Fiduciary & Investment Risk Management Association

Slides:



Advertisements
Similar presentations
HIGH-RISK: FOREIGN CORRESPONDENT BANKING
Advertisements

Managing Outsourced Service Providers By: Philip Romero, CISSP, CISA.
money laundering Prevention system at BBVA Investments
The Intricacies of Compliance Rising Expectations Jack Jared Managing Director, Correspondent Banking Group Business Compliance and Risk.
FCA’s latest financial crime risk findings and further proposed guidance Financial Crime Forum- 4 December 2014 By Richard Bostock, FLA.
Fuller Center for Housing Anti-Money Laundering Training for Covenant Partners 2013.
Managed Funds Association’s Sound Practices for Hedge Fund Managers 2009 Edition.
1 Outsourcing & Vendor Management Fiduciary & Investment Risk Management Association 21 st National Training Conference April 18, 2007 Frederick Yorke,
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.
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.
Caribbean Indigenous Banks Anti-Money Laundering Survey
Regulating and Prosecuting Global Money Laundering
The Integrity of Financial Reporting
Copyright © 2014 Lender Performance Group, LLC. All rights reserved. Managing risks associated with third-party relationships, in other words Vendor Management.
® CLS and the CLS Logo are registered trademarks of CLS UK Intermediate Holdings Ltd © 2014 CLS UK Intermediate Holdings Ltd. Corporate.
Sanctions screening as a service Sibos 2010, Amsterdam Andy Schmidt, TowerGroup Nicolas Stuckens, SWIFT.
V. Conferencia Internacional Antilavado de dinero y Contra el Financiamiento al Terrorismo Anti-Money Laundering Compliance for Broker/Dealers Current.
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.
Source: Section 2 General Code of Conduct A n t i m o n e y l a u n d e r i n g ( A M L ) i s a t e r m m a i n l y u s e d i n t h e f i n a n c i a.
Vendor Risk: Effective Management is Essential
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.
Discussion Forum Bridge Consulting 9 November 2012.
International International Standards on Regulating DNFBPs & The way forward Mr Ping-Yiu MA Assistant Secretary for Security 4 March 2010 Narcotics Division,
Revisions to the FFIEC BSA/AML Examination Manual and Federal Reserve Board BSA/AML Examination Findings and Issues Timothy P. Leary Senior Special AML.
Line of Business AML Policies and Procedures
Pre-Exam Process  Scope visitation  Prepare request letter  Review prior examination report and workpapers  Access BSA-reporting databases and other.
Risk Assessments/Risk Appetite Judith Gruenbaum 1.
OECD Guidelines on Insurer Governance
Chapter 3 Internal Controls.
FIRMA National Risk Management Training Conference A New Look at Conflicts of Interest By Regina D. Stover Senior Vice President Pittsburgh, PA April 10,
Risk Management Reconstructed Implementing fraud risk intelligence practices July 2011 KPMG FORENSIC SM.
ANTI-MONEY LAUNDERING TRAINING FOR LENDERS Bill Heyman Offit Kurman
Insourcing vs. Outsourcing “Our Take” LIVE November 1, 2012.
© 2007 KPMG LLP, the U.S. member firm of KPMG International, a Swiss cooperative. All rights reserved. Printed in the U.S.A AUDIT / TAX / ADVISORY U.S.
Best Practices for Banking MSBs
Copyright © 2007 Deloitte Development LLC. All rights reserved. BSA/AML Update Peter Fitzgerald Principal Deloitte & Touche LLP.
© OECD A joint initiative of the OECD and the European Union, principally financed by the EU. Quality Assurance José Viegas Ribeiro IGF, Portugal SIGMA.
The Changes in the US AML/ATF Arena Rudolph F. Zepeda, Jr. Federal Reserve Bank of Atlanta Miami Branch.
Financial Crimes Enforcement Network (FinCEN) Institute of International Bankers Annual Seminar on Regulatory Examination, Risk Management and Compliance.
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.
Connecting the Dots A Practical Approach to Integrating Compliance, Risk and Quality Jody Ann Noon RN, JD Partner Health Care Regulatory Practice.
Balance Between Audit/Compliance and Risk Management- Best Practices FIRMA 21 st National Training Conference Julia Fredricks, U.S. Chief Compliance Officer.
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
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.
AML Compliance Findings & Observations Wyn Clark U.S. Treasury.
AML O FFICER STR working Committee. S UBJECTS Technical aspects Aspects of day-to-day compliance AML Officer duties & responsibility Challenging facing.
South Region Compliance Seminar December 2-3, 2015 | New Orleans, LA Variable Annuities Procedures Practices and Findings.
Vendor Management from a Vendor’s Perspective. Agenda Regulatory Updates and Trends Examiner Trends Technology and Solution Trends Common Issues and Misconceptions.
World Bank International Standards and their Measures for Financial Institutions and Non-Financial Businesses and Professions to Prevent Money Laundering.
The Fight Against Money Laundering. Why is the fight against money laundering so important? Size and scope of money laundering Motivation for laundering.
DEVELOPING AN EFFECTIVE AML REGIME – KEY CHALLENGES AND RESPONSES
Compliance at the Crossroads: How can the Compliance Profession Move to the Second Generation? A Practical Approach to Integrating Compliance, Risk and.
Payment Risk Management Chip Martin Bottomline Technologies.
ICAEW visits and compliance with Money Laundering Regulations John O’Donnell Senior Reviewer QAD.
On-Site Inspections & Senior Officer Approval Regime Kenneth Baker Deputy Managing Director, Regulation.
Compliance Risk Management
Judy Graham, Program Officer
The Importance of an AML Programme
ACAMS Greater Philadelphia Chapter Learning Event September 7, 2017
Fiduciary & Investment Risk Management Association
General Counsel and Chief Privacy Officer
Presentation transcript:

Fiduciary & Investment Risk Management Association National Risk Management Training Conference April 2008      C. Rachel Raemore Romijn Senior Vice President Compliance Director Wachovia Corporation

Overview of Presentation Overview of Strong AML Program: WARRCOM – What is it? Customer Due Diligence in Detail Assessments in Detail

Alphabet Soup…. SEC FRB BSA OCC FINRA USA PATRIOT Act IRS

Overview of a Strong AML/ATF/OFAC Program WARRCOM Written Policies and Procedures Awareness and Training Regulatory and Internal Reporting Record keeping Customer and Product Due Diligence Oversight Monitoring and Assessments      

Written Policies and Procedures       Cascading Policies FFIEC Analysis and 2006 Updates 312 Implementation

Awareness and Training Everybody should get something Web based Training Module Specialized Focused Training PEPs Offshore Companies and Trust 312

Regulatory and Internal Reporting Regulatory Reporting such as SARs, CTRs, 314, 311 Centralized Escalation Score Card and MIS

Customer and Product Due Diligence Ongoing Monitoring of all Clients Independent in-country visits for certain types of clients High Risk Codes 312 New Product Committee

Specific Issues…… In a High Touch Space High Touch Due Diligence Process and Relationship…. So you should know and understand client – get to the warm body Know and continue to know their reputation Source of Wealth Proactively vet PEP risk

Specific Issues…… In a High Touch Space Mostly Managing Reputational Risk….Not Just AML Coordinate Actions for or against the client…Red Flag Committee Structure

Oversight Management – “How do you know?” Compliance & Risk Management Internal Audits External Audits Regulatory Exams

Monitoring and Assessments People and Automated Systems Assessment Program Automated Tools Escalation Ongoing Due Diligence of Customers and Products

What is an Assessment? Risk Assessment of high risk types looking at products, customers, and geography Self Assessments of policies and processes Risk Matrix and on-going Surveillance      

Four Main Elements to AML Assessment Program: WRAP W: WARRCOM Quality Assessment R: Risk Matrix or Score Card A: Audit, Compliance and Regulatory Examination Results P: Policy development based on Products and Services, Customer Types and Geographies

Policy Development Based on Products and Services, Customer Types and Geographies       Products and Services Who are you? Customer Types What do you want? Products and Services Where are you from? Geographies

(W: WARRCOM Quality Assessment) Self Assessments       What does success look like? How are GAPs resolved and tracked? Are reports issued?

R: AML Risk Matrix The Facts AML Risk Matrix or Score Card: Incorporate FFIEC Appendix J & M and Additional Questions for all AML Risk Assessment Units

A: Audit, Compliance and Regulatory, Examination Results Add Internal Audit Results Summarize Compliance Review Results Add Regulatory Results

Resources: More than FFIEC Manual Securities Industry and Financial Markets Association (SIFMA) Anti-Money Laundering and Financial Crimes Committee 2008 Guidance for Deterring Money Laundering and Terrorist Financing Activity, February 2008 FINRA a Small Firm Template, Anti-Money Laundering Program: Compliance and Supervisory Procedures SEC Anti-Money Laundering Source Tool FinCEN’s Guidance, Application of the Requiring Special Due Diligence Programs for Certain Foreign Accounts to the Securities and Futures Industries, May, 10, 2006