乐鱼(Leyu)体育官网

Industries

Helping clients meet their business challenges begins with an in-depth understanding of the industries in which they work. That鈥檚 why 乐鱼(Leyu)体育官网 LLP established its industry-driven structure. In fact, 乐鱼(Leyu)体育官网 LLP was the first of the Big Four firms to organize itself along the same industry lines as clients.

How We Work

We bring together passionate problem-solvers, innovative technologies, and full-service capabilities to create opportunity with every insight.

Learn more

Careers & Culture

What is culture? Culture is how we do things around here. It is the combination of a predominant mindset, actions (both big and small) that we all commit to every day, and the underlying processes, programs and systems supporting how work gets done.

Learn more

Proposal to Strengthen AML/CFT Programs Under BSA

Navigating the New AML/CFT Compliance Landscape

flag flying in front of capital building

乐鱼(Leyu)体育官网 Insights:

  • Expanding AML/CFT: Increasing expectations and regulatory coverage for robust and consistent AML/CFT risk programs across financial institutions.
  • Emerging Risk/Continuous Improvement: Focus on a 鈥渞easonably designed鈥�, risk-based AML/CFT program, including a mandatory risk assessment process and inclusion of 鈥済overnment-wide AML/CFT priorities鈥�.
  • Supervision and Enforcement: Expect continued supervisory intensity with associated focus on maintaining/increasing needed talent/skillsets, tooling/automation, and investments - including in such areas as AML programs, fraud, and SAR identification/filing.

_______________________________________________________________________________________________________________________________________

The Department of the Treasury鈥檚 Financial Crimes Enforcement Network (FinCEN) issues a that is intended to 鈥渟trengthen and modernize鈥� anti-money laundering (AML) and countering the financing of terrorism (CFT) programs pursuant to the Anti-Money Laundering Act of 2020 (AML Act).

The proposal would amend existing regulations to require financial institutions (including banks, broker-dealers, insurance companies, casinos, money services businesses and dealers in precious metals) to establish, implement and maintain effective, risk-based AML/CFT programs with certain minimum components, including a mandatory risk assessment and inclusion of 鈥済overnment-wide AML/CFT priorities鈥�. The program would also need to be reasonably designed to identify, manage, and mitigate risks associated with illicit finance, consistent with the Bank Secrecy Act (BSA) and the goal of safeguarding the U.S. financial system and national security.

In conjunction with 贵颈苍颁贰狈鈥檚 release, the Federal Reserve Board (FRB), Federal Deposit Insurance Corporation (FDIC), Office of the Comptroller of the Currency (OCC), and National Credit Union Administration (NCUA) jointly propose a rule that would amend each agency鈥檚 BSA compliance program requirements to align with 贵颈苍颁贰狈鈥檚 proposal.

FinCEN Proposal to Strengthen AML/CFT Programs

Proposal. 贵颈苍颁贰狈鈥檚 seeks to 鈥渟trengthen and modernize鈥� AML/CFT programs at financial institutions by amending its existing regulations to:

  • Explicitly require financial institutions to establish, implement, and maintain effective, risk-based, and reasonably designed AML/CFT programs with certain minimum components, including a mandatory risk assessment process.
  • Incorporate 鈥済overnment-wide AML/CFT priorities鈥�, as appropriate, into those risk-based AML/CFT programs. (Pursuant to the AML Act, FinCEN published the first AML/CFT priorities in , and will update the list every four years.)
  • Promote clarity and consistency across different types of financial institutions. (Note: Some rules may currently apply to some but not all financial institutions and applications by type of financial institution may differ.)

Scope. The proposed rule would apply to financial institutions defined to include banks; casinos and card clubs (casinos); money services businesses (MSBs); brokers or dealers in securities (broker-dealers); mutual funds (MFs); insurance companies; futures commission merchants and introducing brokers in commodities; dealers in precious metals, precious stones, or jewels; operators of credit card systems; loan or finance companies; and housing government sponsored enterprises (GSEs). (Earlier this year, FinCEN issued a proposed rule that would add 鈥渋nvestment advisers鈥� to the definition of 鈥渇inancial institution鈥� 鈥� see 乐鱼(Leyu)体育官网 Regulatory Alert, here.)

Key AML/CFT Program Components

AML/CFT Programs

Effective, reasonably designed, risk-based AML/CFT program that:

  • Includes a mandatory risk assessment process.
  • Is updated periodically.
  • Is documented.

The Risk Assessment process would serve as the basis for the AML/CFT program and must:

  • Incorporate 贵颈苍颁贰狈鈥檚 AML/CFT priorities.
  • Consider money laundering and terrorist financial risks based on the financial institutions business activities, products, services, distribution channels, customers, intermediaries, and geographic locations.
  • Consider reports filed pursuant to BSA regulations (e.g., suspicious activity reports).

Internal policies, procedures, and controls

Internal policies, procedures, and controls must reasonably manage and mitigate identified money laundering and terrorist financing risks and ensure ongoing compliance with the BSA and implementing regulations.

Designation of AML/CFT Program Officer(s)

One or more qualified individuals must be designated as an AML/CFT officer responsible for coordinating and monitoring day-to-day compliance.

Employee Training

Employee training programs must be ongoing, risk-based, and focused on risk areas identified in the risk assessment process. The frequency of training should be commensurate with the risk profile of the financial institution and targeted to the roles and responsibilities of employees.

Independent Testing

AML/CFT programs must undergo independent, periodic testing by qualified personnel of the financial institution or by a qualified outside party. The frequency of testing should be based on the risk profile of the financial institution, changes in the risk profile, and the overall risk management strategy, as informed by the risk assessment process.

Other (application may vary between financial institutions)

Board Oversight and Approval. AML/CFT programs and components must be overseen (including governance mechanisms, escalation and reporting lines), documented, and approved by the institution's board of directors or an equivalent governing body.

Customer Due Diligence. Establish risk-based procedures for conducting CDD including but not limited to:

  • Maintaining and updating customer information.
  • Understanding the nature and purpose of customer relationships.
  • Conducting ongoing monitoring to identify and report suspicious transactions.

Persons in the United States. The duty to establish, maintain, and enforce the AML/CFT program is the responsibility of, and must be performed by, persons in the United States who are accessible to and subject to oversight and supervision by FinCEN and the Federal functional regulator.

FinCEN also proposes technical changes and modifications to the AML/CFT program requirements for individual types of financial institutions covered by the proposed rule.

Note: As part of regulators heightened risk standards focus, financial institutions are facing increased regulatory scrutiny in the management of financial crime risks. Financial institutions should expect continued supervisory intensity (and enforcement activity) on AML/CFT/BSA and CDD compliance along with attention to continuously assessing risk, implementing risk-based compliance programs, maintaining/increasing needed talent/skillsets, tooling/automation, and investments - including in such areas as AML/CFT programs, fraud, and SAR identification/filing. (See 乐鱼(Leyu)体育官网 Regulatory Alert, here.)

Request for comment. Comments are requested no later than September 3, 2024. FinCEN seeks feedback on a variety of questions, including questions related to incorporation of the AML/CFT priorities, the risk assessment process and related updates, de-risking and financial inclusion, the requirement for 鈥減ersons in the United States鈥�, the likelihood of investment in updating or new technology due to the rule, potential efficiencies, burden categories, and the impact on current compliance costs.

Final Rule Effective Date. FinCEN proposes an effective date that is six months from the date of issuance of the final rule.

Interagency Proposal to Align BSA Compliance Programs with FinCEN

In a separate but related action, the FRB, FDIC, OCC, and NCUA jointly a rule that would amend each agency鈥檚 BSA compliance program requirements to align with 贵颈苍颁贰狈鈥檚 proposed AML/CFT program requirements.

Request for comment. The agencies request comment on or before 60 days after the date of publication in the Federal Register.听

Dive into our thinking:

FinCEN Proposal to Strengthen AML/CFT Programs Under BSA

Navigating the New AML/CFT Compliance Landscape

Download PDF

Explore more

Get the latest from 乐鱼(Leyu)体育官网 Regulatory Insights

乐鱼(Leyu)体育官网 Regulatory Insights is the thought leader hub for timely insight on risk and regulatory developments.

Thank you

Thank you for signing up to receive Regulatory Insights thought leadership content. You will receive our next issue when we publish.

Get the latest from 乐鱼(Leyu)体育官网 Regulatory Insights

乐鱼(Leyu)体育官网 Regulatory Insights is the thought leader hub for timely insight on risk and regulatory developments. Get the latest perspectives on evolving supervisory, regulatory, and enforcement trends.听

To receive ongoing 乐鱼(Leyu)体育官网 Regulatory Insights, please submit your information below:
(*required field)

By submitting, you agree that 乐鱼(Leyu)体育官网 LLP may process any personal information you provide pursuant to 乐鱼(Leyu)体育官网 LLP\'s .听

An error occurred. Please contact customer support.

Thank you!

Thank you for contacting 乐鱼(Leyu)体育官网.听We will respond to you as soon as possible.

Contact 乐鱼(Leyu)体育官网

Use this form to submit general inquiries to 乐鱼(Leyu)体育官网. We will respond to you as soon as possible.

By submitting, you agree that 乐鱼(Leyu)体育官网 LLP may process any personal information you provide pursuant to 乐鱼(Leyu)体育官网 LLP\'s .听

An error occurred. Please contact customer support.

Job seekers

Visit our careers section or search our jobs database.

Submit RFP

Use the RFP submission form to detail the services 乐鱼(Leyu)体育官网 can help assist you with.

Office locations

International hotline

You can confidentially report concerns to the 乐鱼(Leyu)体育官网 International hotline

Press contacts

Do you need to speak with our Press Office? Here's how to get in touch.

Headline