AML red flags – What are the top 10 indicators? (2024)

The growing complexity, diversity and interconnectedness of the financial system is creating new opportunities for criminals. As a result, the anti-money laundering (AML) red flags firms are monitoring will change. So what should compliance teams be looking for, and how do these risks vary by industry?

What are red flags in AML?

AML red flags are common warning signs alerting firms and law enforcement to a suspicious transaction that may involve money laundering.

The Financial Action Task Force’s (FATF) international standards to fight money laundering and the financing of terrorism and proliferation provides a comprehensive and consistent framework of measures for firms to follow.

Here are our top 10 AML red flag indicators:

1. Secretive new clients who avoid personal contact

Firms should have Know Your Customer (KYC) and customer due diligence (CDD) procedures in place when onboarding new clients. If a customer refuses to answer questions about themselves, firms should consider whether this is suspicious, especially if they have criminal associations, or know an unusual amount about the money laundering process.

2. Unusual transactions

Customers trying to launder funds may carry out unusual transactions. Firms should look out for activity that is inconsistent with their expected behavior, such as large cash payments, unexplained payments from a third party, or use of multiple or foreign accounts. These are all AML red flags.

3. Unusual source of funds

Transactions involving large amounts of cash or private funding could indicate money laundering, and if cash deposits or complex crypto assets are involved, identifying the source can be difficult.

4. Transaction has unusual features

The size, nature or frequency of transactions, or repetitive instructions involving common features, are all AML red flags. Firms should be particularly alert if a transaction appears unusual for the customer’s profile, or if there is unexplained urgency.

5. Geographic concerns

If a firm is not local to the customer, why are they using it? Unexplained connections with – and movement of money between – jurisdictions should also raise suspicions.

6. Politically exposed persons

Individuals – and their family and associates – in high positions are more vulnerable to corruption and could pose a higher risk of money laundering for quid-pro-quo favors or kickbacks. While no standardized global definition exists, PEPs typically include heads of state, senior politicians or government officials, judicial or military officials, senior executives of state-owned corporations, or important political party officials.

7. Ultimate beneficial ownership is unclear

Ultimate beneficial owners are the people who ultimately own or manage a company. Complex ownership structures, or the use of shell companies, could be an attempt to disguise criminal activities and carry out financial crime.

8. Jurisdiction risk

Some countries or jurisdictions have high levels of corruption, unstable governments, or are known as money laundering havens. They could also have inadequate AML/CFT regulatory and judicial frameworks, or be subject to economic sanctions. Transactions that involve these countries should be carefully monitored as AML red flags.

9. Sanctions exposure

It is important that firms review relevant international sanctions lists to ensure that customers are not sanctioned themselves, or involved, or transacting with, a sanctioned entity. As Russia’s invasion of Ukraine has demonstrated, sanctions lists are subject to change at short notice. This means firms need to ensure they have a real-time plan for managing rapid changes.

10. Adverse media

Additional checks may also be needed if the customer is a subject of negative news media in any part of the world, as this could increase AML risk. Firms should ensure their adverse media screening is appropriately aligned with common predicate offenses.

How do AML red flags vary by industry?

While the above tips provide general guidance regarding customers and transactions to be wary of, the nature of red flags will vary by customer and industry.

For example, the virtual asset industry faces specific risks that firms should be aware of. The FATF recently issued guidance on virtual asset (VA) red flags, highlighting six key areas of focus:

  • Transactions: Firms should look out for the structuring of VA transactions (e.g. transfer or exchange) in amounts under record-keeping or reporting thresholds
  • Transaction patterns: A new user may attempt to trade the entire balance of VAs, or withdraw the VAs and attempt to send the entire balance off the platform
  • Anonymity: Firms should look out for customer transactions involving more than one type of VA and especially VAs that provide higher anonymity, such as anonymity-enhanced cryptocurrency (AEC) or privacy coins
  • Senders or recipients: Customers may create separate accounts under different names to circumvent restrictions on trading or withdrawal limits imposed by VASPs
  • Source of funds or wealth: The use of one or multiple debit and/or credit cards that are connected to a VA wallet to withdraw significant amounts of fiat currency (crypto-to-plastic), or funds for purchasing VAs are sourced from cash deposits into credit cards
  • Geographical risks: Customer uses a VA exchange or foreign-located money or value transfer service (MVTS) in a high-risk jurisdiction with inadequate AML/CFT regulations for VA entities, including inadequate CDD or KYC measures

Next steps

Following FATF guidance and local legislation, AML programs should ensure a risk-based model that reflects their threat landscape andregulatory environment, effectively highlighting any AML red flags. This should include suitableCDD processes,identifying customers forenhanced due diligence(EDD), transaction monitoring solutions, and sanctions,PEPs and adverse media screening.

AML red flags – What are the top 10 indicators? (2024)

FAQs

AML red flags – What are the top 10 indicators? ›

If a firm is not local to a customer, it can be beneficial to look further into it as a precaution. Additional red flag indicators in AML to look out for include deception or secrecy from a client, criminal activities and connections, new clients, and, in some cases, early repayment of mortgages.

What are red flag indicators in AML? ›

If a firm is not local to a customer, it can be beneficial to look further into it as a precaution. Additional red flag indicators in AML to look out for include deception or secrecy from a client, criminal activities and connections, new clients, and, in some cases, early repayment of mortgages.

What are the red flags for AML insurance? ›

Some examples of "red flags" include, but are not limited to, the following: the purchase of an insurance product inconsistent with the customer's needs; unusual payment methods, such as cash, cash equivalents (when such a usage of cash or cash equivalents is, in fact, unusual), or structured monetary instruments; ...

What are the three key indicators in AML risk rating? ›

According to the BSA, determining inherent AML risk involves assessing three main factors:
  • Products and services.
  • Customers.
  • Geographic location.
Apr 27, 2023

What are the key criteria in AML risk? ›

An AML risk assessment helps identify the institution's inherent risk and assesses the effectiveness of its preventative and detective controls. FATF recommends considering the following factors when assessing inherent money laundering risk: The nature, scale, diversity, and complexity of the business.

What are the 10 red flag symptoms? ›

Examples of red-flag symptoms in the older adult include but are not limited to pain following a fall or other trauma, fever, sudden unexplained weight loss, acute onset of severe pain, new-onset weakness or sensory loss, loss of bowel or bladder function, jaw claudication, new headaches, bone pain in a patient with a ...

What are the red flags of AML trade based money laundering? ›

Red Flags of Trade Based Money Laundering

Some indicators of TBML include: Unusual Trade Patterns: Frequent changes in trading partners, sudden shifts in product lines, or high-value transactions without a justified business purpose can be signs of TBML.

What are covered accounts red flags? ›

The Red Flags Rules define a “covered account” as (1) “an account that a financial institution or creditor offers or maintains, primarily for personal, family, or household purposes that involves or is designed to permit multiple payments or transactions,” or (2) “any other account that the financial institution or ...

What are red flags in insurance? ›

Suspiciously coincidental absence of insured or family at the time of the incident. Losses occur just after coverage takes effect, just before it ceases or just after it has been increased. Losses are incompatible with insured's residence, occupation and/or income. Losses include a large amount of cash.

What is considered high risk AML? ›

When it comes to AML and customer due diligence for banks and financial institutions specifically, high-risk customers are individuals who pose the highest level of money laundering risk. This includes: Customers linked to higher-risk countries or business sectors.

What are the three pillars of AML? ›

  • Pillar #1: appoint a compliance officer.
  • Pillar #2: complete risk assessments.
  • Pillar #3: prepare anti-money laundering policies and a procedure manual.
  • Pillar #4: monitor and maintain your AML program.
  • Pillar #5: implement customer due diligence.
Apr 27, 2023

What are the 4 pillars of risk assessment in AML? ›

The Four (4) Pillars Of BSA/AML Compliance
  • PILLAR #1. DESIGNATION OF A COMPLIANCE OFFICER.
  • PILLAR #2. DEVELOPMENT OF INTERNAL POLICIES, PROCEDURES AND CONTROLS.
  • PILLAR #3. ONGOING, RELEVANT TRAINING OF EMPLOYEES.
  • PILLAR #4. INDEPENDENT TESTING AND REVIEW.
  • CONCLUSION.
Mar 24, 2016

What makes a client high risk in AML? ›

Clients with Criminal Ties: Individuals or entities that have been linked to financial crimes, such as fraud, embezzlement, or money laundering, are considered high-risk customers.

How do you do a risk assessment for AML? ›

The five steps to performing an AML risk assessment
  1. Document key risk indicators. ...
  2. Employ dedicated staff. ...
  3. Identify the inherent risk. ...
  4. Determine the residual risk. ...
  5. Rate the risk.

What are four main ingredients for AML compliance? ›

For many years AML compliance programs were built on the four internationally known pillars: development of internal policies, procedures and controls, designation of a AML (BSA) officer responsible for the program, relevant training of employees and independent testing.

What are three indicators below which could potentially indicate an attempt to launder money? ›

Suspicious customer behaviour that may be an indicator of money laundering include: refusing to show identification. unusual business account behaviours such as frequent changes of address, phone numbers, etc. the unusual desire for anonymity or discretion in their affairs.

What is meant by red flag symptoms? ›

Essentially red flags are signs and symptoms found in the patient history and clinical examination that may tie a disorder to a serious pathology. [5] Hence, the evaluation of red flags is an integral part of primary care and can never be underestimated. The term “red flag” was originally associated with back pain.

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