Notice: Function _load_textdomain_just_in_time was called incorrectly. Translation loading for the so-widgets-bundle domain was triggered too early. This is usually an indicator for some code in the plugin or theme running too early. Translations should be loaded at the init action or later. Please see Debugging in WordPress for more information. (This message was added in version 6.7.0.) in /home/siorikco/public_html/wp-includes/functions.php on line 6170

Notice: Function _load_textdomain_just_in_time was called incorrectly. Translation loading for the woocommerce domain was triggered too early. This is usually an indicator for some code in the plugin or theme running too early. Translations should be loaded at the init action or later. Please see Debugging in WordPress for more information. (This message was added in version 6.7.0.) in /home/siorikco/public_html/wp-includes/functions.php on line 6170

Deprecated: Optional parameter $pattern declared before required parameter $function is implicitly treated as a required parameter in /home/siorikco/public_html/wp-content/plugins/wp-cerber-old/cerber-scanner.php on line 3450
Blog - Page 1729 of 1759 - Risk Management Never Been So Simplified
Home Blog Page 1729

U.S. Treasury Official Danny McGlynn Joins K2 Intelligence Financial Integrity Network

0

NEW YORK and WASHINGTON, Feb. 26, 2020 /PRNewswire/ — K2 Intelligence and Financial Integrity Network (FIN) today announced that former U.S. Treasury official Danny McGlynn has joined the firm as a senior vice president. Mr. McGlynn joins the firm after serv…
Read More

IntelHub Events

0

Upcoming Events
Anglo-European Intelligence Cooperation: Britain in Europe, Europe in Britain
Intelhub Speaker Series: Hager Ben Jaffel Attend Webinar March 6, 2020 at 10am ET
This presentation will discuss research findings drawn from the recently publish…
Read More

UAE to take action against Pakistani bank if found violating laws

0

The UAE Central Bank on Wednesday said it is in close contact with Pakistan’s central bank and will take appropriate regulatory actions against a Pakistani bank which has reportedly been founding violating the money laundering laws.
“We are in close contact …
Read More

The Big Heist: U.S. Imposed Economic Sanctions on One Third of Humanity

0

The US has become increasingly dependent on the use of unilateral economic sanctions to achieve its policy objectives against its declared targets since the start of the great recession in 2008. Presently, sanctions impact one-third of humanity in 39 countrie…
Read More

Conservatives seen tightening grip as Iran votes for parliament

0

Iranians took to the polls Friday in an election expected to see conservatives tighten their grip on parliament, amid voter apathy after the disqualification of thousands of candidates.
Polls shut at midnight (2030 GMT) after at least five extensions beyond …
Read More

Conservatives seen tightening grip as Iran votes for parliament

0

Iran extended voting for a third time on Friday in an election expected to see conservatives tighten their grip on parliament, amid voter apathy after the disqualification of thousands of candidates.
The 11th parliamentary election since the 1979 Islamic Rev…
Read More

Conservatives seen tightening grip as Iran votes for parliament

0

Iran extended voting for a second time on Friday in an election expected to see conservatives tighten their grip on parliament, amid voter apathy after the disqualification of thousands of candidates.
The 11th parliamentary election since the 1979 Islamic Re…
Read More

Conservatives seen tightening grip as Iran votes for parliament

0

Iranians took to the polls Friday in an election expected to see conservatives tighten their grip on parliament, amid voter apathy after the disqualification of thousands of candidates.
Polls shut at midnight (2030 GMT) after at least five extensions beyond …
Read More

AML/CFT Process Simplified: AML/CFT Training.(Part 6-Final)

You must know that regulatory bodies take punitive action against any organization that does not provide training to employees regarding AML/CFT. But do you know that regulatory bodies also take remedial measures against the organization that does not provide training to the employees that are not effective? So this article focus on how do you make training effective in your organization.

Click on this link to go to the previous article.

Why Training is so Important?

A human being is considered the weakest link in any security chain. Even though the organization has implemented complex technology, comprehensive policies, procedures, checklist, forms, but, if employees don’t follow them, everything goes down to the drain. Employees are considered the first, last, and best control. Therefore, if you want to implement AML/CFT policies, procedures effectively, you need to train your employees rigorously.

What does the regulator or Auditor focus on the training program of the organization:

  1. How much emphasis is put by directors and senior management on training their employees i.e tone from the top?
  2. Does the training focus on all AML/CFT risky areas in the organization?
  3. Does the training cover all the employees in the organization?
  4. What is the frequency of the training?
  5. Does training materials cover bank policies, procedures, government rules, and regulation?
  6. Does it cover recent examples showing new trends, techniques relating to money laundering?
  7. Does training cover penalties for noncompliance with internal policies and regulatory requirements?

Consequences for not providing training:

  1. Failing to comply with the Organization AML/CFT policies and manuals.
  2. STRs filing was not adequate and of poor quality.
  3. TTR and STR were not reported timely.

All these lapses will attract regulatory penalties to the organization and its staff.

Therefore, the following factors are to be considered while designing effective training:

  1. Whom to Train

This is the first stage in designing your training program that is to identify your target audience. Organizations’ risk assessment results can help to identify prioritized areas for training. Also, it is always better to train employees on the basis of their roles and responsibilities as well as on what type of AML/CFT risks they may face at the time of performing their jobs. For e.g., Front Desk Staff should be adequately trained on identifying customers and collecting all KYC documents while Credit Staff should be trained on validating whether the source of income of the customer is legitimate or not. Similarly, Board members should understand different AML/CFT report so that they could put more focus on high-risk areas.

  1. What to Train.

There may be various areas on which different staffs can be trained, but generally, it may include the following:

  • General Introduction: Here one may educate employees regarding the history of money laundering/terrorism financing, what are the key concepts, how these offenses are being done. This may include real-life examples.
  • Legal framework and Organization policies: Provide information regarding different AML/CFT Acts, laws that are applicable to the organization including provisions mentioned in policies and manuals that should be followed by every staff in the organization.
  • Penalties: What are penalties in case of breach of policy or manual as well as legal penalties to the employees and the organization in case of defiance with AML/CFT laws and actions.
  • Suspicious Transaction: Employees should be trained on identifying different suspicious transaction red flags and escalating them to the concerned authority.
  • Real-life money laundering schemes: Employees should be informed about the money laundering events that happened in the organization or similar institutions, including how the first pattern was detected and its resolution.

Well-planned training should fulfill legal, regulatory, and policy requirement and should help staff to understand their jobs and responsibilities

3. How to provide training:

  1. In House Training:

The major advantage of this training is that trainer is a staff of the organization and much of the learning can be done through the sharing of experience. The major drawback is that it takes a long time and effort to create training materials, participants may not feel comfortable interacting as trainers are usually superiors.

  1. Web/online Based Training:

This training may include sharing training videos to employees, giving real-time training through Skype or video conference. The main advantage is that it is cost-efficient since there is no need for brick and mortar location as well staff may learn at self-pace. The biggest disadvantage is infrastructure or technical problems like losing network or electricity, or other hardware issues, also, there is no way to sure the staff has watched all the training videos.

  1. External Vendor Laid Training:

External trainers bring new insights, since, they are professional, their training materials are well laid out. Cons are cost as well as training materials may not be customized as per the organization’s needs.

4. When to train:

The best practice is to train employees regarding AML/CFT at least once a year. However, the following situations can mandate training for the staff:

  1. Specific Issue: There may the situation arise where certain events, issues have to communicate to staff immediately. This can be a new regulation, revision of policy. This can be done via memo or e-mail without formal training.
  2. Serious findings from audit or regulator bodies: If the Audit or regulatory bodies may have shown some serious concern in AML/CFT matter, then it may be wise to communicate this to all staff by conducting immediate training sessions.
  3. Individual Knowledge Assessment: If it is observed that some staff may lack serious knowledge regarding AML/CFT while carrying their transaction, then such staff may be selected to provide immediate training.

[stextbox id=’alert’]BOOK LIVE CLASS FOR PREPARING CAMS EXAM. CLICK HERE TO MAKE INQUIRY!!! [/stextbox]

Besides this, new hires should be given training at once. The board of directors and senior management should be trained concerning changes and new developments in the AML/CFT scenario,

It is compulsory to take personal attendance at AML training. If any person misses that training. then, a make-up session may be arranged. In any case, the unexcused absence should be taken up for disciplinary action.

Training Assessment:

Every staff should be evaluated after each training session to gauge their level of understanding. The best technique is to conduct an eLearning exam. The eLearning exam should have the following features.

  1. The questions should be set as per the different job responsibilities of the staff.
  2. Each question should be time-bound, say 75 sec or 90 sec to answer each question. So that staff could not consult with other staff for answering the question.
  3. Those staff who have not attempted the eLearning exams with a certain period should send reminders every 2-3 days.

Such a learning exam helps to track down the staff who have not completed the exam, or who failed the exam in multiple attempts(if allowed). Those staff who have not completed the exam should be asked for justification and any unreasonable excuse should not be tolerated.

In this way, training can be properly designed which would help the organization in the long run.

We have come to the end of this 6 article series of simplifying the AML/CFT process in your organization.

Thank you for reading, I hope you have found this article helpful. Please don’t forget to share and like.

AML/CFT Process Simplified: AML/CFT Organization Structure(Part 5)

Congratulations, you have now completed more than 50% of the work in AML/CFT. You have done Money laundering and Terrorism financing risk assessment developed policies and manuals. Now, before you start implementing it, let’s do some housekeeping that is to say manage your reporting structure.

Go to the previous article by clicking here.,if you have just landed on this page for better understanding.

Usually reporting structure for AML/CFT should look like in the figure below to ensure proper AML/CFT governance:

But this structure may be altered as per the organization’s need, however, care should be taken such that reporting structure should be created in such a way that activities or issues regarding AML/CFT  should be reported to management as well board committee so that they can take necessary action.

In some jurisdictions, regulatory bodies require separate BOD level AML Committee to be established so that AML/CFT issues will be given priority than having present in the BOD committee where it gets buried under other agendas.

Now,  let’s talk about the department structure. The creation of department structure is art rather than science. The following principles will guide you on creating a department structure.

In his book, E Myth, Michael E. Gerber explains that there are three types of personality: Entrepreneur, Manager, and Technician. Entrepreneur brings new ideas, innovation. The manager aims to main order in the organization, does planning, develops routine. Finally, a Technician loves to do his/her job. He says that if these personalities are included in a single person, it will create a conflict in such a way that that person will not be able to accomplish any task. This is the reason why many startups fail because the owner tries to involve in every task himself instead of delegating.

You should try to implement this in your department structure. Your department structure should be created in such a way that you as the department head should act as an entrepreneur. You should be able to bring new ideas, innovation to improve upon AML/CFT. It may be anything like meeting with vendors for purchasing new AML/CFT software, identifying new control measures to strengthen your AML/CFT system, doing gap analysis in existing policy, providing training to other employees. If you are always occupied with daily tasks, then you will be not able to focus on these key areas.

The manager role should be delegated to your second line. The manager should be able to monitor the activities of other staff in such a way that, he ensures that every staff performs his/her activity in a timely and accurate manner. He should be able to guide them if they need any help or reprimand them if they perform their job negligently. He should be able to manage departments like clockwork bringing consistent results. The chemistry between entrepreneur and manager should be such that any new ideas that an entrepreneur brings should be implemented by the manager without hitch.

The third role is of technicians who are individual employees who are given a specific task. The task should be divided in such a way that everybody is clear of what is expected of them. This will also create transparency during a performance evaluation since every staff knows what is the benchmark against which their work will be verified. The one way to accomplish this is to design job responsibility in such a way that it will list all the activities to be performed by the staff along with key performance indicators that each staff needs to achieve to successfully complete the task. If they fail to meet any of those KPI, it means staff is not performing, as a result, your department performance is not up to mark. You can then decide whether to train, motivate, or in the worst case terminate that staff.

[stextbox id=’alert’]BOOK LIVE CLASS FOR PREPARING CAMS EXAM. CLICK HERE TO MAKE INQUIRY!!! [/stextbox]

In order to implement this, you need to establish the fact that every job responsibility that you assigned to your staff is a  performance agreement. It’s a contract where both parties agreed upon. Your staff will agree to complete all the tasks mentioned in the agreement, as a result, you will reward him/her with a good performance appraisal leading to future job incentives. Although this looks too formal, it works. Staff will immediately start to take their job more seriously because they are now clear about their scope of activities and also with reward and punishment associated with it.

Remember, a delegation of work doesn’t mean that you are free from your accountability. Accountability and Responsibility sound similar but are totally different concepts. You can delegate your responsibility but you can never delegate accountability. Accountability literally means to stand up and be accounted for. Therefore, you need to keep close eyes on your team.

Finally, you have now created a department that will work as a system with all the nuts and bolts at the right places, this will help you to achieve any objectives that you have set for your department.

Thank you for reading. Please like and share if you have found it useful.

Next Article: On AML/CFT Training Plan

 

ABOUT AUTHOR
Kiran Kumar Shah
https://learnwithsiorik.com/tutors/