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The Changes in the US AML/ATF Arena

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The Changes in the US AML/ATF Arena Rudolph F. Zepeda, Jr. Federal Reserve Bank of Atlanta Miami Branch Almost six years after the USA Patriot Act toughened banks ... – PowerPoint PPT presentation

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Title: The Changes in the US AML/ATF Arena


1
The Changes in the US AML/ATF Arena
  • Rudolph F. Zepeda, Jr.
  • Federal Reserve Bank of Atlanta
  • Miami Branch

2
Almost six years after the USA Patriot Act
toughened banks' anti-laundering requirements,
large banking companies continue to face massive
fines for failures in their programs. More large
fines are undoubtedly on their way
3
(No Transcript)
4
Banks Can Never Rest
  • Every time you think you have it covered, you
    constantly have to update what you do
  • ABN Amro Holding NV 80 million but may receive a
    second penalty of nearly 500 million
  • FINCEN keeps updating its guidelines.
  • http//www.fincen.gov/pub_main.html

5
U.S. Governments Concern
  • Treasury Dept. considering sweeping structural
    changes in U.S. financial services system, such
    as, consolidating regulatory agencies and
    combining charters of federal and savings
    institutions.
  • May put the primary responsibility on blocking
    those transactions on financial institutions and
    other payment processors that have banking
    relationships with Internet gambling companies.

6
Law Enforcement Latest Concern
  • Stop Money Laundering by
  • Increasing fines and sanctions
  • Forfeiture of assets which revert to the State
  • Utilize Cash Transaction Reports (CTRs) to
    follow the Money
  • Stop Terrorist Financing
  • Increasing intelligence utilizing SARs
  • Consider the newest technological advances such
    as stored value cards as a vehicle to move funds.

7
Bankers Concerns
  • Costs continue to increase in order to establish
    an efficient AML/ATF program
  • In trained personnel
  • Information technology (IT)
  • Enterprise-wide programs
  • Throwing money at the problem doesnt solve it
    and despite the cost can still result in fines
    and sanctions. (Union Bank)
  • Direct competition from non-regulated entities
  • Impatient regulators, who tolerated problems in
    the past because systems were being acquired.

8
Legislators Concern
  • The creation of a single, monolithic federal bank
    regulator, given the enormous power bank
    regulators have over financial institutions.
  • Increasing regulatory burden
  • Lessons from the recent sub-prime crisis require
    further regulation of non-bank financial
    institutions

9
Regulators Concerns
  • More detailed regulations and laws are on their
    way
  • Banks have had 6 years to comply
  • Bank directors have to take AML training
    seriously and incorporate into culture

10
Regulators Concerns
  • The days when bank management tells us that a new
    system or new AML officer hires need time to
    improve the existing system are over.
  • If they have not made progress despite spending
    within a 12 month period
  • Supervisory actions and fines will increase if no
    progress has been made in an appropriate time.

11
Regulators Concerns
  • With the new legislation and GAO scrutiny
  • Require more experienced personnel and
  • Update examiners knowledge on new software and
    technology
  • Expand AML examination programs to
  • Large Banks
  • Community Banks
  • And the need for SEC and NASD to step up AML
    compliance on broker-dealers.

12
Basic Elements of Sound AML Program for
Broker-Dealers
  • A comprehensive assessment in order to determine
    the risks certain products and product groups
    pose for money laundering and terrorist
    financing.
  • A complete analysis to understand the universe of
    all transaction types the institution utilizes.
  • A comprehensive assessment to determine the risk
    the customer base poses for money laundering and
    terrorist financing.
  • Evaluate whether the commercial AML monitoring
    system to be implemented can be customized to the
    specific needs and trading activity of the
    broker-dealer, or whether the logic of the
    detection scenarios is "set in stone."
  • Determine the amount of post-implementation
    support the broker-dealer can expect from an AML
    monitoring system vendor.

13
Major Changes Affecting the Caribbean
  • Correspondent Bank Accounts
  • Heightened scrutiny due to new issuance of
    updated Bank Secrecy Act/Anti-Money Laundering
    Examination Manual
  • Outlawing internet gambling
  • The shift by money launderers to trade-based
    money laundering.
  • The need to look at AML enterprise-wide
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