Responsibilities of Financial Institutions in the AML Architecture – AML Regulations in Afghanistan Mr. Jafar Sadat, Da Afghanistan Bank.

Slides:



Advertisements
Similar presentations
Prevention of Money Laundering Training session. Overview What is Money laundering? Requirements under the Act Arcadias policy Relevance to your routine.
Advertisements

The New Anti-Money Laundering Regulations
At Hyderabad December 29, 2010 Kunnel Prem. ICP 27 on Insurance Frauds and ICP 28 on AML/CFT.
Objectives of the AML/CFT Compliance Unit of the Ministry of National Security.
1 New obligations for real estate brokers and agents in accordance with the Proceeds of Crime (Money Laundering) and Terrorist Financing Act.
Anti Money Laundering (AML) An Overview for Staff Prepared by MSM Compliance Services Pty Ltd.
1 Financial Crimes Enforcement Network “FinCEN” Anna Fotias Senior Regulatory Compliance Specialist Office of Regulatory Policy
Anti-Money Laundering and OFAC Compliance for Transfer Agents SSA Annual Conference July 25, 2008.
Anti-Money Laundering (AML)
KYC Norms & AML Standards Guidelines
1 Supplement to the Guideline on Prevention of Money Laundering Hong Kong Monetary Authority 8 June 2004.
1 CSI COMPLIANCE AWARENESS TRAINING ANTI MONEY LAUNDERING July 2004 This is confidential proprietary and trade secret information of American Express Travel.
This tool can be found in the Banker Tools section of BankersOnline.com. 1 Bank Secrecy, Anti-Money Laundering & OFAC Director Education.
Anti-Money Laundering
Accountable Institutions Obligations Financial Intelligence Unit 30 th April 2015.
Money Laundering 23 September Contents 1 What is money laundering? 2. The ‘primary’ money laundering offences 3. Failure to report and tipping off.
1 Presented by: L.K.Barathi. Advisor – American Express Bank Ltd Mumbai.
1 Jersey Funds Association Educational training session – 22 June 2010.
AML & KYC.
Deutsche Woche 2014, St. Petersburg, Alexander Mosyagin Deputy Chairman of Commerzbank (Eurasija) SAO Latest developments in Russian anti-money.
Source: Section 2 General Code of Conduct A n t i m o n e y l a u n d e r i n g ( A M L ) i s a t e r m m a i n l y u s e d i n t h e f i n a n c i a.
1 Raymond Doray Conflicts between the new Canadian Money Laundering Act and the rules of professional conduct and ethics September 13, 2002.
CONTENTS First: Main Points of National Risk Assessment Second: FIs Risk assessment and CDD.
International International Standards on Regulating DNFBPs & The way forward Mr Ping-Yiu MA Assistant Secretary for Security 4 March 2010 Narcotics Division,
Agent Compliance Training
Eimer O’Rourke Head of Retail Banking Anti-Money Laundering 3 rd time lucky ICAI – 18 October 2007.
ANTI-MONEY LAUNDERING TRAINING FOR LENDERS Bill Heyman Offit Kurman
Becoming A Customer SICOR Securities, Inc.. How? In order to establish the client (customer) relationship between yourself, as a registered representative.
Heba Shams (World Bank) & Nadim Kyriakos –Saad (IMF) World Bank
Combating Terrorism Financing 1 National Accountants Conference 2004, Kuala Lumpur “Combating Terrorism Financing” 13 October 2004 by Koid Swee Lian Financial.
Barrister Igbodekwe Emmanuel TH September, 2013 Special Control Unit Against Money Laundering (SCUML) Regulating The Accountants for AML/CFT Challenges.
International International Standards on Regulating DNFBPs & The way forward Mr Peter KWOK Assistant Secretary for Security 19 February 2009 Narcotics.
Professional Values and Basic Business Legislation.
Agent Compliance Training Proceeds of Crime (Money Laundering) & Terrorist Financing Act (PCMLTFA) Requirements.
AL ZAROONI EXCHANGE AML POLICY.
Legal Framework and Regulatory Regime Required for an effective AML/CFT System Richard Pratt 29 March 2005.
Certificate for Introduction to Securities & Investment (Cert.ISI)
Bank Secrecy Act. Many Laws Make Up “BSA” Bank Secrecy Act Money Laundering Control Act Currency and Foreign Transactions Reporting USA PATRIOT Act.
ANTI-MONEY LAUNDERING COMPLIANCE PROGRAM FCM TRAINING
FINANCIAL INTELLIGENCE CENTRE
Agenda  Background and Purpose  Money Laundering and Terrorist Financing  BSA Program Requirements  Risk Based Program Management  Suspicious Activity.
Customer Due Diligence/ Know Your Customer
Role of the Financial Intelligence Unit in Implementing an Effective Anti-Money Laundering (AML) Framework Jafar Sadat, Da Afghanistan Bank General Director,
Presented by: Hany Faidy Senior Vice President, Head of Compliance Division March 2009 Procedures followed by FI’s when reporting Suspicious Transaction.
ABDUL RASHID MBAECM, MBA, MIS, CHRM, BA, DIP PRESIDENT PHONE ANTIQUA ROAD, MISSISSAUGA L5B 2T8 ONTARIO, CANADA.
FATF Recommendations. Recommendation -22 The customer due diligence and record- keeping requirements set out in Recommendations 10,11,12,15 and 17, apply.
1 Banking and Reconciliation. 2 To Certify As A Cash Handler  Visit the training website  Review the Payment Card Industry (PCI)
World Bank International Standards and their Measures for Financial Institutions and Non-Financial Businesses and Professions to Prevent Money Laundering.
Suspicious Activity Reporting Reporting with Safety Kevin Whelan US Department of Treasury
International International Standards on Regulating DNFBPs & The way forward Mr Peter KWOK Assistant Secretary for Security 27 February 2009 Narcotics.
© Grant Thornton International Consortium on Governmental Financial Management Jennifer Fiddian-Green Investigative Forensic Accountant Stopping Money.
Law Society of Zimbabwe Winter School - July 2015 OBLIGATIONS OF THE LEGAL PROFESSION UNDER THE MONEY LAUNDERING & PROCEEDS OF CRIME ACT Oliver Chiperesa.
Workshop on Privacy of Public Figures and Freedom of Information - Skopje, 9-10 October 2012.
Felicity Banks Head of Business Law Institute of Chartered Accountants in England & Wales The Role of Accountants in the Fight against Money Laundering.
1 Control of cross-border transfer of cash M O N T E N E G R O Negotiating Team for the Accession of Montenegro to the European Union Working Group for.
MONEY LAUNDERING “The Basics”.
Bank Secrecy Act Training For Volunteers
Treasury of the Republic of Kazakhstan
IMPLEMENTATION STRUCTURE & EXPECTED OUTCOMES FOR RECOMMENDATION 16, 17, 18, 19 & 20 Oladele Adeoye.
IMA Member Meeting Legal update - MLD4 and MLD5 Siobhan Moore
USA PATRIOT ACT WHAT DOES IT STAND FOR?.
OFAC.
Red Flags Rule An Introduction County College of Morris
MALAWI GAMING BOARD Anti-Money Laundering Compliance in the gaming industry Presented by: Master Maliro.
Leaders Credit Union Board Presentation
PART II.. PART II. AGENDA- PART II (chapter 5) Identification and client due diligence procedures Reliance on third parties Identification of individuals.
Neopay Practical Guides #2 PSD2 (Should I be worried?)
Financial Intelligence Unit of Aruba MOT
CF Canada Financial Group
Financial Intelligence Unit of Aruba MOT
Presentation transcript:

Responsibilities of Financial Institutions in the AML Architecture – AML Regulations in Afghanistan Mr. Jafar Sadat, Da Afghanistan Bank

Who Is Included In the AML Architecture? Anyone offering the following services: –Acceptance of deposits –Lending of funds –Transferring of money or value –Processing of payments (e.g. credit cards, checks, etc.) –Financial guarantees –Trading in financial assets (e.g. securities, currencies) –Insurance dealers and brokers Dealers in precious metals and stones Lawyers, transaction guides, and accountants Real Estate Agents Anyone else prescribed by DAB regulation Supervisory authorities and auditors (See AML Law for complete list)

What Responsibilities? Customer Identification and Verification –Customers must be identified when: total amount transacted exceeds 1,000,000 AF establishing on-going business relations there is a suspicion that the funds to be transacted have an illegal or illicit origin, or are intended to finance terrorism –Individuals must be identified with valid photo-bearing identification (e.g. passport, national identity papers) –Businesses must be identified with legal registration documents. reasonable steps must be taken to verify identify information –Copies of identification information must be recorded and kept. –Identification procedures shall be repeated whenever there is a significant change in the nature of the customer relationship –Whenever the customer is not acting on his own behalf (either fully or partially) the beneficial customer shall be identified

What Responsibilities? Special Monitoring –Transactions that are unusual either in size or characteristics, or that add no apparent economic value shall be subject to extra examination –Transactions associated with entities (people or businesses) located in jurisdictions that apply less stringent AML controls than Afghanistan shall be subject to extra examination

What Responsibilities? Politically Exposed Persons (PEPs) –PEPs are people who either are or have been entrusted with significant public functions either in Afghanistan or elsewhere, or their relatives, or their close business and/or financial associates –This definition might include, for example, the following: the spouse of a former minister of a neighboring country. An executive in a state-owned enterprise A military officer of significant rank The chairman of a major political party –Opening of PEP accounts must be approved at the highest level of the organization –The source of PEP funds must be established Accounts must be rejected if the source of funds is illicit –Enhanced monitoring of the PEP business relationship is required

What Responsibilities? Record Keeping –Identity records must be kept for the duration of the business relationship and for five years beyond the end of the relationship –Transaction records must be kept for no fewer than five years after completion of the transaction. –These records must be made available upon request to legally authorized officials of the government of Afghanistan Cooperation with the Financial Intelligence Unit –Each reporting entity must cooperate and coordinate AML activities with the FIU –Reporting entities shall freeze transactions upon request of the FIU Any other responsibilities specifically required by regulation

What Responsibilities? Reporting –Threshold Reports Transactions (with single or multiple) by a customer in cash, precious metals, or precious stones that exceed 1,000,000 in a 24 hour period must be reported to the Financial Intelligence Unit –Suspicious Transaction Reports Transactions or attempted transactions that are suspected to involve criminal proceeds must be reported to the Financial Intelligence Unit, regardless of the amount involved. Transactions related to terrorists or terrorist acts must be reported to the Financial Intelligence Unit Reports must be submitted even if the suspicion is formed after completion of the transaction

How Should These Responsibilities be Implemented? Each entity included in the AML architecture shall: –Develop appropriate AML policies, procedures, and controls –Create and apply AML screening standards for employees –Provide ongoing AML training for employees –When the entity employs more than five persons: An administrative official shall be specifically designated to implement these responsibilities An internal audit capability shall be developed

How to Report Currently –Reporting forms currently exist for Threshold and Suspicious Reports –These forms can be found at the FIU’s website: –When required, the forms should be prepared and hand delivered to the Financial Intelligence Unit at DAB –Suspicious reports should be delivered as soon as practically possible after initially forming the suspicion Future Mode –The FIU has established a working group with the ABA to improve the reporting process –Similar working groups will be established with other reporting entities –The goals of these working groups are to improve the quality of compliance while minimizing the cost