AML CFT CPF Traning Materials
AML CFT CPF Traning Materials
Bank
General AML/CFT/CPF
Training Program
1
Getting To Know Each Other
2
Getting To Know Each Other
Punctuality
Switch off Mobile
Active
Participation
No Side talk
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Target group
Two Days
PART 1
Historical background ML and TF
Defi nition of ML,TF and PF
International initiatives on
AML/CFT/CPF
PART 2
AML/CFT Regime/Law in Ethiopia
Definition and Concept of KYC and CDD
Politically exposed persons(PEPs)
High Risk Factors
Correspondent Banking and Money Transfer Agents
Sanction Screening
Transaction Monitoring/
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Historical background ML …
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Definition of Money Laundering
ML
Methods
ILLICIT Seemingly
FUND Legitimate
Funds
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ML Processes/stages…
Placement Distribution
Layering
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High Risk Businesses/Areas for ML
Gambling
establishments/casi Real estate businesses
nos
Foreign exchange
bureaus Gem and precious metal
dealers
Broker dealers
Embassies
Jewelry
Cash-intensive businesses
(most of our economies are
cash-based)
Money transfer
agents
Travel agencies
Banks/Off-shore Weak Ant-money
banks laundering regime
Financial Action Task The inter-governmental body sets international standards that aim to prevent money laundering, terrorist
Force (FATF) financing and other
related threats to the integrity of the international financial system.
The FATF was given the responsibility of examining. established in 1989 by G-7 Summit in Paris
Basel Committee on A committee of banking supervisory authorities established by the central bank governors of the Group of Ten
Banking countries in 1974
Supervision Provides a forum for regular cooperation on banking supervisory matters
The European Union Issues directives related to AML, and prevents the domestic financial systems from being used for
money laundering
Eastern & Southern An intergovernmental body whose mandate is to promote the effective implementation of legal, regulatory
Africa AML Group
and operational measures for AML/CFT and other threats to the integrity of the international financial system.
(ESAAMLG)
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Definition and Concept of KYC
KYC is the process of obtaining, retaining and
using information and documents about a
customer to verify that they are who they say
they are.
Customer is who maintains an account,
establishes business relationship, on who’s
behalf account is maintained, beneficiary of
accounts maintained by intermediaries, who
use wire transfer and one who carries
potential risk through one off transaction.
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Definition and Concept of KYC…
Your customer
KYC •Client identity & background
•Beneficial owner & background
•Source of funds/Nature of
business
•Monitoring over time
Know your transaction
KYT
•Trace complex, large transactions
KYP
•Spot unusual behavior
•Large volume of transactions
Know your process
•Policies, procedures & controls
•Roles and responsibilities
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Identification Requirements
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Types of CDD…
Enhanced Due Diligence means additional measures taken
for high risk customers for Money Laundering or Terrorist
Financing , which includes:
Obtaining additional information on the customer (e.g.
occupation, volume of assets, information available
through public databases, internet, etc.);
updating more regularly the identification data of
customer and beneficial owner;
Obtaining additional information on the intended nature of
the business relationship;
Obtaining information on the source of funds or source of
wealth of the customer;
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Types of CDD…
Obtaining information on the reasons for intended or
performed transactions;
Obtaining the approval of senior management to
commence or continue the business relationship;
Conducting enhanced monitoring of the business
relationship, by increasing the number and timing of
controls applied, and selecting patterns of transactions
that need further examination; and
Requiring the first payment to be carried out through an
account in the customer’s name with a bank subject to
similar CDD standards. parties.
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Discussion Questions
Briefly discuss your branch
KYC practices on account
opening and
documentations?
Saving account
Current Account
Diaspora Account
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Politically exposed persons(PEPs)
a) Individuals who are or have been entrusted
domestically or Foreign with prominent public
functions, for example;
1) Federal and state government, Heads of State or
Government,
2) Senior Federal government, state government, Addis
Ababa and Dire Dawa City Administration Officials
such as Ministers, State Ministers, Head of Bureaus,
Deputy Head of Bureaus, Mayors, Deputy Mayors,
Commissioners, Deputy Commissioners, Director
Generals, Deputy Director Generals,
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Politically exposed persons(PEPs)…
3) Senior Diplomats, such as Ambassadors, Consulates… etc
4) Senior Federal and state legislative officials such as the speaker
and deputy speaker of the House of Peoples’ Representative
and House of Federation.
5) Federal and state top judicial including the Presidents and
Deputy Presidents of Federal and state supreme Courts, High
Courts, First Instance Courts, and other Senior judicial Officials,
6) Military officials starting from Brigadier Generals,
7) Senior Executives of state Owned corporations,
8) Higher education institutions and political party officials and
persons or companies related or closely associated to them;
and
9) Any other individuals who hold position in any of the office that
may be designated by the center as PEP subsequently.
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Politically exposed persons(PEPs)…
b) Persons who are or have been entrusted with a
prominent function by an international
organization and includes members of senior
management such as directors, deputy directors and
members of the board or equivalent functions other
than middle ranking or more junior individuals;
Properly conduct customer identification as per
procedure and review from given lists from FIC.
The relationship shall be approve by senior
management of the Bank.
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Brainstorming
Question
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High Risk Factors
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High Risk Factors…
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High Risk Factors…
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Correspondent Banking and Money
Transfer Agents
Financial Institutions should
gather sufficient information about their correspondent
banks (especially whether it has been subject to money
laundering or terrorist financing investigations or regulatory
action)
Assesses the correspondent bank’s AML/CFT controls.
Obtain approval from Senior Management before
establishing new correspondent relationships.
Where a correspondent bank fails to comply with AML/CFT
Laws
Do not open an account/commence business transactions
/perform transaction
Report to FIU.
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Sanction Screening
Sanctions are prohibitions and restrictions put in place with the aim
of maintaining or restoring international peace and security. They
generally target specific individuals or entities; or particular sectors,
industries or interests. They may be aimed at certain people and
targets in a particular country or territory, or some organization or
element within them. There are also sanctions that target those
persons and organizations involved in terrorism, including Al Qaida.
Commercial Boycott (i.e. a ban on export / import)
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Sanction Screening…
Asset Freeze (i.e., freeze on bank accounts, other
liquid assets, properties situated in jurisdiction of
sanction imposing state(s))
Boycott of financial services / commercial dealings
(i.e. the withdrawal of the financial system)
Sanctions lists are issued by international agencies,
organizations and local governments.
Sanctions lists are not static, they can change on a
daily basis.
UN, EU, UK, OFAC and local lists
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Transaction Monitoring
All business relations with customers shall be monitored on
an ongoing basis to ensure that the transactions are
consistent with the bank’s knowledge of the customer, its
business and risk profile and where appropriate, the
sources of funds.
Bank’s shall obtain information and examine, as far as
possible the background and purpose of all complex,
unusual large transactions, and all unusual patterns of
transactions, which have no apparent economic or visible
lawful purpose.
The background and purpose of these transactions shall be
inquired and findings shall be documented with a view to
making this information available to the relevant
competent authorities when required. 80
Transaction Monitoring…
Conduct monitoring based on risk level of the customer.
Account holders
Walk in customers
Purpose: To ensure
transactions being conducted are consistent with the
bank’s knowledge of the customer ( business, source of
fund)
information collected during identification is kept
updated
identify structured transactions to avoid cash
transaction reporting limit
Against sanction lists (updated)
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Reporting to FIC
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Suspicious Transaction
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Red flag indicators
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Red flag indicators…
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Red flag indicators…
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Red flag indicators…
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Discussion Questions
Identify and discuss on
examples of possible
suspicious transactions that
may occur at branches?
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Record Keeping
The Bank shall:
maintain all necessary records of transactions, both
domestic and international, for at least ten years
following completion of the transaction or longer if
requested by other laws or by the Center in specific
cases regardless of whether the account or business
relationship is ongoing or has been terminated
The purpose of the record keeping are.
To provide information requests from competent
authorities,
Will be used as evidence if prosecution concerning the
transaction is undertaken 94
Confidentiality
Banks staffs are not allowed to disclose about its
reporting of suspicious transactions to the FIC.
In as much possible staffs are also encouraged to
convince (create awareness) customers that the
cash transaction reporting requirements do not
affect their businesses for positively curious
customers.
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Responsibilities of Banks Staffs
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Regulatory Environment – Consequences of Poor AML Controls
Regulatory Environment – Consequences of Poor AML Controls
source: https://finbold.com/bank-fines-2020/
Regulatory Environment – Consequences of Poor AML Controls
Bank Fines by Amount (Top 10) Total Fines per Country (Top 10)
source: https://finbold.com/bank-fines-2020/
Conclusions
AML/CTF compliance is pre-requisites for international
cooperation (trade relationships, aid, etc)
ML is not financial sector’s problem, it is national and
international problem
Compliance is the responsibility of all banks and its
employees
Government/NBE can impose penalties on non-
compliance
Correspondent banks and international money transfer
services providers could quit their r/ships with us
Therefore, compliance with AML and CTF laws and
regulations is very important
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T H A N K Y O U.
Galatooma!
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For Further Information, Documents
and Compliance contact Telephone
Bank’s FTP Portal under Risk and compliance
folder
Phone Number +251 11 5586389
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