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Heightened Risk Standards: Focus on AML/BSA

Increased regulatory scrutiny in the management of AML/BSA

乐鱼(Leyu)体育官网 Regulatory Insights

  • Regulatory Intensity:听Expanded AML breadth/depth of supervisory and enforcement actions, regulatory industry AML risk alerts and evolving regulations in areas of BSA, CFT, and KYC/CDD.
  • Data Lineage and Quality:听Focus on traceability of data at both the customer and transaction level, as well as across business processes.
  • Transaction Monitoring:听Quality of transaction monitoring and surveillance systems, models, processes, and controls, with expectations for increased effectiveness, strength of underlying models, and innovation.
  • Expansion of Threats:听Expansion of emerging threats and vulnerabilities (e.g., virtual currencies, sanctions evasion, malware/ransomware, human rights/forced labor, and fraud).
  • Skills/Talent Matter:听Breadth of skills/talent in day-to-day operations of AML reviews, investigations, and escalations; dynamic assessment of staffing needs.

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As part of the heightened risk standards focus, financial institutions are facing increased regulatory scrutiny in the management of Anti-Money Laundering (AML) and Bank Secrecy Act (BSA) risks. It is crucial for these institutions to understand regulatory expectations and requirements to implement robust compliance programs capable of effectively mitigating risks related to financial crime.

Supervision/Enforcement

With the continuous evolution of sophisticated financial crime patterns, regulators are committed to providing guidance and support for institutions to effectively manage and mitigate financial crime risks. Regulatory focus in areas such as AML/BSA/CFT (Countering the Financing of Terrorism), Know Your Customer (KYC)/Customer Due Diligence (CDD), and transactional activity will continue along with attention to continuously assessing risk and implementing risk-based compliance programs.

In addition to heightened supervisory efforts, there is an uptick in AML/BSA enforcement activities with allegations such as:

  • Failing to implement/maintain 鈥渆ffective AML programs鈥�
  • Violating BSA Customer Identification Program rules
  • Having deficient third-party risk management controls
  • Engaging in unsafe or unsound practices relating to AML/BSA internal controls and/or sanctions compliance

With each of the above, regulators are looking at heightened expectations in such areas as:

  • Data Lineage and Quality:听Abilities to demonstrate, and report on, the traceability of data at both the customer and transaction level, as well as across business processes, systems of record, and systems of origin.
  • Transaction Monitoring and Other Key Program Elements:听The quality of transaction monitoring and surveillance systems, processes, and controls, with expectations for increased accuracy and consistency. Regulatory focus in areas such as AML/BSA/CFT, trading activity, and KYC/CDD and beneficial ownership monitoring will continue along with attention to preparations for implementing risk-based compliance programs in these priority areas.
  • Expanded Threats:听The adequacy and continual improvement of threat detection, monitoring, and response capabilities, including the reliability of processes (e.g., due diligence, access, safeguards) and coverage of novel and emerging threats and vulnerabilities (e.g., virtual currencies, sanctions evasion, malware/ransomware, human rights/forced labor, detecting organized criminal networks, and fraud).
  • 厂办颈濒濒蝉/罢补濒别苍迟:听Core skills/backgrounds of those executing day-to-day AML/BSA reviews, investigations, and escalations.

The following recent regulatory issuances highlight heightened expectations for financial institutions to adhere to AML/BSA/CFT requirements:

Agency

Activity

Description

乐鱼(Leyu)体育官网 Regulatory Alert

FRB

Indicates that issues with BSA/AML compliance increased in comparison to prior years.

FRB Reports: Supervision and Regulation; Financial Stability

FDIC

Provides guidance on AML/CFT/CDD requirements for compliance programs. Cautions banks to stay updated on the latest regulations to mitigate sanctions-related risks especially when relying on third parties.

N/A

OCC

Highlights an increase in AML/ BSA compliance risks associated with evolving range of payment methods and accessibility. Banks are urged to 鈥渃ontinuously evaluate their BSA/AML risks and corresponding controls to keep pace with new or changing risk profiles鈥�.

Fall 2023 Regulatory Agendas: Key Federal Banking Agencies

FFIEC

Updates manual to 鈥渞einforce the risk-focused approach to BSA/AML examinations鈥�.

AML Enforcement: SEC Risk Alert & FFIEC Exam Manual Updates

SEC

Risk Alert

Presents observations about key AML requirements based on recent examinations across the broker-dealer industry covering topics such as:

  • AML Programs focusing on independent testing and training
  • Customer Identification Program (CIP) Rule
  • Customer Due Diligence and Beneficial Ownership Requirements

AML Enforcement: SEC Risk Alert & FFIEC Exam Manual Updates

FINRA

Identifies new account fraud as an emerging risk听

Regulatory Oversight: FINRA 2024 Annual Report

New Rulemaking

Further, multiple agencies are anticipated to issue financial crime-related rulemaking proposals this year, which will be influenced in large part by the Anti-Money Laundering Act of 2020 and the Corporate Transparency Act of 2020. (See 乐鱼(Leyu)体育官网 Regulatory Alerts听here听and听here).

As outlined in the agencies鈥� individual regulatory agendas, these rulemakings include proposals by the:

  • Federal Banking Agencies:听Updates to the BSA compliance program rules to conform to FinCEN rules related to beneficial ownership information and CDD requirements.
  • FinCEN:
    • Revisions to Customer Due Diligence Requirements for Financial Institutions (part 3 of 3 beneficial ownership information rulemakings).
    • Anti-Money Laundering Program and Suspicious Activity Report Filing Requirements for Investment Adsers.
    • National Exam and Supervision Priorities (including AML/CFT risk assessment for all financial institutions and a requirement to include AML/CFT priorities into risk-based systems).

Dive into our thinking:

Heightened Risk Standards: Focus on AML/BSA

Increased regulatory scrutiny in the management of AML/BSA

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