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Barrister Igbodekwe Emmanuel 11- 12 TH September, 2013 Special Control Unit Against Money Laundering (SCUML) Regulating The Accountants for AML/CFT Challenges and Way Forward
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22 Topic Financial Action Task Force (FATF) requirements on accountants Highlight of the FATF recommendations relevant to accountants Way Forward in regulating accountants
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The Financial Action Task Force (FATF) : an inter-governmental body created in 1989 by ‘G7’ sets standards, develops and promotes policies to combat money laundering and terrorist financing published 40+9 Recommendations to achieve its purpose Now Revised to 40 Recommendations 33
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44 Designated Non-Financial Businesses and Professions (DNFBPs) DNFBPs as defined by Financial Action Task Force (FATF) are: Lawyers Accountants Trust and Company Service Providers (TCSPs) Real Estate Agents Dealers in Precious Metals/ Stones Casinos
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You Play an Important Role Designated Non-Financial Businesses and Professions (DNFBP) Trust and Company Services Providers Lawyers Accountants Casino Estate Agents Banks Securities House Insurance Firms Dealers in Precious Stones and Metals
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66 FATF Requirements on Accountants New Technology (Rec. 15) Accountants – operating individually or in a firm CDD (Rec. 10, 22) Complex Transactions (Rec 20, 21) Record Keeping (Rec. 11) STRs (Rec. 20 & 21) Internal Control (Rec. 18) PEPs (Rec. 12) Special Attention (Rec. 21)
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77 FATF Requirements on the Accounting Profession The Accounting Profession Sanctions (Rec. 35) Guidelines (Rec. 34) SRB (Rec. 24)
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88 FATF Requirements on Accountants Customer Due Diligence (Rec. 10, 22, 23) Record Keeping (Rec. 11) Suspicious Transaction Reporting (STR) (Rec. 20) Risk-based Approach Guidance for Accountants (REC. 34) Requirements to be specified in law:
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99 When to Conduct CDD? When accountants prepare for or carry out transactions in relation to: Buying and selling of real estates; Managing of client money, securities or other assets; Management of bank, savings or securities accounts; Organisation of contributions for the creation, operation or management of companies; Creation, operation or management of legal persons or arrangements, and buying and selling of business entities.
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10 When to Conduct CDD? When accountants act as Trust and Company Service Providers and Acting as a formation agent of legal person; Acting as a director or secretary of a company; Providing a registered office, etc for a company; Acting as a trustee of an express trust; Acting as a nominee shareholder for another person. They have to comply with Rec. 5, 6, 8-11, 21.
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11 FATF Requirements on Accountants Other selected requirements: Internal Controls (Rec. 18) Self Regulatory Organisation (SRB) (Rec. 28 & 35)
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12 Internal Controls To establish / maintain internal policies / procedures to prevent ML / TF. Policies / procedures to cover CDD, record keeping and STR obligations. To communicate these to employees. To develop appropriate compliance management (e.g. AML/CFT Compliance Officer at management level).
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INTERNAL CONTROLS On-going staff training. Independent audit function to test compliance with the policies and procedures. To put in place screening procedures to ensure high standards in hiring employees. The type and extent of measures to be taken should commensurate with: the level of ML / TF risk; and the size of the business. 13
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14 SRO – Responsibilities & Sanctions Government authority or SRB to monitor and ensure compliance with AML / CFT requirements. Power to sanction in case of non- compliance. Effective, proportionate and dissuasive criminal, civil or administrative sanctions be available.
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SRO - SANCTIONS Range of sanctions available should be broad and proportionate to severity of non- compliance. Sanctions should be available to legal persons, their directors and senior management. 15
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SRO - RESOURCES Adequate structuring, funding, staff with sufficient technical and other resources to fully and effectively perform their functions. Sufficient operational independence and autonomy to ensure freedom from interference. Staff be of high professional standard & integrity and adequately trained for AML / CFT. 16
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Government authority or SRO to establish guidelines to include the following: ML / FT techniques and methods; and any additional measures that accounting firms/accountants could take to ensure their AML / CFT measures are effective. 17
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18 Establishment of Central Co-ordinating Committee (CCC), NRA - CCC To steer & co-ordinate the strategic development of AML/CFT regime in line with internationally recognised standards. Action by Political Authority
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19 Establishment of Legal Framework Institutional Framework Designation of Institutions with AML / CFT matters and with specific responsibilities on financial sectors (FIUs). Law Enforcement agencies DNFBPs and Non-profit Organisations. Action by Political Authority
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20 Conflict of Accounting Concepts Transparent Disclosure Wholesome Importation of Principles and Procedures Independence of Accountants Legitimacy of Figure Manipulation Background of Some Accounting personnel Integrity and Ethical principles
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knowledge of AML/CFT AML/CFT Displacement Disregard for good governance and Accountability Complexity of Practice Whistle blower Customer Confidentiality The culture of get rich syndrome New technologies Challenges Con’d
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General Political Factors Economic Factors Technological factors Environmental Factor Legislative Factors Challenges Con’d
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23 Phase I : Financial Sectors Phase II: DNFBPs Political Will Management Will Way Forward Legislation on CDD & Record Keeping
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24 Consultation on Legislative Proposals and Amendments. Continued reliance on unregulated Third Parties by Financial Institutions. (Financial Inclusion). AML/CFT included as part of Financial Reporting Standards Requirements. Way Forward Contd…
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25 Step up outreaching activities to raise awareness on AML / CFT and work closely with professional bodies. Seminars, Workshops, one-on-one Inter-Face with Stakeholders Sector Specific Guidelines. Interactive System Mechanism. Way Forward Contd..
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26 Way Forward Contd.. Timeline Compliance costs Regulatory Authority Bye-Laws (Regulations) Consultation Issues
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27 2010 2011 2012 2013 2014 2015 2016 Timeline (1)
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28 FATF 36 members Timeline (2)
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29 Internal Control Systems Staff Training Audit Function Policies and Procedures Complianc e Officer Compliance Costs (1)
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30 International Standards Compliance Cost Compliance Costs (2)
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31 Professional Status and Reputation Business Costs and Legal Obligations Compliance Costs? (1)
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32 Compliance Costs? (2)
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33 Open-minded
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34 Partnership
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35 Thank you!
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