money laundering Use Use of funds that are proceeds of unlawful activity Knowledge Knowledge that the funds are proceeds of unlawful activity Conducting or attempting to conduct Conducting or attempting to conduct a financial transaction knowing that it is designed in whole or in part to disguise the nature, source, ownership or control of the proceeds

How BIG is the problem? $ -Represents between $800 billion to $2 trillion USD estimated annually 1/3 -Annually, the U.S. Departments of the Treasury and Justice seize over US$1 billion in criminal assets, with over 1/3 of that amount attributable to money laundering cases.

Penalties are Severe Violators face penalties of up to: whichever is greater –$500,000 fine or twice the value of the property involved in the transaction, whichever is greater, or or any combination of above –imprisonment for not more than 20 years, or any combination of above. –Often added to FCPA charge

New or Enhanced Procedures Customer identity verification Due diligence procedures for account and escrow officers Record-keeping and Documentation Processes Reporting information to authorities

Customer Identification Verify that any person purporting to act on behalf of the customer is so authorized and identify that person. legal existence and structure proof of incorporation Verify the legal existence and structure of the corporate customer; obtain proof of incorporation, including information concerning the customer's name, legal form, address, directors and provisions regulating the power to bind the entity.

Watch out for: Shell Corporations, -Shell Corporations, i.e. institutions, trusts, corporations, foundations, etc. that do not conduct any form of commercial operation in the country where their registered office is located. i.e. - Cayman Island off-shore corporation purchasing property in Costa Rica Charities -Charities Non-Governmental Organizations(“NGOs”) -Non-Governmental Organizations (“NGOs”) Straw-Man Transactions -Straw-Man Transactions Customer Identification

Check the Office of Foreign Assets Control “SDN” list Executive Order blocks transactions with persons who commit, threaten to commit or support terrorism. Assets of such persons/entities must be frozen. Specially Designated Nationals and Blocked Persons List Office of Foreign Assets Control The list of those persons is the Specially Designated Nationals and Blocked Persons List (the SDN List) maintained by the Office of Foreign Assets Control (OFAC) of the U.S. Treasury Department. SDN List is found at and on Stewart’s firewalled Virtual Underwriter webpage: Run your search in advance of closing; Do not wait until the closing date

What happens if you get a “hit” exact name and their address, identification numbers, date of birth –Compare it with the exact name of the party to the transaction and their address, identification numbers, date of birth. –You do not have a "match" if all identifying information are not the same. –(Ex.) the address of the party on the government issued identification (such as a driver license or passport) or other documentary evidence of address (such as mail, bills, etc.) shows a U.S. address and the SDN List shows another street address, city or country. Check the Office of Foreign Assets Control “SDN” list

an exact match If you find an exact match of name after review of the SDN List or other circumstances reasonably arouse your suspicion (Red Flags), call Stewart Legal Services; –we will call appropriate USA Authorities for further instructions before either closing or refusing to close. Do not close a transaction before calling Stewart Legal and never tell the parties to the transaction that you have a match with a name on the SDN List. If necessary and after discussion with appropriate authorities, you should file any applicable forms requested for reporting blocked transactions. Check the Office of Foreign Assets Control “SDN” list

Record Keeping Do not Do not keep anonymous accounts or accounts in obviously fictitious names or aliases Record the full identity Record the full identity of your customers on all transactions –Photo/Copies of ID – two forms of picture ID! –ID all representatives, agents, and powers of attorney on all entities and persons involved –Get corporate/partnership/LLC/trust documents on all entities and persons involved

customer identification Keep records on customer identification (e.g. copies or records of official identification documents like passports, identity cards, driver’s licenses or similar documents), account files and business correspondence, corporate records, etc. complete reconstruction Records must allow complete reconstruction of individual transactions (including the amounts and types of currency involved if any) wiring instructions especially the source bank corresponding bank Keep records of any wiring instructions used to transfer money especially the source bank and corresponding bank of the wire, wire receipts, etc. Record Keeping

Red Flag Transactions Generally, look for complex, unusual and large transactions, and all unusual patterns of transactions, which have no apparent economic or visible lawful purpose. Examine the background and purpose as far as possible, write down findings in the file, and be available to help supervisors, auditors and law enforcement agencies if needed.

Examples of Red Flags Cash – Actual Currency Transactions Land Flips – multiple transactions involving the same property “Straw Man” Transactions – Corporate Shells and Trusts “Straw Man” Transactions – Corporate Shells and Trusts Third Party depositors Third Party depositors Escrow deposit refund schemes Escrow deposit refund schemes Use of General Powers of Attorney Use of Shell Banks/Banks in OFAC listed countries Use of Bearer Corporate Shares to own Use of numerous deposits under $10,000 each

Reporting If you suspectcriminal or terrorist activityyou must report Stewart Legal Department If you suspect that funds stem from criminal or terrorist activity, you must report promptly your suspicions to Stewart Legal Department, for further instructions before either closing or refusing to close. Under most countries’ laws, financial institutions, their directors, officers and employees should be protected from criminal or civil liability for breach of any restriction on disclosure of information … BUT FIRST BUT FIRST check to make sure you do not run afoul of any privacy, secrecy or freedom of capital laws in your own jurisdiction.

Do not warn your customers that information relating to them is being reported to the competent authorities or that their transaction is suspect. Comply with all instructions from OFAC, Stewart Legal and the competent authorities. Do not hold up the deal, but you must check SDN list, report exact matches prior to providing services or closing the deal Reporting

Internal Program internal program Maintain an internal program against money laundering The program should include, as a minimum: -Designated Compliance Officers at management level -Employee background checks to ensure high standards when hiring employees -Ongoing Employee Training Program -Audit function - test the system – pull a file periodically

STG Needs Your Help U.S. Anti-Money Laundering regulations affect Stewart and your office. As part of our program, we may ask you to provide various identification documents or other information to us. Develop a compliance program now; STG audit services will be looking for it. YOU ARE REQUIRED TO COMPLY WITH STEWART’s COMPLIANCE POLICY, THE USA PATRIOT ACT, AND YOUR LOCAL ANTI-MONEY LAUNDERING LAWS

Be Careful Out There Your land. Our business. Worldwide. ® © 2011 Stewart Title Guaranty Company. All Rights Reserved.