(I remember years back putting a call into FinCEN and being extrememly underwhelmed by their adminstrative infrastructure. I have to imagine they've been well funded lately to the point of stepping up their game--hiring good webmasters, for instance. I think this is good. I mean, entities like broker-dealers and the 100's of thousands of people working for them are burdened daily by AML rules: it's only fair that they should expect to rely on a functional support system to enable their efforts.)
Also check out the "international" tab on FinCEN's site. This is nice, in that it provides links to other organizatoins such as OFAC and FATF. You won't find the same ease of locating informaton on these other sites--for instance, to locate the current NCCT list on FATF's site, you have to click Key Topics>Meeting FATF Standards>NCCT Initiative in order to get to a page that has a link (on the right side) to the NCCT list. Which is empty, by the way. The list hasn't had any names since October 2006.
By the way, you know that your AML program requires updating for rule changes and internal, firm policy/personnel changes. The good news is, there haven't been any substantive rule/regulation changes lately. If you haven't looked at your written program recently, take a look. Be sure it includes lots of references to 'risk-based' compliance and also Section 311 of the Patriot Act (on specially-designated nationals). Also make sure you have procedures for maintaining all supporting documentation for SAR filings and for responding to law enforcement requests to keep accounts open. These subjects have shown up recently in FINRA exam results.
Now get back to your more enjoyable reading... on a chaise lounge, in the sun, with some Beth Orton or Matt Costa playing in the background... ahhh, it's August.
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