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AML CFT CPF Traning Materials

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0% found this document useful (0 votes)
372 views103 pages

AML CFT CPF Traning Materials

Uploaded by

Ephrem Abebe
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as PPTX, PDF, TXT or read online on Scribd
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COOP

Bank
General AML/CFT/CPF
Training Program
1
Getting To Know Each Other

 Your Name and branch


 Educational status &
Field of study
 Work experience and
current position
 Your expectation from
this Training

2
Getting To Know Each Other

 Your Name and branch


 Educational status & Field of study
 Work experience and current position
 Your expectation from this Training

COOPERATIVE BNAK OF OROMIA | https://coopbankoromia.com.et/ 3


Norms

 Punctuality
 Switch off Mobile
 Active
Participation
 No Side talk

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Objectives

 The objective of the presentation is to aware the


Trainees Concept, Origination and development of AML
and CFT
 The reason why banks become the implementation
focus of AML/CFT/CPF programs
 International and National AML/CFT Laws, regulations
and Directives.
 Risks that banks may face.
 Responsibilities of Staff.
 Challenges faced in Reporting CTR and STR.

COOPERATIVE BNAK OF OROMIA | https://coopbankoromia.com.et/ 5


Expected Out come

 Participants will be familiarized with all pertinent


International and National AML/CFT Laws, regulations
and Directives;

 Strictly comply with the directive requirements; and

 All participants should pass minimum test score.

6
COOPERATIVE BNAK OF OROMIA | https://coopbankoromia.com.et/
Target group

 Branch Managers  Trade Service Staff


 CSM  District Compliance
 Accountant & CRO Officer
 CRM  Graduate trainee
(clas.)
 Credit Analyst
 Controllers

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Duration

Two Days

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Training outline

PART 1
 Historical background ML and TF
 Defi nition of ML,TF and PF
 International initiatives on

AML/CFT/CPF

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Training outline…

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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Training outline…

 Cash Transaction Reporting


 Suspicious Transaction Reporting
 Suspicious Transaction Red flags
 Confidentiality
 Record Keeping

COOPERATIVE BNAK OF OROMIA | https://coopbankoromia.com.et 11


PART 1
Background, Definition and
International initiatives on
AML/CFT/CPF
BRAINSTORMING
QUESTIONS
Mention list of loan
documents categorized
under security document
Historical background ML
The term "money laundering"
 Originate from Mafia ownership of Laundromats in the
United States. Gangsters there were earning huge
sums in cash from extortion, prostitution, gambling
and bootleg liquor. They needed to show a legitimate
source for these monies.
 One of the ways in which they were able to do this
was by purchasing legitimate businesses and to mix
their illicit earnings with the legitimate earnings they
received from these businesses.

14
COOPERATIVE BNAK OF OROMIA | https://coopbankoromia.com.et
Historical background ML …

“The estimated amount of money


laundered globally in one year is 2 -
5% of global GDP, or $800 billion - $2
trillion in US dollars.”
UNODC, 2023

15
COOPERATIVE BNAK OF OROMIA | https://coopbankoromia.com.et
Definition of Money Laundering

 Money Laundering is the process of converting


illegitimately obtained proceeds into seemingly
legitimately obtained proceeds by concealing or
Disguising the true,
•Nature and Source
•Location
•Ownership
of illicitly obtained Proceed.
 The basic aim/objective is to hide the criminal origin of
the funds.

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Sources of illegal money

Based on NRA Result


 Tax Evasion
 Human Trafficking
 Corruption
 Good smuggling
(Contraband)
 Illegal Hawala
 Frauds
 Other illegal activities.

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Brainstorming
Question

Which of the above are means for the


possible ML offense in your Area and in
Ethiopia?

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The purpose of money laundering

 Hiding illegally accumulated wealth to avoid seizure by


authorities
 Avoiding prosecution by distancing them selves from the
illegal funds
 Increasing profits by reinvesting the illegal funds in
businesses;
 Evasion of taxes that could be imposed on earnings from
the funds
 Legitimizing laundered funds to set up and provide
legitimacy to a business

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The purpose of money laundering…

ML
Methods

ILLICIT Seemingly
FUND Legitimate
Funds

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ML Processes/stages

Money laundering is not a single act but a process that is


accomplished usually in three basic steps:
 Placement
 Layering
 Integration
1. Placement: illegally obtained money (Drug trafficking,
Smuggling/contraband (goods), Human trafficking,
Corruption, Fraud, Theft) put into the financial systems
 Opening bank account and depositing the fund
 Fund transfer to other locations

21
ML Processes/stages…

2. Layering: large series of transactions with no real economic


purpose, make more difficult to prove the criminal origin of the
fund and disguise ownership.
 Transferring the funds from account to account or from one
institution to another, Transfer the amount into offshore
accounts.
 Borrowing loans by holding the illegal fund as cash collateral
3. Integration: The actual use of money for a genuine
economic purpose.
 Purchase of Luxury Assets.
 Purchase of Real Estate.
 Purchase of Business and investments….etc.
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ML Processes

2.Layering: the movement of the money through large series


of transactions with no real economic purpose, in order to make
more difficult to prove the criminal origin of the fund and
disguise ownership.
Transferring the funds from account to account or from one
institution to another, Transfer the amount into offshore
accounts.
Borrowing loans by holding the illegal fund as cash collateral
3.Integration: The actual use of money for a genuine
economic purpose.
Purchase of Luxury Assets.
Purchase of Real Estate.
Purchase of Business and investments….etc.
COOPERATIVE BNAK OF OROMIA | https://coopbankoromia.com.et 23
Typologies/Methods of ML/TF

Ways criminals used to hide the true sources of


illicit fund
 Use of other persons (family, close associates,
employees, etc)
 Use of financial institution products (deposits, loans,
transfers)
 Front/shell companies/business
 False names/identities
 Deposit structuring or smurfing
 Connected Accounts
 Payable Through Accounts
 Loan back arrangements
COOPERATIVE BNAK OF OROMIA | https://coopbankoromia.com.et 24
Definition of Terrorist Financing
 Terrorism financing (TF) occurs when a person by any
means, directly or indirectly, unlawfully and wilfully
provides or collects funds with the intention that such
the funds will be used or in the knowledge that the
funds will be used in full or in part, in order to carry out
a terrorist act.
 Providing or collecting funds with the intention of using
them for terrorist acts.

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What is Terrorist Financing?
 It is the financial support, in any form of terrorism or of
those who encourage, plan, or engage in terrorism.
 The basic aim/objective is to hide the criminal purpose
of the funds.

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Terrorist organizations need money to:
 Recruit and sustain: money is needed to recruit,
support, train, transport, house, compensate and equip
terrorist agents
 Acquire influence: money is needed to sustain media
campaigns and win political support
 Build the support base: money is needed for
educational and social programs to win members and
create a support base
 Carry out terrorist activity

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TF Processes/stages

Stages of Terrorism Financing

Placement Distribution
Layering

Raising of funds – from Funds raised or


Legitimate and allocated transferred to Terrorist
illegitimate business, a terrorist organization organization now
sympathizers or and are used buy to has the resources
unsuspecting people. weapons, goods and it needs to commit
services for terrorist terrorist acts.
acts.

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TF Processes/stages…
Real Case : September 11 terrorist attack
 It is Estimated that USD 500,000 is spent to conduct the
9/11 terrorist act.
 The money is used for the terrorists to cover expenses
including to cover tuition fees for flight trainings and
buy the plane tickets including the planes used for the
terrorist act
 Much of the Money get into the terrorist hand from
Dubai via banks using wire transfer OR the use of Debit
or Credit cards to access funds held in foreign financial
institutions.
COOPERATIVE BNAK OF OROMIA | https://coopbankoromia.com.et 29
Brainstorming
Question

What are differences and similarities


between ML and TF?

COOPERATIVE BNAK OF OROMIA | https://coopbankoromia.com.et 30


Differences and Similarities b/n ML and TF
Difference
s

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Differences and Similarities b/n ML and TF
Similarities
Terrorist financers also utilize various ML methods and
processes to disguise:-The true nature, source and
movement of the fund used for terrorism.

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Definition of Proliferation Financing

• What is proliferation financing?


• The FAFT defines proliferation financing as raising, moving, or
making available funds or other economic resources/assets to
assist for, in whole or in part, with the proliferation of nuclear,
chemical, or biological weapons, i.e., weapons of mass
destruction (WMDs).
• Proliferation in this context includes the manufacture,
acquisition, possession, development, export, brokering,
transport, transfer, stockpiling, or use of WMDs as well as
their means of delivery or related materials. It would also
include dual-use technologies and goods used for non-
legitimate purposes.

33
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

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Economic and Social Consequences of
ML/TF
1.The Financial Action Task Force (FATF) – (established in 1989 by
G-7 Summit in Paris)
FATF has leaded the effort to adopt and implement measures
designed to counter the use of the financial system by criminals.
The FATF was given the responsibility of examining money ML
techniques and trends, reviewing the action which had already been
taken at a national or international level, and setting out the
measures that still needed to be taken to combat money laundering.
Egmont Group established in 1995
Set up to stimulate international cooperation and develop best
practices for exchange information amongst FIUs.
Ethiopia join the members in July 3, 2019

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International Initiatives against ML/FT…

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

 An association of 12 Global Banks


The Wolfsberg Group
 Develops standards for the financial industry and related products for KYC, AML and
CFT policies
 An international network of FIUs
Egmont Group
 Fosters improved communication and interaction
among FIUs
 Ethiopia join the members in July 3, 2019

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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Global FATF Assessment Reports (25 Jun
2021)
1) Public Statement
North Korea
Jurisdictions subject to a FATF call on its members and other
jurisdictions to apply counter-measures to protect the
international financial system from ML/TF risks:-
Iran
Jurisdictions subject to a FATF call on its members and other
jurisdictions to apply enhanced due diligence measures
proportionate to the risks arising from the jurisdiction.

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Global FATF Assessment Reports (25 Jun
2021)…
2) Improving Global AML/CFT Compliance: on-going
process
Improving Global AML/CFT Compliance in substantially
addressing their action plan agreed upon with the FATF :-
 Albania, Barbados, Botswana, Burkina Faso, Cayman
Islands, Cambodia, Haiti, Jamaica, Malta, Mauritius,
Morocco, Myanmar, Nicaragua, Pakistan, Panama,
Philippines, Senegal, South Sudan, Syria, Uganda, Yemen
and Zimbabwe

COOPERATIVE BNAK OF OROMIA | https://coopbankoromia.com.et 38


FATF Assessment Reports (18 October
2019)
Jurisdictions No Longer Subject to the FATF's On-Going
Global AML/CFT Compliance Process
Ethiopia
The FATF welcomes Ethiopia's significant progress in improving
its AML/CFT regime and notes that Ethiopia has strengthened the
effectiveness of its AML/CFT regime and addressed related
technical deficiencies to meet the commitments in its action
plan regarding the strategic deficiencies that the FATF identified
in February 2017. Ethiopia is therefore no longer subject to the
FATF's monitoring process under its ongoing global AML/CFT
compliance process. Ethiopia will continue to work with
ESAAMLG to improve further its AML/CFT regime.

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PART 2
AML/CFT Regime/Law in Ethiopia
AML/CFT Regime/Law in Ethiopia

The Ethiopian enacted AML/CFT laws

Prevention and suppression of Money Laundering and


the Financing of Terrorism Proclamation No. 780/2013

Council of Ministers Regulation. No.306/2014 on


Procedures for freezing of terrorists assets.

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AML/CFT Regime/Law in Ethiopia…

Provisions of the Law include:-


 Criminalizes ML, FT
 Seizure, confiscation (assets) and penalty
 Types of covered entities and persons (financial
instns., Customs authority, real estate agents and
broker, precious metal/ stones dealers, lawyers,
notaries, independent. Accountants, NGOs, etc)
 Cooperation among authorities
 Establishment of FIU/Centre

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AML/CFT Regime/Law in Ethiopia…

Powers and Duties of FIC


 Collect, receive, store, survey, analyze and
disseminate information on ML and TF
 Enhance public awareness on ML and TF
 Conduct research related to mechanisms of
ML/TF
 Issue directives related to AML/CFT
 Refer to law enforcement organs on suspected
ML/TF
 Conduct inspections on financial institutions on
to ensure compliance with AML/CFT directives
43
AML/CFT Regime/Law in Ethiopia…

FIC Financial AML and CFT compliance Directives No.01/2014


since January 24,2014
comprehensive customer acceptance Independent compliance management and internal
policy and procedures. audit functions

KYC and identification procedures (natural Obligations regarding wire transfer


and legal persons), Assessing risk level

Account/transaction monitoring Systems, Sanction


screening
Correspondent banking and money transfer r/ships Record keeping

Confidentiality Internal prevention programs

Reporting (cash transactions (weekly),suspicious Establishing ongoing employees training


transactions (within 24 hours)) programs

COOPERATIVE BNAK OF OROMIA | https://coopbankoromia.com.et 44


AML/CFT Regime/Law in Ethiopia…
NBE Account Based Transactions and Ensuring of Regulatory
Limits Directives No. FIS/04/2021 since August 27,2021
Account opening requirement
 Fill in all compulsory information in account opening form
& CBS
 Create only one Customer ID(CIF) for single customer but
they can have multiple account.
 Conduct ongoing monitoring and update customers profile
 Do not open account for unknown identity or fictitious
name
 Deactivate existing customer account of incomplete KYC
within 6 month
 KYC team shall approve or decline new account opening
and initial deposit shall effect in temporary account
COOPERATIVE BNAK OF OROMIA | https://coopbankoromia.com.et 45
AML/CFT Regime/Law in Ethiopia…
Fill in all compulsory information in forms of
 account to account transfer,
 cash deposit,
 cash withdrawal,
 check deposit,
 RTGS customer transfer,
 EATS-ACH Credit Transfer form & banks’ CBS.

 Do not allow cash deposit to third party or non-account


holder
 Only authorized can make cash deposit to legal person.

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AML/CFT Regime/Law in Ethiopia…
Penalties
 Any accountable person/Bank intentionally fails, within
the prescribed period to report to FIC; uses information
kept at the center for unauthorized purpose or
knowingly allows it or its services to be used to commit
ML or FT is punishable with imprisonment from 3-5
years and fine from Birr 5,000-10,000
 Any accountable person/Bank intentionally fails to
comply with FIS No,04/2021 fine of Birr 20,000-
100,000. for each violations.

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Discussion Questions
 Why do bank customers are
identified before getting any
banking services?
 What are parameters or
particulars of bank customer
identifications?

48
COOPERATIVE BNAK OF OROMIA | https://coopbankoromia.com.et
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.
49
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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Definition and Concept of KYC…
Who should know?
CSO, CRM, CRO
Branch manager,
Branch Controller,
What should you know?
 True identity and beneficial ownership of the accounts
holders
 Permanent address, registered & administrative address
 Making reasonable efforts to determine the true identity
and beneficial ownership of accounts; Sources of funds,
Nature of customers’ business
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CDD Definition
CDD obtaining, documenting and using a broad range of
information relating to a customer relationship or an
occasional transaction.
a) Identifying the customer on the basis of documents,
data or information obtained from a reliable and
independent source
b) Identifying, where applicable, the beneficial owner and
taking risk-based and adequate measures to understand
the ownership and control structure of the customer

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CDD Definition…

c) Obtaining information on the purpose and


intended nature of the business relationship
d) Conducting ongoing monitoring of the business
relationship including ensuring that the
transactions being conducted are consistent with
the knowledge of the customer, the business and
risk profile, including, where necessary, the source of
funds and ensuring that documents, data or
information held are kept up-to-date.

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When to undertake CDD

Branches should undertake Customer Due Diligence


(CDD) measures when:
 business relationship is established ;
 carrying out cash transaction(CTR) above the limit
set by the center.
 carrying out wire transfers,
 there is a suspicion of money laundering or terrorist
financing,
 there are doubts about the veracity or adequacy of
previously obtained customers identification data;

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Know Your Customer(CDD)/identification Standards

 Identifying the customer and verifying the customer's identity


on the basis of documents, data or information obtained from
customer and/or from reliable and independent sources,
 Beneficial owner : is the person who ultimately owns or
controls a bank customer, and/or the person on whose behalf a
transaction is being conducted.
Focus Points.
Regular customer
Using Independent and Reliable Documents
KYC has two stages:
Identification: What the client tells you
Verification: Is what the customer tells you is correct?

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Know Your Customer(CDD)/identification Standards…

1. Identification Documents required for:


 Identification of Individuals(Renewed passport, Driving
license, Kebele ID, other government-issues ID, recent
photo, Issued by other organization etc)
 Evidence of existence for corporations(Memorandum of
association. And article of association. Business licenses,
TIN, collect data of signatories, etc)
 Evidence of Source of Wealth from identification documents
and interview
 Identification of PEPs from identification documents
 Name screening against designated lists

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Know Your Customer(CDD)/identification Standards…

2. Verify the identification documents:


 Verify identity of customers(natural/ legal persons)
relevant authorities using other reliable, independent
sources and retain on record copies.
Identification and verification of PA,
 Branch shall identify the natural persons who act on behalf
of the customer.
 Branch shall verify PA from document registration and
authentication agency.

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Identification Requirements of Natural/Legal
Persons
Fill in all compulsory information in account opening form
 Given or legal name
 Permanent address(City, sub-city, kebele/woreda, house
no.)
 Telephone number(house, office and mobile), fax number(if
available), P.O.Box, and e-mail address,
 ID Type, ID/Reg. no., issued by, TIN no., gender, nationality,
Date of birth/establishment(organization), Occupation
 public position held to check PEPs, Employer,
 Average monthly and annual income, Type of account
 Check sanction lists (UN, regulatory, OFAC, , EU, etc. lists)
 Powers of attorney for agent cases
 Signed statement certifying accuracy of the information.
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Identification Requirements of Legal
Persons
 Name
 Legal form
 Article and memorandum of association, principal
registration certificate and business license or tax
identification number (if available)
 Address which includes country, city/ town/kebele in which
the head office is located , and house if available house
number, mailing address, telephone number and fax
number
 Names of directors, if applicable, and the chief executive
officer
COOPERATIVE BNAK OF OROMIA | https://coopbankoromia.com.et 59
Identification Requirements of Legal
Persons…
 Provisions regulating the power to bind the legal person or
arrangement
 Sources of the fund
 The resolution of the board of directors (if applicable) or
any other authorized body or person to open and account,
and
 Identification of those who have authority to operate the
accounts
 Check sanction lists (UN, regulatory, OFAC, , EU, etc lists)

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Identification Requirements of Wire
Transfer
 Name and signature of remitter
 Name of beneficiary
 ID number
 Present address
 Permanent address
 Telephone number (if applicable)
 Nationality
 Amount and currency to be remitted or received
 Purpose of remittance

61
Identification Requirements

Mandatory information that should be filled in the core


banking system (CBS)
Natural/Legal Persons
 Full Name
 Indicating if the person is transacting for another person
 Identification type and Number (Kebele ID, Passport
No….etc)
 Issuing country of passport (if applicable)
 Date of Birth
 Country of Residence and Origin (if other than Ethiopia)
 Occupation
 Full Address
 Telephone number, Fax, E-mail
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Identification Requirements…

Mandatory information that should be filled in the core


banking system (CBS)
Wire transfer Transactions
 Full Name
 Identification type and Number (Kebele ID, Passport
No….etc)
 Date of Birth
 Country of Residence and Origin (if other than Ethiopia)
 Occupation
 Full Address
 Telephone number, Fax, E-mail

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Advantages of KYC norms
Sound KYC procedures have particular relevance to
the safety and soundness of banks, in that:
 They help to protect banks’ reputation and the integrity of
banking systems by reducing the likelihood of banks
becoming aCOOPERATIVE
vehicleBNAK
for or a victim of financial crime and
OF OROMIA | https://coopbankoromia.com.et
suffering consequential reputational damage;
 They provide an essential part of sound risk management
system (basis for identifying, limiting and controlling risk
exposures in assets & liabilities)

COOPERATIVE BNAK OF OROMIA | https://coopbankoromia.com.et 64


Types of CDD
Simplified CDD process shall be adopted for lower risk
categories of customers, these are:
 Financial Institutions, that are regulated for AML/CFT
compliance requirements
 Government organizations and government owned
companies
 Regulatory bodies
 Salaried Accounts

65
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;

66
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.

67
Discussion Questions
Briefly discuss your branch
KYC practices on account
opening and
documentations?
 Saving account
 Current Account
 Diaspora Account

68
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,
69
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.
70
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.

71
Brainstorming
Question

Mention some examples of possible


PEPs from your branches Area? How
do you identify them?

72
High Risk Factors

a) Customer risk factors:


 The business relationship is conducted in unusual
circumstances (e.g. significant unexplained geographic
distance between the financial institution and the
customer).
 Non-resident customers such as those staying in the
country for less than one year or those in short visit or
travel;
 Legal persons or arrangements such as trusts that are
personal asset holding vehicles;

73
High Risk Factors…

a) Customer risk factors:…


 Companies that have nominee shareholders or shares in
bearer form;
 Business that are cash-intensive;
 Complex, unusual or large transactions including the
ownership structure of the company appears unusual or
excessively complex given the nature of the company’s
business; and
 Politically Exposed Persons (PEPs) and persons or
companies related or close associated to them.

74
High Risk Factors…

b) Country or geographic risk factors:


 Countries identified by credible sources, such as mutual
evaluation or detailed assessment reports or published
follow-up reports, as not having adequate AML/CFT
systems.
 Countries subject to sanctions, embargos or similar
measures issued by, for example, the United Nations.
 Countries identified by credible sources as having
significant levels of drug production, trafficking or
smuggling, corruption or other criminal activity.
 Countries or geographic areas identified by credible
sources as providing funding or support for terrorist
activities, or that have terrorist organizations operating
within their country.
75
High Risk Factors…

C) Product, service, transaction or delivery


channel risk factors:
 Private banking;
 Anonymous transactions (which may include cash);
 Cross-border business relationships;
 Wire transfers or non face-to-face business relationships
or transactions; and
 Payment received from unknown or un-associated third
parties.

76
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.
77
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)

78
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

79
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)
81
Reporting to FIC

1. Cash Transactions (deposit or withdrawals above Birr


300,000 and/or USD 15,000 or its equivalent in other currencies
The Cash transaction report should be made when transaction
are made in cash
 Deposits
 Withdrawals
 Exchange of Currency
 Cash Payment
 Transfer
 And other Cash transactions
2. Suspicious transactions

82
Suspicious Transaction

Suspicious Transaction means a transactions or a attempt


of transaction in which a financial institution or its officer has
reasonable grounds to suspect that funds are the proceeds of
crime, or are related or linked to, or is to be used for
financing of terrorism and includes any suspected
engagement of a customer in unlawful financial transactions
or attempts of circumventing any of the provisions of this
Directives for unlawful.
 Indicators are signals that tells bank managers/employees
the customer or the transaction he/she is conducting/ed
may be linked with crime or criminal activity or proceeds
of crime.
83
Red flag indicators

84
Red flag indicators

Cash withdrawals and transfer regulatory limits related


 unwillingness to providing KYC information or provides false
info;
 unwilling to provide the nature and purpose of the transaction
or provides false information;
 occupation of the customer, sources and amount of income
doesn’t correspond to type, frequency and amount of account
activity(cash deposit, transfer, withdrawals etc);
 customer involved in transferring money to multiple accounts
with payments of small values;.

85
Red flag indicators…

Cash withdrawals and transfer regulatory limits related


 Beneficiaries have no business, family or societal relationship
with sender raising alarm for legal and genuine purpose;
 When lawful business of a customer doesn’t require making
multiple transfers;
 When net saving of such customers is small while having huge
account turnover; and
 cash transaction by non-profit or religious organizations, with
no logical or economic purpose or no link between the stated
activity of the organization and other parties in the
transactions.

86
Red flag indicators…

Account Opening related


a) The customer attempts top open an account(s) on what
appears to be fictitious name or in the name of other
persons
b) The customer submits copies of identification documents
while refusing to present the originals without any
rational reasons.
c) The customer provides identification documents that are
suspected to be forged or false
d) The customer provides unclear or doubtful information
during the account opening process.
e) The customer refuses to present his or her personal
identification document without any rational reasons. 87
Red flag indicators…

Red flag indicators on Cash Transaction


a) The customers conduct a series of large deposits and
withdrawals within a short period of time in cash or by cheque.
The customer keeps making withdrawals until all funds are
deposited has been exhausted.
b) The stated occupation of the customer does not correspond to
the level or type of transactions undertaken ( e.g. a student
customer makes a series of large cash deposits and
withdrawals at different locations.)
c) The sudden increase in an account balance though large cash
deposits.
d) Customer deposit very dirty or moist currency notes.
e) Customer frequently conducts cash transactions for amounts
just below the reporting threshold of in an apparent attempt88to
Red flag indicators…

Red flag indicators on Transaction through existing


customer
a) Large deposit and withdrawals during a short period of time in to
an account immediately after being opened. The account is then
closed or discontinued for any other transaction.
b) Customer frequently conducts transactions at particular branches
instead a of a branch conveniently located to where he /she
resides or works.
c) Frequent telegraphic transfers of large sums in to an account of
customers.
d) The customer frequently receives large deposit in to his /her
account at a branch distantly located from the branch at which
the customer maintains his/her account.
e) Transaction involving an account that is used frequently to remit
89
Red flag indicators…

Red flag indicators for cross border wire transfer


a) Transaction where customer make frequent large overseas
remittances within short periods of time
b) The customer receives large overseas remittances for
economically unreasonable purposes.
c) Information concerning the originators of a wire transfer
is not provided.
d) High-risk countries for the list refer to the financial action
taskforce website on: WWW.fatf-gafi.org
e) Customers who decline to provide information or evidence
in conducting a transaction.

90
Red flag indicators…

General red flag indicators relating to TBML on


financial institutions specially on banking products
a) Use of letter of credit to move money between two or more trade
relation countries, such trade would not normally occur.
b) The method of payment requested by the client appears
inconsistent with the risk characteristics of the transaction.
c) The transaction involves the receipt of cash from third party
entities that have no apparent connection with the transaction.
d) The transaction involves front or shell companies and the use of
repeatedly amended letters of credit without reasonable
justification.
e) Inward remittances in multiple account and payments made
from multiple account for trade transaction of same business
entity are indicators for TBML. 91
Suspicious Transaction Reporting Problems

Branches not sending STR, this is due to:


 Branches are not conducting adequate Customer Due
Diligence regarding their customers.

92
Discussion Questions
Identify and discuss on
examples of possible
suspicious transactions that
may occur at branches?

93
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.

95
Responsibilities of Banks Staffs

Staffs at branches and Branch managers are


required to:
 Adequately Identify their customers whether regular or
occasional customers.
 Ensure that customer Identification is a culture of the
Branch.
 As much as possible, Ensure that the various documents
received in account opening are genuine (This refers to post
checking after the account is opened for the customer at
least on sample basis) .
 Report Cash Transaction exceeding Birr 300,000, and or USD
15,000 or its equivalent in other foreign currency.
 Conduct adequate Customer Due Diligence and Report
96
Banks Risks for Non-compliance with AML/CFT Requirements

 Legal and regulatory risks (warnings, financial


penalty, administrative penalty, imprisonment,
etc)
 Reputation loss
 Business relationships (correspondent banks, MT
agents, etc) damaged/loss

97
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
101
T H A N K Y O U.
Galatooma!

102
For Further Information, Documents
and Compliance contact Telephone
Bank’s FTP Portal under Risk and compliance
folder
Phone Number +251 11 5586389

103

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