This tool can be found in the Banker Tools section of BankersOnline.com. www.bankersonline.com 1 Bank Secrecy, Anti-Money Laundering & OFAC Director Education.

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Presentation transcript:

This tool can be found in the Banker Tools section of BankersOnline.com. 1 Bank Secrecy, Anti-Money Laundering & OFAC Director Education October 2005

This tool can be found in the Banker Tools section of BankersOnline.com. 2  Designed to aid federal government in detecting illegal activity through tracking certain cash-based transactions.  Requires banks to file reports of daily transactions conducted in currency in amounts over $10,000.  Requires recordkeeping on beneficiaries and originators of funds transfers in amounts over $3,000.  Requires information gathering and recordkeeping on sales of money orders, cashier’s checks, and traveler’s checks in amounts between $3,000 and $10,000.  Establishes certain exemptions to the currency transaction reporting requirements. Bank Secrecy Act (BSA)

This tool can be found in the Banker Tools section of BankersOnline.com. 3 Bank Secrecy Act (BSA) Identifying Reportable Transactions  The Bank is required to fill out a Currency Transaction Report (CTR) for ANY cash transaction that totals over $10,000.  A cash transaction is one that involves the physical transfer of actual cash between Bank personnel and any customer.  Types of cash transactions

This tool can be found in the Banker Tools section of BankersOnline.com. 4 Bank Secrecy Act (BSA) Identifying Reportable Transactions  A multiple currency transaction is a transaction conducted on behalf of the same person or account in the same business day but at different branches or offices and results in cash in or out of more than $10,000.  Multiple individuals conducting business for the same account holder on the same day with several cash transactions totaling more than $10,000 also require a CTR to be completed.

This tool can be found in the Banker Tools section of BankersOnline.com. 5 Bank Secrecy Act (BSA) Negotiable Items Purchase of Negotiable Items for Currency of $3,000 or greater  When a customer wishes to purchase money orders, checks or travelers checks for $3,000 or more, certain information is kept on file.  If the purchaser cannot or refuses to provide the information required under BSA, the Bank refuses the purchase.  A loan or safe deposit customer who does not have a savings or checking account with the Bank is considered a non-customer for the purpose of this regulation.

This tool can be found in the Banker Tools section of BankersOnline.com. 6 Bank Secrecy Act (BSA) Negotiable Items The Bank must: Complete a CTR immediately for any transaction over $10,000. Make sure there is proper ID (driver’s license, passport, armed forces card, government ID or alien registration card). Be as exact as possible. Complete a Log-Entry for purchase of negotiable items for currency of $3,000 or greater. Forward completed CTRs to the BSA Asst for review. Questions about BSA should be directed to the BSA or Compliance Officer.

This tool can be found in the Banker Tools section of BankersOnline.com. 7 Suspicious Activity Report (SAR)  Employees that have a reasonable, substantial basis for believing that a customer, an employee, an agent, or a director has committed, attempted or is involved in a crime, should report the activity to the Bank Secrecy Officer.  Types of activity

This tool can be found in the Banker Tools section of BankersOnline.com. 8 Suspicious Activity Report (SAR) More types of activity…

This tool can be found in the Banker Tools section of BankersOnline.com. 9 Suspicious Activity Report (SAR) What should the Bank do to combat suspicious activities?

This tool can be found in the Banker Tools section of BankersOnline.com Suspicious Activity Report (SAR) In Summary: Understand what are “normal” and “expected” transactions of your customers. Identify and report unusual or suspicious activities to management. Evaluate concerns, monitor and/or terminate relationships as a result of suspicious or unusual activity. Understand the Bank’s policy and procedures. Avoid “Willful Blindness” at all costs. *Never* disclose to your customers that you are filing an SAR.

This tool can be found in the Banker Tools section of BankersOnline.com Anti-Money Laundering  What is Money Laundering?  How Does it Work?

This tool can be found in the Banker Tools section of BankersOnline.com Anti-Money Laundering What is the Bank’s Policy?  The Bank is committed to playing an active role in the war against drugs, money laundering and other criminal activity.  The Bank believes that the establishment of effective money-laundering deterrence guidelines are an integral component of its Anti-Money Laundering (AML)Program.  Components of an effective AML Program.

This tool can be found in the Banker Tools section of BankersOnline.com Anti-Money Laundering What are the requirements of the Bank’s policy?

This tool can be found in the Banker Tools section of BankersOnline.com Anti-Money Laundering  What are the Penalties for violating AML laws? Corporate Penalties & Personal Penalties

This tool can be found in the Banker Tools section of BankersOnline.com Anti-Money Laundering Soooo…

This tool can be found in the Banker Tools section of BankersOnline.com Anti-Money Laundering Case Study: American Express Bank International

This tool can be found in the Banker Tools section of BankersOnline.com Anti-Money Laundering A Brief Description the Bank’s Programs and Efforts * Contact the following:

This tool can be found in the Banker Tools section of BankersOnline.com The Office of Foreign Assets Control (OFAC) What are the Office of Foreign Assets Control Requirements? (And why should you care?)

This tool can be found in the Banker Tools section of BankersOnline.com The Office of Foreign Assets Control (OFAC) What are the OFAC- Restricted Countries?

This tool can be found in the Banker Tools section of BankersOnline.com The Office of Foreign Assets Control (OFAC) Other Sanctions Programs Include:  Narcotics – Foreign Narcotics Kingpin Designation Act and the Narcotics Trafficking Sanctions Regulation  Non Proliferation – Weapons of Mass Destruction Trade Control Regulations  Terrorists – Terrorism Sanctions Regulations, the Terrorism List Governments Sanctions Regulations and the Foreign Terrorist Organizations Sanctions Regulations

This tool can be found in the Banker Tools section of BankersOnline.com The Office of Foreign Assets Control (OFAC) The Trap….identifying only officially sanctioned countries may be risky!  Terrorism  Narcotics Kingpins  Nuclear Proliferation

This tool can be found in the Banker Tools section of BankersOnline.com The Office of Foreign Assets Control (OFAC) Important Acronyms  Specially Designated Nationals (“SDN”)  SDT is a Specially Designated Terrorist  SDNT is a Specially Designated Narcotics Trafficker  FTO is a Foreign Terrorist Organization

This tool can be found in the Banker Tools section of BankersOnline.com The Office of Foreign Assets Control (OFAC) When should the Bank check the SDN List? The names of all new customers Periodic review of all existing customers When facilitating a transaction between several parties all parties should be checked (including named vessels) Ex. Wire transfers What to do if we find a match?

This tool can be found in the Banker Tools section of BankersOnline.com The Office of Foreign Assets Control (OFAC) So, why should you care? PENALTIES!

This tool can be found in the Banker Tools section of BankersOnline.com BOD Responsibilities  Protect the Bank from being used for illegal purposes.  Be aware of the Bank’s BSA/AML programs and activities.  Support senior management in BSA/AML efforts.  Don’t ignore or downplay indications that Bank clients may be involved in illegal or illicit activities.  Keep BSA/AML matters confidential.  Conduct an annual review and approval of all BSA/AML (and related) policies, along with the appointment of the BSA Officer(s). REMEMBER – The penalties for non-compliance can be costly to YOU and to the Bank.