The Four (4) Pillars Of BSA/AML Compliance - Capital Compliance Experts (2024)

Compliance in accordance to anti-money laundering requirements and the Bank Secrecy Act (BSA).

(Update: FinCEN added a fifth pillar in 2018. Read more)

PILLAR #1
DESIGNATION OF A COMPLIANCE OFFICER

This is the pillar that is most likely the easiest to grasp and the one that seems the most self-explanatory.

However, it goes beyond simply designating someone in your organization to be the Compliance Officer because they hold many responsibilities.

The Compliance Officer is responsible for knowing and understanding the policies and procedures outlined in the AML program, relating to the money service business (MSB).

Designate someone capable of learning and understanding the policies and procedures written for your organization.

For example, one of our custom AML programs can be anywhere between 80 to 200 pages and it is the responsibility of the Compliance Officer to know and understand all the policies and procedures outlined within the document.

If needed, our consultants will take as much time as needed to walk any part of your compliance team through the AML program.

The Compliance Officer is also responsible for speaking intelligently to the bank and IRS regarding the MSBs processes of offering financial services.

It’s becoming more regular that banks want to speak directly with the Compliance Officer’s of the business rather than a third party who was hired to perform their independent review, training or written policies.

It is important for businesses to be able to speak to their processes and because of that, part of our training process covers how to speak to bankers.

In addition, part of the Compliance Officer’s responsibilities includes reviewing daily checklists, training logs and transaction reports.

It is up to the officer to verify the manager’s at each store are checking off their transactions on a daily basis, making sure to file currency transaction reports (CTRs) and suspicious activity reports (SARs) and fill out money order and money transfer logs when necessary.

While there is no specific guideline as to who can be the Compliance Officer, it is important to designate someone that will pass a background check with ease.

Based on our experience with the banks, they have been known to conduct a background investigation on the owners and the Compliance Officer’s within the company, due to the vital role they have within the organization.

You should appoint a Compliance Officer with no felonies and no criminal history. Banks can deny your account for what is called a character decline.

PILLAR #2
DEVELOPMENT OF INTERNAL POLICIES, PROCEDURES AND CONTROLS

The development of internal policies, procedures, and controls is the “meat” of all the pillars.

The second pillar addresses:

  1. How you run the MSB
  2. How your MSB stays in compliance
  3. How you ensure that all the written policies and procedures are being implemented and upheld.

This pillar probably has the most variance amongst all the pillars because not all MSBs operate the same.

Each MSB may have different products, services, volumes and customer demographics. It is important that the policies and procedures of an AML program cater to how the specific MSB is being operated.

PILLAR #3
ONGOING, RELEVANT TRAINING OF EMPLOYEES

All employees must receive ongoing, relevant training as it pertains to the AML program.

It is recommended that an MSB train all employees upon initial employment as well as once per year thereafter.

Training must cover the basics of BSA/AML compliance and must be documented.

PILLAR #4
INDEPENDENT TESTING AND REVIEW

Independent testing and review, ensures that everything mentioned in the previous pillars are operating in an acceptable manner.

To be independent means that the person conducting the review cannot be the Compliance Officer or be someone that directly reports to the Compliance Officer.

One of the main purposes of independent testing and reviewing is to identify any deficiencies in a MSBs process. When deficiencies are found, recommendations can be made to alleviate any weaknesses the AML program may have.

The person preparing the independent review should also prepare a risk assessment to determine risk level; low medium or high.

While it is always encouraged to have your independent review conducted by a knowledgeable third party with experience working with MSBs, it is especially recommended to source an outside consultant to review your business if your business is identified as a medium or high risk.

In addition, your bank may even request a qualified third party perform a more extensive risk assessment.

The preferred qualified third party is a CAMS certified expert due to the rigorous testing each certified expert goes through.

Our CAMS certified experts have extensive experience working with business owners and Compliance Officers to identify deficiencies within the business and assisting in the preparation of risk assessments and plans to address deficiencies.

CONCLUSION

The Capital Compliance Experts team is CAMS certified and specializes in custom, written AMLprograms, third party independent reviews, online BSA/AML training and certification, general consulting, and annual compliance oversight.

Tags: AML, Annual Compliance Oversight, Anti Money Laundering, Custom Anti-Money Laundering Programs, Financial Services, Money Service Business, MSB, Online Employee Training, Third Party Independent Reviews

The Four (4) Pillars Of BSA/AML Compliance - Capital Compliance Experts (2024)

FAQs

The Four (4) Pillars Of BSA/AML Compliance - Capital Compliance Experts? ›

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 the 4 pillars of BSA 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 the 4 pillars of financial crime? ›

Quantifind, which offers precise risk intelligence that helps teams better analyse entities and uncover risk, recently outlined the four pillars shaping risk management. Four critical elements stand out as the main drivers propelling risk leaders into the future: Revenue, Cost, Ethics, and Regulation.

What are the pillars of the AML framework? ›

  • 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

Which of the following are the pillars of BSA AML? ›

The five pillars of AML compliance offer a holistic approach, emphasizing internal controls, assigned roles, training and awareness, independent testing, and a risk-based strategy for ongoing Customer Due Diligence (CDD).

What is the fifth pillar of BSA compliance? ›

The newest version of the Bank Secrecy Act identifies five key compliance pillars: The designation of a compliance officer, development of internal policies, creation of a training program for employees, integration of independent testing and auditing, and development of risk-based processes for ongoing customer due ...

How many pillars of compliance risk management are there? ›

People, Process, and Technology: The Three Pillars of Effective Compliance Management. Organizational exposure to compliance risk is increasing consistently while compliance costs are skyrocketing. A reactive approach to compliance creates complexity and forces organizations to be less agile.

What are the pillars of risk? ›

The pillars of risk are effective reporting, communication, business process improvement, proactive design, and contingency planning.

Who is responsible for BSA AML compliance? ›

The board of directors is ultimately responsible for the bank's BSA/AML compliance and should provide oversight for senior management and the BSA compliance officer in the implementation of the bank's board-approved BSA/AML compliance program.

What is a BSA AML red flag? ›

What is an AML red flag? AML red flags are warning signs, such as unusually large transactions, which indicate signs of money laundering activity. If a company detects one or more red flags in a customer's activity, it should pay closer attention.

What is the pillar of KYC? ›

1. Preventing Financial Crimes: KYC is a barrier against money laundering, fraud, and terrorist financing by requiring a stringent customer identity verification process. 2. Protecting Customers: It helps ensure that their personal and financial information is not misused for criminal activities.

What are the three components of a risk based approach to BSA AML compliance? ›

The risk-based approach has three steps: determine the risk profile, implement effective risk controls and balance the residual risk.
  • Determine the risk profile. ...
  • Implement effective risk controls. ...
  • Balance the residual risk.

What action is part of the basic components of BSA compliance? ›

Procedures for Monitoring BSA Compliance - 12 CFR 21.21

provide for a system of internal controls to assure ongoing compliance; provide for independent testing for compliance; designate an individual responsible for coordinating and monitoring day-to-day compliance; and. provide training for appropriate personnel.

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