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Title: Get to Know Your Customer:


1
Get to Know Your Customer
  • Complying with New Regulations Under USA PATRIOT
    Act Section 326

2
Welcome
  • THOMAS ROLLAUER
  • Partner
  • Deloitte Touche

3
Agenda
  • Welcome
  • Thomas Rollauer, Partner, Deloitte Touche
  • Overview of Section 326 Regulations
  • Susan Levey, Director, Deloitte Touche
  • Key Issues and Industry Perspectives Section 326
    Requirements Challenges
  • Vincent J. Weltz, Vice President-AML Officer,
    Risk Management Investigations, Charles Schwab
    Co.
  • Judith C. Gruenbaum, Interim BSA/AML Compliance
    Officer, Bank One Corporation
  • Other Key Issues for Consideration
  • Bob Molloy, Sr. Manager, Deloitte Touche
  • Questions Answers

4
Overview of Section 326 Regulations
  • SUSAN LEVEY
  • Director
  • Deloitte Touche

5
Background
  • On May 9th 2003, the Department of the Treasury
    ("Treasury"), Financial Crimes Enforcement
    Network ("FinCEN"), and the various federal
    functional regulators published in the Federal
    Register four final Bank Secrecy Act ("BSA")
    regulations implementing the customer
    identification provisions of Section 326 of the
    USA PATRIOT Act, 31 U.S.C. 5318(l). 68 Fed.
    Reg. 25,089 25,149.
  • Effective Date The regulations are effective 30
    days from the date of publication in the Federal
    Register.
  • Compliance Date Financial institutions will
    have until October 1, 2003, to comply with the
    new rules.

6
Background
  • Final customer identification regulations issued
    by Treasury for the following financial
    institutions
  • Banks, savings associations, federally-insured
    credit unions, and uninsured state-licensed
    credit unions, private banks and trust companies
    that do not have a federal functional regulator
  • Securities broker-dealer
  • Mutual funds
  • Futures commission merchants ("FCMs") and
    introducing brokers ("IBs")
  • Treasury to propose separate customer
    identification rules for
  • Insurance Companies
  • Loan and Finance Companies
  • Other non-bank financial institutions (that are
    not regulated by a federal functional regulator)

7
Background
  • Section 326 of the USA PATRIOT Act, Customer
    Identification and Verification regulation
    (CIP) require financial institutions to, at a
    minimum, implement reasonable procedures to
  • Verify the identity of a person seeking to open
    an account (to the extent reasonable and
    practical)
  • Maintain records of information used to verify
    the person's identity, including name, address
    and other identifying information
  • Determine whether the person seeking to open an
    account appears on any government lists of known
    or suspected terrorists organizations

8
Background
  • One Size Does Not Fit All
  • Your CIP Program should be risked-based and
    tailored to your financial institutions
    business. Risk factors that should be considered
    include
  • Size of your financial institution
  • Location of your customer base
  • Customer base (e.g., high risk entities)
  • Methods for opening accounts (e.g., on-line
    accounts)
  • Types of accounts and types of transactions

9
Background
  • Customer Identification Rules vs. Know Your
    Customer Rules
  • Section 326 Regulations focus on identification
    of customer
  • Identifying a named accountholder
  • Ensuring the accountholder is the person
    represented to be
  • Information must be obtained prior to opening an
    account
  • Compliance with these regulations is not a
    substitute for conducting appropriate risk-based
    due diligence.
  • Know Your Customer Rules require ongoing
    responsibility
  • To gain an understanding of customer and expected
    activity in account
  • To continually monitor activity given the
    financial institutions understanding of expected
    customer behavior

10
Background
  • Overview of Comment Letters
  • Commenters objected to the requirement that
    financial institutions verify the identity of an
    existing customer seeking to open a new account.
  • Result Final rule excludes from the definition
    of customer a person with an existing account
    at a financial institution, provided the
    financial institution has a reasonable belief it
    knows the true identity of the person.
  • Commenters concerned about proposed requirements
    that financial institutions verify identity of
    signatories on accounts or persons authorized to
    effect transactions.
  • Result Definition of customer no longer
    includes "signatories" to a bank account or
    persons authorized to effect transactions through
    a securities account. A CIP should address
    situations where additional steps will be taken
    to verify the identity of a customer, including
    information about individuals with authority or
    control over the account and signatories.

11
Background
  • Overview of Comment Letters, continued
  • Commenters suggested clarification to extent to
    which they could rely on a third party,
    especially an affiliate, to perform some or all
    aspects of its CIP.
  • Result Provisions have been added to the Final
    Rules, setting forth the circumstances under
    which a financial institution can rely on another
    regulated financial institution, including an
    affiliate, to perform some or all of the
    financial institution's customer identification
    and verification responsibilities.

12
Definitions
  • Definition of a Customer
  • A person that opens a new account the named
    accountholder
  • An individual who opens a new account for
  • (1) An individual who lacks legal capacity,
    such as a minor or
  • (2) An entity that is not a legal person, such
    as a civic club.
  • Exclude accounts with the named customer as the
    following
  • A financial institution regulated by a federal
    functional regulator
  • Banks regulated by a state bank regulator
  • Governmental agencies and domestic operations of
    companies that are publicly traded or
  • A person that has an existing account with a
    financial institution, provided that the
    financial institution has a reasonable belief
    that it knows the true identity of the person.

13
Minimum Requirements
  • General
  • Each financial institution must establish,
    document and maintain a Customer Identification
    Program (CIP).
  • CIP must be appropriate for the financial
    institutions size, location, customer base, type
    of business and method of opening accounts.
  • CIP must be a part of the financial institutions
    anti-money laundering compliance program.
  • Identity Verification Procedures
  • At minimum, following information must be
    obtained prior to opening account
  • Name
  • Date of birth
  • Address
  • Identification number
  • US SS, TIN, or employee identification number
    Non-US TIN, passport number including country of
    origin, alien identification card, or number
    country of issuance of any other government
    issued document evidencing nationality)

14
Minimum Requirements
  • Identity Verification Procedures (continued)
  • CIP must include risk-based procedures for
    verifying identity of each customer to the extent
    reasonable and practicable
  • CIP must include procedures describing when
    financial institution will use documents,
    non-documentary methods, or a combination of both
    methods, to verify identities
  • CIP must set forth non-documentary methods
    financial institution will use (if it is relying
    on non-documentary methods)
  • CIP must address circumstances in which
    additional verification of customer
    identification is required use a risk-based
    approach
  • CIP should contain procedures on when not to open
    account, the terms under which the customer may
    use account while verification is pending, when
    to file a SAR, and when to close an account after
    verification procedures fail.
  • (Customer verification should be performed
    within a reasonable time before or after the
    account is opened.)

15
Minimum Requirements
  • Recordkeeping Required Records
  • CIP must include procedures for making and
    maintaining records related to customer
    verification.
  • Record must include
  • Identifying information about a customer
  • A description of the documents relied on, noting
  • Type of document
  • Any identification number contained in document
  • Place of issuance
  • Issuance and expiration dates
  • Description of methods and results of any
    measures undertaken to verify identity
  • Description of resolution of any substantive
    discrepancy discovered when verifying
    identifying information obtained

16
Minimum Requirements
  • Recordkeeping Retention of Records
  • Customer identification information must be
    retained for five years after an account is
    closed (or, for credit card accounts, after the
    account becomes dormant)
  • Records related to verification of customer
    identification must be retained for five years
    after the record is made.

17
Minimum Requirements
  • Comparison with Government Lists
  • CIP must include procedures for determining
    whether a customer appears on any list of known
    or suspected terrorists or terrorist
    organizations issued by any Federal government
    agency and designated as such by Treasury.
  • Treasury and federal functional regulators have
    not designated a Section 326 list. Law
    enforcement is developing list differing from
    Office of Foreign Assets Control ("OFAC") lists
    (which must be checked without respect to new
    regulations) and Section 314 lists of suspected
    terrorists and money launderers (which financial
    institutions receive periodically and Treasury
    has indicated generally should not be used in
    conjunction with opening account relationships,
    but only to identify accounts or transactions
    with the listed persons in the past).
  • Customer Notification
  • The CIP must include procedures for providing
    customers with adequate notice that the financial
    institution is requesting information to verify
    their identities.
  • Notice may be posted in the financial
    institutions lobby, website, account
    applications, or other form of oral and written
    notice or
  • Be given prior to the opening of an account.

18
Minimum Requirements
  • Reliance on Other Financial Institutions
  • CIP may include procedures for identifying
    circumstances under which a bank, broker-dealer,
    mutual fund, FCM or IB (collectively the
    Financial Entity) will rely on another financial
    institutions performance of CIP
  • Reliance must be reasonable
  • The other financial institution must be subject
    to Section 352 and
  • The other financial institution must enter into a
    contract requiring it to certify annually to the
    Financial Entity that it has implemented an
    anti-money laundering program and will perform
    specified requirements of the Financial Entitys
    CIP.

19
CIP Approval
  • Banks
  • Treasury regards addition of CIP to banks BSA
    compliance program to be a material change in BSA
    compliance program that requires board approval.
  • Broker-Dealers
  • Final rule requires a broker-dealers CIP to be
    part of overall AML programs pursuant to NASD
    Rule 3011 and NYSE Rule 445.
  • Mutual Funds
  • AML programs already required to be approved by
    mutual funds board. As CIP is a part of funds
    AML program, separate approval is not required.
  • FCMs and IBs
  • Final rule requires CIP to be part of AML
    program required of FCMs and IBs under 31 U.S.C.
    5318(h). NFA Compliance Rule 2-9(c) requires AML
    programs be approved in writing by member of
    FCMs or IBs senior management.
  • (A broker-dealer or mutual fund with AML
    program approved as required must obtain approval
    of a new CIP, as it would be a material change to
    the AML program.)

20
Section 326 Requirements Challenges
  • VINCENT J. WELTZ
  • Vice President AML Officer
  • Risk Management Investigations
  • Charles Schwab Co.

21
Section 326 Requirements Challenges
  • All firms must conduct a re-evaluation of
    processes to ensure specific verification steps
    are documented and followed in practice
  • Verification processes must be documented and
    articulated (when, how, why, etc.)
  • Documentary verification
  • When this process is used
  • Recording identification media
  • Acceptable identification media
  • Acceptable alternatives if required documentation
    is not available
  • Non-documentary verification
  • When this process is used
  • Recording results
  • Acceptable feedback from vendors

22
Section 326 Requirements Challenges
  • Client denial processes must articulate steps
    to be taken, depending on fact pattern
  • Credit risk issues
  • Bad credit
  • NSF history
  • Firms hot file
  • Client notification
  • Inadequate documents
  • No credit history
  • (e.g., recently issued SSN)
  • No bank or credit references
  • Client notification
  • Client
  • Refusal to provide documents
  • Privacy issues
  • Deception
  • Fraudulent documents/ID theft
  • Stolen identification media
  • Altered identification media
  • Manufactured identification media
  • No client notification escalation
  • to Risk/AML function

23
Section 326 Requirements Challenges
  • Escalation procedures will vary with the specific
    issues in need of resolution
  • Evaluation of inadequate documentation
  • Lack of history
  • Remediation process
  • Lack of cooperation vs. intent to deceive
  • Unsophisticated client
  • Dishonest client escalation to Risk/AML
    function
  • Escalation to Risk/AML function
  • Evaluation of facts relating to the matter at
    hand
  • Investigation steps to be taken to resolve the
    verification conflict
  • Documentation of the rationale as to whether or
    not a SAR needs to be filed

24
Key Issues Industry PerspectivesChallenges
for Large Institutions
  • JUDITH C. GRUENBAUM
  • Interim BSA/AML Compliance Officer
  • Bank One Corporation

25
Challenges for Large Institutions
  • Who is an existing customer?
  • Final regs provided relief from requirement to
    verify existing customers, but only to extent
    that institution has reasonable belief it still
    knows true identify of customer
  • Banks struggling with defining reasonable
    belief? There is no regulatory guidance
  • Reasonable belief might be
  • Customer has been customer for some defined
    period of time
  • Account has operated without incident
  • Customer information for second account is same
    identifying information for first account

26
Challenges for Large Institutions
  • Proving compliance through record keeping and
    retention
  • Retention of identifying information for 5 years
    after account is closed is required.
  • Retention of verification information is required
    for 5 years after information recorded.
  • If documentary verification is to be relied upon,
    and photocopies of IDs not retained, then the
    following information must be retained for each
    document type of document identification
    number date of issuance, place of issuance, and
    expiration date.
  • Non-documentary requires description of method
    and results.
  • Both types of verification require a record of
    how substantive discrepancies were resolved.

27
Challenges for Large Institutions
  • Employee training
  • Training regarding technology changes to account
    opening systems.
  • General awareness training about the requirements
    of the USA PATRIOT Act
  • Procedural training for resolving situations
    where initial attempts to verify customer have
    failed and specific steps that must be taken,
    including possible account closure and recording
    actions taken for record keeping purposes.

28
Challenges for Large Institutions
  • Technology implementation by 10/1/03
  • Front-end account opening systems will need to be
    modified to comply with capturing of all
    required data elements.
  • Foreign ID number and country of issuance, not
    just SSN or TIN
  • For applications that only permit a single
    address, that address required is a physical
    address. If mailing address will be different,
    that field will need to be added.
  • Store information centrally or on individual
    systems?
  • Indicator fields for whether documentary,
    non-documentary verification, no verification
    required, channel opened (e.g., Internet,
    telephone).
  • Regs provide flexibility but require institutions
    to make decisions quickly.
  • Technology changes take time will you be ready
    by 10/1/03?

29
Other Key Issues for Consideration
  • BOB MOLLOY
  • Senior Manager
  • Deloitte Touche

30
Other Key Issues for Consideration
  • Reasonableness standard and risk-based tenet
  • Must ensure CIP has minimum standards
  • Must create and utilize risk grid
  • Must document procedures
  • Give Backs are not always as they seem
  • BSA needs board approval
  • Must capture residential (and mailing) address
  • Dont need to retain records you need to create
    record
  • Dont need to screen signatories do you?
  • Infrastructure changes
  • Incorporate risk grid
  • Initiate enhanced due diligence
  • Document work effort

31
Other Key Issues for Consideration
  • Time and resources
  • Define regulatory requirements
  • Determine how to implement across all business
    sectors
  • Identify issues and gaps
  • Determine appropriate remedies
  • Find and contract vendors
  • Build a risk-assessment grid
  • Work with IT to implement grid, reroute
    investigative efforts, make changes to
    data-capture screens and capture workflow
  • Document all requirements, procedures and
    determinations to your CIP
  • Incorporate your CIP in your BSA and get board
    approval
  • Craft an employee training program
  • Train internal audit or contract for outside
    review

All in just over 4 months!!
32
Quick Poll

33
Poll What is the completion status of your
institution's Se...
  • PlaceWare Multiple Choice Poll. Use PlaceWare gt
    Edit Slide Properties... to edit.
  • Under 20
  • 21-50
  • 51-80
  • Over 80

34
Poll How will you assess the riskiness of a
customer?
  • PlaceWare Multiple Choice Poll. Use PlaceWare gt
    Edit Slide Properties... to edit.
  • Automated risk grid/scoring model
  • Manual risk checklist
  • Combination of the above
  • Don't know yet

35
Poll How will you document the customer's
identification?
  • PlaceWare Multiple Choice Poll. Use PlaceWare gt
    Edit Slide Properties... to edit.
  • Electronically document and capture
  • Manually document and capture electronically
    later
  • Manually document and store paper documentation
  • Don't know yet

36
Poll Will you document verification procedures
the same way...
  • PlaceWare Yes/No Poll. Use PlaceWare gt Edit
    Slide Properties... to edit.
  • Yes
  • No

37
Poll How high a priority is complying with
Section 326 with...
  • PlaceWare Multiple Choice Poll. Use PlaceWare gt
    Edit Slide Properties... to edit.
  • Very high
  • High
  • Moderate
  • Low
  • Very low

38
Poll Which level of effort will your institution
have to un...
  • PlaceWare Multiple Choice Poll. Use PlaceWare gt
    Edit Slide Properties... to edit.
  • Major effort
  • Moderate effort
  • Minor effort
  • Already in compliance
  • Dont know

39
Questions Answers

40
Contacts
  • Thomas Rollauer, Partner, Regulatory Services,
    212-436-4802, trollauer_at_deloitte.com
  • Susan Levey, Director, Regulatory Services,
    973-683-8418, slevey_at_deloitte.com
  • Bob Molloy, Sr. Manager, National 326 Leader,
    404-220-3525, rmolloy_at_deloitte.com
  • Judith C. Gruenbaum, Bank One, 614-244-0874,
    judith_c_gruenbaum_at_bankone.com
  • Vincent J. Weltz, Charles Schwab, 415-636-3324,
    vincent.weltz_at_schwab.com

41
Get to Know Your Customer
  • Complying with New Regulations Under USA PATRIOT
    Act Section 326
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