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.

Slides:



Advertisements
Similar presentations
OPERATING EFFECTIVELY AT WESD. What is Internal Control? A process designed to provide reasonable assurance the organizations objectives are achieved.
Advertisements

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 Flag Rules: What they are? & What you need to do
© 2007 PROSKAUER ROSE LLP® ANTI-MONEY LAUNDERING REGULATION OF US BROKER-DEALERS Presented by: Kathy H. Rocklen
FinCEN Director Jennifer Shasky Calvery stated: “Now that some states have elected to legalize and regulate the marijuana trade, FinCEN seeks to move.
©2012 CliftonLarsonAllen LLP Red Flags- Why This Matters to You An overview of the FACT Act Identity Theft Red Flag Rule and its current impact.
1 Financial Crimes Enforcement Network “FinCEN” Anna Fotias Senior Regulatory Compliance Specialist Office of Regulatory Policy
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.
1 INTERNAL CONTROLS A PRACTICAL GUIDE TO HELP ENSURE FINANCIAL INTEGRITY.
Anti-Money Laundering (AML)
This tool can be found in the Banker Tools section of BankersOnline.com. 1 Bank Secrecy, Anti-Money Laundering & OFAC Director Education.
Internal Control. COSO’s Framework Committee of Sponsoring Organizations 1992 issued a white paper on internal control Since this time, this framework.
E XAMINATION AND E NFORCEMENT I SSUES : B EYOND T HE P ILLARS The AMLA Third Annual Full Day BSA/AML Conference October 4, 2013 Presented by: John M. Geiringer.
February 10, 2012 Michelle Hemerley Director, Compliance Consulting
Revisions to the FFIEC BSA/AML Examination Manual and Federal Reserve Board BSA/AML Examination Findings and Issues Timothy P. Leary Senior Special AML.
Section 12-2-Regulatory Agencies and Laws.   These agencies make or enforce rules and regulations  Agencies provide oversight or supervision of activities.
Pre-Exam Process  Scope visitation  Prepare request letter  Review prior examination report and workpapers  Access BSA-reporting databases and other.
Bank Secrecy Act Staying One Step Ahead of Your BSA Examiner September 2009 AMLA Chicago Chapter Event.
Global Treasury Services Latin America Operating Risk.
Chapter 3 Internal Controls.
Bank Secrecy Act (BSA) Office of Foreign Assets Control (OFAC)
Risk Management Office ECO-IDB Workshop on Risk Management 4 March 2012.
Risk Management Reconstructed Implementing fraud risk intelligence practices July 2011 KPMG FORENSIC SM.
ANTI-MONEY LAUNDERING TRAINING FOR LENDERS Bill Heyman Offit Kurman
Combating Terrorism Financing 1 National Accountants Conference 2004, Kuala Lumpur “Combating Terrorism Financing” 13 October 2004 by Koid Swee Lian Financial.
Best Practices for Banking MSBs
September 14, David A. Reed Attorney at Law Reed & Jolly, PLLC (703)
Professional Values and Basic Business Legislation.
Financial Crimes Enforcement Network (FinCEN) Institute of International Bankers Annual Seminar on Regulatory Examination, Risk Management and Compliance.
AL ZAROONI EXCHANGE AML POLICY.
Strengths & Weaknesses noted in recent examinations September 16, 2016.
MTRA 16 th Annual Conference November 14, 2006 The Banking Environment for Money Services Businesses Lisa Arquette FDIC Associate Director Anti-Money Laundering.
Technology Supervision Branch Interagency Identity Theft Red Flags Regulation Bank Compliance Association of CT Bristol, CT September 3, 2008.
Enterprise AML Program Assessment
Effective Bank Secrecy Act/ Anti-Money Laundering Audits Presented by K.D. Mehra, CAMS, CRCM Managing Director September 22, 2011.
BSA PROGRAM REQUIREMENTS.  Written, approved by the board of directors, and noted in the board minutes.  Based on the risk assessment  Fully implemented.
1 A Presentation for Members of the Bank Compliance Association of Connecticut (BCAC) June 12, 2008 Rebecca Williams FDIC Case Manager (Special Activities)
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
Casualty Loss Reserve Seminar General Session II September 9, 2003 Section 302/404 of Sarbanes-Oxley Act What Actuaries Need to Know Jan A. Lommele, FCAS,
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.
Effective Bank Secrecy Act/ Anti-Money Laundering Audits Presented by K.D. Mehra, CAMS, CRCM Managing Director September 22, 2011.
World Bank International Standards and their Measures for Financial Institutions and Non-Financial Businesses and Professions to Prevent Money Laundering.
Responsibilities of Financial Institutions in the AML Architecture – AML Regulations in Afghanistan Mr. Jafar Sadat, Da Afghanistan Bank.
Module 3 Processing Transactions. Section 1 Checking Accounts It is important for tellers to follow procedures with every transaction they complete. The.
John Robinson Identity Management: Do You Know Who You Are Doing Business With?
Bank Secrecy Act Training For Volunteers
Anti-Money Laundering and OFAC Compliance for Financial Institutions
Anti-Money Laundering Compliance Training October 2014
Judy Graham, Program Officer
Bank Secrecy Act SCEFCU June 21, 2005.
Financial Service Centers of America
Illicit Financial Flows
What Constitutes a “Triggering Event?”
USA PATRIOT ACT WHAT DOES IT STAND FOR?.
Optimizing Your Regulatory Compliance Program
The CFPB’s Legal Minefield for CREDIT UNIONS
Bank Secrecy Act (BSA) (supplemental front-line training)
ACAMS Greater Philadelphia Chapter Learning Event September 7, 2017
Red Flags Rule An Introduction County College of Morris
Leaders Credit Union Board Presentation
Risk Management: why and how to protect your health center
Internal Controls Policies and Procedures
Recent Regulatory Developments
Regulatory 101 Elizabeth Hammond and Patrick Brennan NC Office of the Commissioner of Banks August 1, 2019.
Presentation transcript:

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 including Risk Assessments and Training.

Speaker Lyn Hall-Fore –Vice President, Regulatory Compliance Consultant with Associated Risk Group –Vice President, Corporate Compliance Officer with $750 million financial institution –Paralegal, part of legal team defending financial institutions on fraud, embezzlement and breach of internal control issues

Top 10 Things a New BSA Officer Must Know

Agenda 1.FinCEN 2.FFIEC BSA/AML Examination Manual 3.Four Pillar of a BSA/AML Compliance Program 4.Risk Ranking 5.CIP vs. CDD and EDD 6.Currency Transaction Reports 7.Structuring 8.Suspicious Activity Reports 9.Monetary Instrument Log 10.Funds Transfers

1. FinCEN The U.S. Department of the Treasury established the Financial Crimes Enforcement Network in 1990 to provide a government-wide multi-source financial intelligence and analysis network. The organization's operation was broadened in 1994 to include regulatory responsibilities for administering the Bank Secrecy Act, one of the nation's most potent weapons for preventing corruption of the U.S. financial system.

FinCEN FinCEN’s mission is to enhance U.S. national security, deter and detect criminal activity, and safeguard financial systems from abuse by promoting transparency in the U.S. and international financial systems.

FinCEN Statutes and Regulations Bank Secrecy Act Forms and Filing Requirements Reports and Publications –SAR Activity Review, Trends, Tips and Issues –SAR Activity Review - By the Numbers –Suspicious Activity Reporting Guidance

2. FFIEC BSA/AML Examination Manual Federal Financial Institutions Examination Council –Board of Governors of the Federal Reserve –Federal Deposit Insurance Corporation –National Credit Union Administration –Office of the Comptroller of the Currency –Office of Thrift Supervision –State Liaison Committee

FFIEC BSA/AML Exam Manual Most recent edition was published in August 2007 Manual provides guidance to examiners and used by BSA Officers to evaluate and design BSA/AML Compliance Programs Answers many questions regarding BSA/AML issues

FFIEC BSA/AML Exam Manual Structure of Manual –Introduction –Core Examination Overview and Procedures for Assessing the BSA/AML Compliance Program –Core Examination Overview and Procedures for Regulatory Requirements and Related Topics –Expanded Examination Overview and Procedures for an Enterprise-wide Compliance Program and Other Structures –Expanded Examination Overview and Procedures for Products and Services –Expanded Examination Overview and Procedures for Persons and Entities –Appendices

FFIEC BSA/AML Exam Manual Electronic Version – t.htmhttp:// t.htm Print Format Version – ments/BSA_AML_Man_2007.pdfhttp:// ments/BSA_AML_Man_2007.pdf

3. Four Pillars of a BSA/AML Program 1.System of Internal Controls 2.Independent Testing 3.BSA Compliance Officer 4.Training Tip: Read your bank’s BSA/AML Policies and Procedures

Internal Controls Bank’s policies, procedures, and process designed to limit and control risks and to achieve compliance with the BSA Level of sophistication of the internal controls should be commensurate with the size, structure, risks, and complexity of the bank FFIEC BSA/AML Exam Manual page 29

Independent Testing Independent testing or audit should be conducted by the internal audit department, outside auditors, or other qualified independent parties. Generally performed every 12 to 18 months Evaluate BSA/AML compliance program and management information systems FFIEC BSA/AML Exam Manual page 30

BSA Compliance Officer Board of directors designate a qualified individual BSA compliance officer is responsible for: –Coordinating and monitoring day-to-day BSA/AML compliance –Manage adherence to the BSA Must have appropriate level of authority and resources to administer BSA/AML Program FFIEC BSA/AML Exam Manual page 32

Training Appropriate personnel should be trained in applicable aspects of the BSA Training should be documented and include: –Regulatory Requirements –Bank’s BSA/AML policies, procedures and processes Should be given annually and to new employees during orientation FFIEC Exam Manual page 33

4. Risk Ranking BSA/AML Risk Assessment provides a risk ranking of highest risks to the bank for money laundering Products and Services Customers and Entities Geographic Locations Read your bank’s BSA/AML Risk Assessment

5. Customer Identification Program The CIP is required by US PATRIOT Act CIP is intended to enable the bank to form a reasonable belief that it knows the true identity of a customer Account opening procedures should specify the identifying information that will be obtained from each customer FFIEC BSA/AML Exam Manual page 47

Customer Identification Program Minimum information needed: –Name –Date of birth –Address –Identification number (usually taxpayer identification number)

Customer Due Diligence Enables bank to predict with relative certainty the types of transactions in which a customer is likely to engage Helps determine the expected profile and risk ranking of a customer Forms the basis to determine if transaction activity is normal or suspicious

Enhanced Due Diligence Additional information for customers that pose high money laundering risks to the bank Examples of enhanced due diligence questions can be found on page 58 of the FFIEC BSA/AML Exam Manual

6. Currency Transaction Report Must file Currency Transaction Report (CTR) for each transaction in currency of more than $10,000 by, through, or to the bank within 15 days if filed manually or 25 days if filed electronically. FinCEN Form 104 must be kept for 5 years _ctr.pdfhttp:// _ctr.pdf

7. Structuring Conducts or attempts to conduct one or more transactions in currency in any amount, at one or more financial institutions, on one or more days, in any manner, for the purpose of evading CTR filing requirements One of the most common issues facing a BSA Officer is structuring attempts

8. Suspicious Activity Report Suspicious Activity Reports (SARs) are the cornerstone of the BSA reporting system Quality of SAR data is very important Many examples of good SAR narratives provided on FinCEN website SAR Form - di.pdf di.pdf

Suspicious Activity Reporting When to file a SAR –Criminal violations involving insider abuse in any amount –Criminal violations aggregating $5,000 when suspect can be identified –Criminal violations aggregating $25,000 or more regardless of a potential suspect FFIEC BSA/AML Exam Manual page 60

Suspicious Activity Reporting Timing of a SAR Filing –30 calendar days from the date of the initial detection of facts that may constitute a basis for filing a SAR –60 days if no suspect can be identified –Every 90 days for continued suspicious activity

9. Monetary Instrument Log Monetary instruments include: –Bank checks or drafts Foreign drafts –Money orders –Cashier’s check –Traveler’s checks Purchased in exchange for currency

Monetary Instrument Log Banks are required to verify the identity of persons purchasing monetary instruments for current in amounts between $3,000 and $10,000, inclusive, and to maintain records of all such sales Does your bank permits sales to non- customers? FFIEC BSA/AML Exam Manual page 95

10. Funds Transfers Each bank involved in funds transfers must collect and retain certain information for transfers of $3,000 or more. Requirement is commonly referred to as the “Travel Rule” (the information that must travel with the funds transfers) Specific information needed is found at FFIEC BSA/AML Exam Manual pages

Conclusion 1.FinCEN 2.FFIEC BSA/AML Examination Manual 3.Four Pillar of a BSA/AML Compliance Program 4.Risk Ranking 5.CIP vs. CDD and EDD 6.Currency Transaction Reports 7.Structuring 8.Suspicious Activity Reports 9.Monetary Instrument Log 10.Funds Transfers

Our Next Event 30 Minute Power Webinar February 19, 2009 Top 10 Things an Experienced BSA Officer Must Know (Best Practices)

2985 South Ridge Rd. Suite A Green Bay, WI Phone: (866)