Elizabeth M. Snyder, CRCM Chief Compliance Officer Leaders Bank Oak Brook, IL

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Presentation transcript:

Elizabeth M. Snyder, CRCM Chief Compliance Officer Leaders Bank Oak Brook, IL

Founded in 2000 $660 million assets 70 FTE 2 branches Commercial bank focused on privately held businesses

Financial Intelligence Unit Electronic Fraud BSA/AML Deposit/Check Fraud

Financial Intelligence Unit Electronic Fraud BSA/AML Deposit/Chec k Fraud BSA/AML Due diligence Monitoring Investigation Fraud Prevention Detection Mitigation

“It is important to appreciate that the information your institution collects to comply with your anti-money laundering program requirements in many ways mirrors the information you would gather in any event for anti- fraud purposes. Therefore, the resources being spent on fraud detection and prevention within your institution can often be harnessed for anti-money laundering (AML) purposes, and vice versa. I want to emphasize that financial institutions can benefit by leveraging their fraud resources with their AML efforts and starting to take advantage of the significant efficiencies that I see being available through this leverage.” JAMES H. FREIS, JR., DIRECTOR, FINANCIAL CRIMES ENFORCEMENT NETWORK, FLORIDA BANKERS ASSOCIATION TOWN HALL MEETING, TAMPA, FLORIDA, SEPTEMBER 23, 2008

Integrated Financial Intelligence Unit  Natural succession of BSA/AML program  Redundancies between BSA/AML and anti-fraud program  Need to leverage BSA/AML compliance responsibilities with $ spent

Benefits of Global Process  Enhanced BSA/AML and anti-fraud programs  Leverage limited resources  Reduction in fraud losses  Integrate redundant systems & leverage data  Central point of contact  Consistent case investigation and management  Enhanced reporting for board and enterprise risk management committee

Challenges of Centralization  Work in process  Complex skill-set required  Lack of affordable technology and automation which integrates all elements