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International International Standards on Regulating DNFBPs & The way forward Mr Peter KWOK Assistant Secretary for Security 19 February 2009 Narcotics Division, Security Bureau
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2 Agenda 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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3 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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4 FATF requirements on accountants Financial Action Task Force (FATF) requirements on accountants
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5 CDD (Rec. 5) Record Keeping (Rec. 10) Suspicious Transaction Reporting (Rec. 13) Requirements to be specified in law: Other requirements: Internal Controls (Rec. 15) Sanctions (Rec. 17) FATF requirements on accountants
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6 Other requirements: Politically Exposed Persons (PEPs) (Rec. 6) New technology/ Non-face-to-face Business (Rec. 8) Reliance on 3 rd parties/ intermediaries (Rec. 9) Complex / unusual transactions (Rec. 11) FATF requirements on accountants
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7 Other requirements: No tipping-off (Rec. 14) Special attention to parties from non- complying jurisdictions (Rec. 21) Self Regulatory Organisation (SRO)(Rec. 24) Competent authorities to establish guidelines (Rec. 25) FATF requirements on accountants
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8 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. FATF requirements on accountants
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9 When accountants acts 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. FATF requirements on accountants
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10 Highlight Highlight of FATF recommendations relevant to accountants
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11 Rec. 5 and 9 (CDD) To identify the customer and verify his ID To identify the beneficial owner The purpose and intended nature of the business relationship On-going CDD and enhanced CDD Reliance on 3 rd parties/ intermediaries
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12 Rec. 10 (Record Keeping) To retain all documents relating to transactions At least 5 years after the completion of transactions
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13 Rec. 13 and 14 (STRs) Suspicious Transactions Reporting (STR) requirements Protection from criminal/ civil liabilities No tipping-off
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14 Rec. 15 (Internal Control) To establish/ maintain internal policies/ procedures to prevent ML/TF To ensure high standards in hiring employees On-going staff training Audit function to test the system
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15 Rec. 24 and 25 (SRO & Guidelines) Government authority or Self- regulatory Organisation (SRO) to monitor and ensure compliance with AML/CFT requirements Power to sanction in case of non- compliance Government authority or SRO to establish guidelines
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16 Rec. 17 (Sanctions) Sanctions are effective, proportionate and dissuasive Sanctions can be meted out by Government authority or SRO
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17 Rec. 6 (PEPs) Have appropriate risk management systems to determine whether clients are Politically Exposed Persons (PEPs) or not Senior management approval for having business relationships To establish source of wealth/ fund
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18 Rec. 8 (New Technology) To prevent misuse of technological developments for ML To address risk associated with non- face-to-face business relationships To take measures:
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19 Rec. 11 (Complex Transactions) To pay special attention to all complex, unusual large transactions and unusual patterns of transactions To examine the background/ purpose of such transactions
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20 Rec. 21 (Special Attention) To give special attention to dealings with parties from countries which do not comply with the FATF Recommendations
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21 FATF Recommendations relevant to DNFBPs * * *
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22 The Third round of Mutual Evaluation (ME) is underway 23 jurisdictions have been assessed www.fatf-gaif.org Mutual Evaluation by FATF
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23 Way Forward Way Forward in regulating accountants
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24 Establishment of Central Co-ordinating Committee (CCC), chaired by Financial Secretary, in April 2008 To steer & co-ordinate the strategic development of HK’s AML/CFT regime in line with internationally recognised standards Way Forward (1)
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25 FSTB assumes the role of overall co- ordinator for AML/CFT matters and with specific responsibilities on financial sectors SB (Narcotics Division) is to look after DNFBPs and Non-profit Organisations Way Forward (2)
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26 Phase I : Financial Sectors Phase II: DNFBPs No time table and open-minded Way Forward (3) Legislation on CDD & Record Keeping
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27 To prepare for Phase II, SB will step up outreaching activities to raise awareness on AML/CFT and work closely with regulatory/ professional bodies CPD Seminars Sector Specific Guidelines Revised Interactive Training Kit Way Forward (4)
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28 Thank you!
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