Title: The IMF and the International AMLCFT Standards
1The IMF and the International AML/CFT Standards
- Workshop in Public-Private Cooperation in
Combating the Financing of Terrorism - Zurich, Switzerland, December 56, 2005
- R. Barry Johnston
- International Monetary Fund
2Content
- The IMFs work with respect to AML/CFT
- Assessments
- Views on compliance with international standards
- Technical assistance
- Current challenges for countries and the
international community - Issues going forward
- Sequenced approach to implementation of the
international AML/CFT standard - Regional perspectives some observations of the
current situation and the next steps
3Fund/Bank Work on AML/CFT
- Since 2001, Fund and Bank have developed
substantial expertise and experience in AML/CFT - Fund/Bank have carried out numerous assessments
against the AML/CFT standard - Assessments have been supported with technical
assistance - Assessments and TA carried out in close
cooperation with a broad range of collaborators
and donors FATF, FSRBs, UN Agencies, bilateral
donors
4Assessments
- During the Pilot Program (20022004)
- IMF-World Bank Combined
38 - FATF/FSRB Combined 21
- 2004 Methodology (Planned Annual Rate 200405)
- IMF-World Bank Combined 1215
- FATF/FSRB Combined 2025
-
5Implementing International StandardsA Challenge
for Both Countries and for the International
Community
- Revisions to the FATF Recommendations have
increased the complexity of the standard - Widened the application of Preventive
MeasuresDNFBPs, Informal Remittances, Charities - Strengthened preventive measures and emphasis on
implementation - Expanded requirements for FIUs
- Increased emphasis on implementation of Special
Recommendations on Terrorist Financing
6Most Countries Fall Short of the Newly Revised,
Rigorous AML/CFT Standard
7Compliance with the 9 Recommendations against the
Financing of Terrorism
8Common Shortcomings
- Gaps in legal framework, particularly with
respect to terrorist financing and new areas - Barriers to international cooperation
- Little awareness of AML/CFT risks by public and
private sectors - Poor coordination among government agencies
- Ineffective law enforcement
- Weak supervision
- Inadequate systems and controls among financial
firms - Difficulties in designing balanced regulations
for remittance service providers, non-profit
organizations and DNFBPs
9The Role of Fund/Bank in AML/CFT Technical
Assistance
- Fund/Bank strengths in legislation and financial
systems (supervisory aspects) and global reach
not readily available elsewhere - Fund/Bank work complements on-going work of other
donors in law enforcement - Fund/Bank priorities addressed through
- Outreach
- Training
- Bilateral Technical Assistance
10TA Activities from Jan 2004 to June 2005(IMF/WB
together)
11Technical Assistance Jan 2004 June 2005
12Approximate Regional Distribution of all IMF/WB
Activities
13Coordination, Training, and Outreach
Engaged in approximately 195 activities January
2004 June 2005 to
- Coordinate activities with FSRBs and other
international bodies - Train mutual evaluators of FATF-style regional
bodies - Raise awareness among public and private sectors,
both regionally and bilaterally - Develop policies on remittances and new sectors
(DNFBPs)
14Results of Our Technical Assistance
- 37 countries are at various stages of
adopting/revising AML/CFT legislation on the
basis of the TA provided - 19 are developing supervisor guidance, inspection
manuals and more recently, guidance notes - TA provided has contributed to the establishment
or strengthening of FIUs - Regional workshops on AML/CFT have been
successful in providing training to approximately
1000 officials from 111 countries
15Key Challenges in Implementing the Recommended
Reforms
- Corruption and weak governance
- Achieving sufficient political commitment
- High start-up and ongoing costs to implement the
AML/CFT standard - Low-income countries face resource constraints in
implementing AML/CFT regimes
16Addressing the Rudimentary Nature of the AML/CFT
Regimes in many Countries
- Building political commitment including to
coordinate the efforts to fight corruption and
money laundering - Intensifying technical assistance
effortsadditional resources are need form donors - Attention to sequencing in implementation to take
account of - Capacity and resource constraints in view of the
high start-up and ongoing costs of implementation - Significant ML/FT risks
- Risks to the economies for noncompliance
17Sequencing in Implementation
Awareness Raising
Conduct TA Needs Assessment and Develop
Sequenced TA plan
P o l i c i e s
Create/Update Legal Framework
Build Supervisory Capacity
Develop an FIU
Address DNFBPs
Stage I Stage 2 Stage 3
18Areas to Prioritize as Part of a Sequenced
Approach?
- Criminalization of ML/FT activities
- Effective preventive measures in the banking
system, including the global network of
correspondent accounts, and wire transfers - Asset freezing and forfeiture regimes
- Cooperation and information sharing arrangements
- Establishment of financial intelligence units
19Regional Perspectives Africa
- Only a few countries in Africa have implemented
AML/CFT regimes, most have only rudimentary
AML/CFT measures - Priority to deepen political commitment, and
raise public awareness of AML/CFT through
outreach and awareness raising - Major risks involve potential loss of access to
international fund flows (through restrictions on
correspondent banking and remittances) and abuse
for ML/FT
20Regional Perspectives Asia Pacific
- More advanced than Africa, but several countries
have very rudimentary systems - Some countries are taking initial steps to
establish AML/CFT regimes while others try to
deepen their already existing AML/CFT
infrastructure - Needs assessments missions focusing on the
identification of gaps and developing priorities
for these countries - Some countries face risks of loss of
correspondent accounts and restrictions on
remittance flows
21Regional Perspectives Eastern and Central Europe
- Delivery of TA has included intensive needs
assessments and assistance in the creation and
strategic development of the basic framework for
AML/CFT in a number of countries, mostly in the
Balkan region and some CIS countries - Increasingly, emphasis is being placed on
strengthening FIUs, the role of nonbank financial
institutions and designated nonfinancial
businesses and professions, and the training of
criminal justice officials
22Regional Perspectives Middle East, Central
Asia, and Caucasus
- Limited AML/CFT infrastructure in many Middle
East and Central Asian countries, TA needs are
considerable - Legal drafting and capacity building including
development of skills of financial sector
regulators are anticipated to be priorities
23Regional Perspectives Latin America and the
Caribbean
- Most countries in the region have established
AML/CFT mechanisms with significant variations in
their scope and degree of implementation among
them - The existence of significant offshore financial
sectors in some countries calls for enhanced
attention, resources, and TA for regulators of
these sectors - After an initial high level of demand for
assistance with respect to the banking sector,
the demand for TA has shifted to new areas,
especially the insurance sector and FIUs
24Conclusion
- Rudimentary AML/CFT systems in many countries
- Intensified global effort
- Building political commitment
- Resources for technical assistance
- Recognition of need for a sequenced approach to
address key risks and capacity constraints