07-08Available from BankersOnline.com Bank Secrecy Act (BSA) For New Hires.

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Presentation transcript:

07-08Available from BankersOnline.com Bank Secrecy Act (BSA) For New Hires

What is the BSA? The Bank Secrecy Act (BSA) requires all financial institutions, casinos, and certain other businesses to: –Monitor customer behavior –File reports on transactions that meet certain dollar amounts –Maintain records of certain transactions The Currency Transaction Report (CTR), which records cash transactions that exceed $10,000. The Suspicious Activity Report (SAR), which records any known or suspected federal violation of federal law. The BSA aids law enforcement and the IRS by uncovering criminal activities such as money laundering, drug trafficking, tax fraud, and possible terrorist financing.

USA Patriot Act After September 11th, President Bush signed into law the Uniting and Strengthening America by Providing Appropriate Tools Required to Intercept and Obstruct Terrorism Act Provides additional tools to prevent, detect, and prosecute international money laundering and the financing of terrorism.

Office of Foreign Assets Control OFAC is part of the US Treasury Dept and enforces economic and trade sanctions based on US foreign policy and national security goals against targeted foreign countries, terrorists, and international narcotics traffickers Parties subject to the OFAC sanctions are: –Specially Designated Nationals –Specially Designated Terrorists –Specially Designated Narcotics Traffickers –Blocked Persons –Blocked Vessels OFAC laws require banks to identify any transactions and property subject to the economic sanctions Once identified, the asset must be blocked or the transaction may be rejected Frozen assets may not be released without the authorization of OFAC

Customer Information Program (CIP) Three basic rules –Verify identity of person opening account –Maintain records for 5 years after account is closed –Check government lists (OFAC) To verify identity, we must obtain five important pieces of information prior to opening an account: –Name –Date of birth –Residential or business street address –Numbers (US Tax ID # or foreign issued alien ID card #) –Document (Place of Issuance, Number, Issue & Expiration Date) Notice displayed on each new account and loan officer desk explaining our customer identification program For every new account, the CSR completes a risk assessment form

CTR Requirements Before conducting any transaction in which a CTR is required, your institution must collect the following information for the individual, business, or entity that will benefit from the transaction (the beneficiary), and the individual conducting the transaction (the conductor): BeneficiaryConductor Name (including Doing Business As (DBA) Address SSN or EIN Date of Birth (for individuals) Occupation, Profession, or Nature of Business Proper Identification Name Address SSN Date of Birth Proper Identification

What is a Large Currency Transaction? A large currency transaction consists of cash (bills or coin) greater than $10,000 or any single transaction or group of transactions made by or on behalf of one person or business that is greater than $10,000 in one business day. Cash Sales of Monetary Instruments A Monetary Instrument Log is required for all monetary instruments purchased between $3,000 and $10,000 in currency Monetary Instrument: –Cashier’s Check, Travelers Checks, Savings Bonds BOC does not sell monetary instruments to individuals that are not customers of the bank

What Is Money Laundering? Money Laundering is when illegal money is brought into the mainstream circulation. Launderers hide the source of these illegal funds by making a series of intricate transactions. The true source of the money is “washed away.”

What is Structuring? Structuring is a common tactic used to launder money, specifically to place funds into the financial systems. A transaction is structured by breaking down a single sum of currency of more than $10,000 into smaller currency transactions. The transaction can consist of either deposits or withdrawals in amounts under $10,000. A person can act alone, or on behalf of another individual or business, in order to cause an institution to fail to file a CTR. Structuring Examples: –After learning that a CTR will be filed, an individual attempts to reduce the transaction to fall below the reporting requirement of more than $10,000. –An individual conducts multiple transactions over the course of several days in amounts less than $10,000.

Detecting Suspicious Transactions Activity Not Consistent with Customer’s Business –A business owner who makes several deposits on the same day at different bank branches. Unusual Characteristics or Activities –A customer who often visits the safety deposit box area immediately before making cash deposits. Attempts to Avoid Reporting or Record Keeping Requirements –A new customer that asks to be placed on the exemption list. Customer who Provides Insufficient or Suspicious Information –A customer who has no record of past or present employment but makes frequent large transactions. If you believe your customer may be conducting Suspicious Activity … Notify your supervisor immediately. Do Not attempt to have a conversation with the customer before discussing with the BSA Officer.

Other Types of Reportable Activity Bribery Check Fraud Check Kiting Computer Intrusion Counterfeit Check Counterfeit Credit/Debit Card Credit/Debit Card Fraud Embezzlement False Statement Loan Fraud Misuse of Position Mysterious Disappearance Wire Transfer Fraud Tax Evasion Terrorist Financing Identity Theft

Suspicious Activity Report (SAR) A Suspicious Activity Report (SAR) must be filed on any known or suspected federal violation of law. Suspicious activity requires reporting if it involves at least $5,000 aggregate, and the institution knows or suspects that (for example): –The funds are derived from illegal activities –The funds are part of a plan to violate or evade any federal law or regulation –The transaction is designed to evade other reporting requirements –The transaction is not the sort in which the particular customer would normally be expected to engage, and the institution knows of no reasonable explanation for the transaction.

Penalties for Noncompliance Failure to comply with the Bank Secrecy Act can have serious consequences for you and for your institution. BSA violations involve civil, criminal, and intangible penalties. The severity of the penalty depends on whether the violation is willful or negligent. Your institution and its employees are liable for criminal penalties of fines from $250,000 to $500,000 and imprisonment of 5 years to 10 years.

Your Responsibility Employees are required to know their customers and detect suspicious activity. Some activity may initially appear suspicious but, with a reasonable explanation, may be determined not suspicious. Be aware of BOC’s designated Medium and High Risk customers Report any suspicious activity to the BSA Officer.