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Financial Crime
The Money Laundering Regulations 2007, which will implement the Third Money Laundering Directive in the UK, were laid in Parliament on 25th July. The Regulations are due to come into effect, subject to Parliamentary approval, on 15th December 2007. Further information, including the text of the Regulations and a Summary of Consultation Responses (commodity market participants should, in particular, see para 3.6 and 3.9), is available from the HM Treasury website
As some of you are aware, the reliance provisions in the Money Laundering Regulations 2007, as laid before Parliament, contain an additional requirement for reliance, namely the consent of the person to be relied upon (see Regulations 17(1)(a)). Together with fellow trade associations, the FOA has met with representatives from HM Treasury to discuss this change, outline the potential issues for give-up and funds business and to explore potential solutions (e.g. the definition of “consent” and the steps firms wishing to place reliance on third parties would be expected to take). We are helping to develop appropriate text, with HM Treasury, for the JMLSG Guidance.
The Home Office is now consulting on proposals "to prescribe the form and manner for reporting suspicious activity under section 339 of the Proceeds of Crime Act 2002." A second consultation on the consent regime is, as we understand it, expected later this summer. A copy of the consultation document is available, via the Home Office site or click to view document (PDF) The consultation closes on 22nd October 2007, please email Jane Green if you have any feedback.
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The latest (special) edition of the FSA's Financial Crime Newsletter, focuses "on the issues of authentication and safeguarding of customers' identity." The newsletter includes the findings of an FSA survey, which are "meant to be read as a good practice guide for firms" and what the FSA expects from firms. Members should also note that: examination of "the controls in firms to prevent data loss" will be one of the Financial Crime Operations Team's main projects this year; the newsletter is "only the starting point within our larger programme on information security..."; and the FSA is stressing the importance of the information/reports it publishes, as well as publications by other organisations with a role in tackling financial crime role e.g.: "...we expect the industry to respond to the intelligence alerts and feedback it is being given. So where we find that firms have not paid attention to reports we've produced and have overlooked the risks we've alerted them to, we will be asking why!" A copy of the newsletter is available from the FSA website or click here
The FSA has published a Statement of Good Practice on: Automated Anti-Money Laundering Transaction Monitoring Systems which provides "feedback on good practice, which firms may find helpful to ensure compliance with the new Money Laundering Regulations once they come into force." A copy is available, please click here FOA Anti-Money Laundering contacts list Following a number of personnel changes, we no longer have AML contacts for a number of FOA member firms. If you wish to be added to our circulation lists, please contact Devrim Baki
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