AML/CFT Regulation : Implications for Financial Service Providers that Serve Low-Income People

Across the world, new measures are being introduced and existing measures tightened to combat money laundering and the financing of terrorism. All financial service providers, including those working with low-income communities, are-or will-be affected by these measures. This paper summarizes the implications of the international framework for anti-money laundering (AML) and combating the financing of terrorism (CFT) for financial service providers working with low-income people. The international AML/CFT standards developed by the Financial Action Task Force (FATF), generally requires financial service providers to enhance their internal controls to cater specifically for AML/CFT risks; undertake customer due diligence procedures on all new and existing clients; introduce heightened surveillance of suspicious transactions and keep transaction records for future verification; and report suspicious transactions to national authorities. These measures could bring additional costs of compliance to financial service providers; and customer due diligence rules may restrict formal financial services from reaching lower-income people. The introduction of new or tightened AML/CFT regulations may have the unintended and undesirable consequence of reducing the access of low-income people to formal financial services. As a means to avoid this outcome, this paper argues in favor of (1) gradual implementation of new measures; (2) the adoption of a risk-based approach to regulation; and (3) the use of exemptions for low-risk categories of transactions.

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Bibliographic Details
Main Authors: Hernandez-Coss, Raul, Egwuagu, Chinyere, Isern, Jennifer, Porteous, David
Format: Other Financial Sector Study biblioteca
Language:English
English
Published: World Bank, Washington, DC 2005-09
Subjects:MONEY LAUNDERING, FINANCING OF TERRORISM, COMBATING THE FINANCING OF TERRORISM, DUE DILIGENCE PROCEDURE, LOW-INCOME PEOPLE, INTERNAL AUDIT DEPARTMENT, CASH TRANSACTION REPORTING, ASSET FREEZING MEASURE, POLITICALLY EXPOSED PERSONS, RECORD KEEPING, CLIENT IDENTIFICATION, CRIMINAL ACTIVITY, FINANCIAL SERVICE PROVIDER,
Online Access:http://documents.worldbank.org/curated/en/497161468140979952/AML-CFT-regulation-Implications-for-financial-service-providers-that-serve-low-income-people
http://hdl.handle.net/10986/36206
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spelling dig-okr-10986362062021-08-31T05:10:47Z AML/CFT Regulation : Implications for Financial Service Providers that Serve Low-Income People Hernandez-Coss, Raul Egwuagu, Chinyere Isern, Jennifer Porteous, David MONEY LAUNDERING FINANCING OF TERRORISM COMBATING THE FINANCING OF TERRORISM DUE DILIGENCE PROCEDURE LOW-INCOME PEOPLE INTERNAL AUDIT DEPARTMENT CASH TRANSACTION REPORTING ASSET FREEZING MEASURE POLITICALLY EXPOSED PERSONS RECORD KEEPING CLIENT IDENTIFICATION CRIMINAL ACTIVITY FINANCIAL SERVICE PROVIDER Across the world, new measures are being introduced and existing measures tightened to combat money laundering and the financing of terrorism. All financial service providers, including those working with low-income communities, are-or will-be affected by these measures. This paper summarizes the implications of the international framework for anti-money laundering (AML) and combating the financing of terrorism (CFT) for financial service providers working with low-income people. The international AML/CFT standards developed by the Financial Action Task Force (FATF), generally requires financial service providers to enhance their internal controls to cater specifically for AML/CFT risks; undertake customer due diligence procedures on all new and existing clients; introduce heightened surveillance of suspicious transactions and keep transaction records for future verification; and report suspicious transactions to national authorities. These measures could bring additional costs of compliance to financial service providers; and customer due diligence rules may restrict formal financial services from reaching lower-income people. The introduction of new or tightened AML/CFT regulations may have the unintended and undesirable consequence of reducing the access of low-income people to formal financial services. As a means to avoid this outcome, this paper argues in favor of (1) gradual implementation of new measures; (2) the adoption of a risk-based approach to regulation; and (3) the use of exemptions for low-risk categories of transactions. 2021-08-30T14:45:49Z 2021-08-30T14:45:49Z 2005-09 Other Financial Sector Study http://documents.worldbank.org/curated/en/497161468140979952/AML-CFT-regulation-Implications-for-financial-service-providers-that-serve-low-income-people http://hdl.handle.net/10986/36206 English en CC BY 3.0 IGO http://creativecommons.org/licenses/by/3.0/igo World Bank World Bank, Washington, DC Economic & Sector Work Economic & Sector Work :: Other Financial Sector Study World
institution Banco Mundial
collection DSpace
country Estados Unidos
countrycode US
component Bibliográfico
access En linea
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tag biblioteca
region America del Norte
libraryname Biblioteca del Banco Mundial
language English
English
topic MONEY LAUNDERING
FINANCING OF TERRORISM
COMBATING THE FINANCING OF TERRORISM
DUE DILIGENCE PROCEDURE
LOW-INCOME PEOPLE
INTERNAL AUDIT DEPARTMENT
CASH TRANSACTION REPORTING
ASSET FREEZING MEASURE
POLITICALLY EXPOSED PERSONS
RECORD KEEPING
CLIENT IDENTIFICATION
CRIMINAL ACTIVITY
FINANCIAL SERVICE PROVIDER
MONEY LAUNDERING
FINANCING OF TERRORISM
COMBATING THE FINANCING OF TERRORISM
DUE DILIGENCE PROCEDURE
LOW-INCOME PEOPLE
INTERNAL AUDIT DEPARTMENT
CASH TRANSACTION REPORTING
ASSET FREEZING MEASURE
POLITICALLY EXPOSED PERSONS
RECORD KEEPING
CLIENT IDENTIFICATION
CRIMINAL ACTIVITY
FINANCIAL SERVICE PROVIDER
spellingShingle MONEY LAUNDERING
FINANCING OF TERRORISM
COMBATING THE FINANCING OF TERRORISM
DUE DILIGENCE PROCEDURE
LOW-INCOME PEOPLE
INTERNAL AUDIT DEPARTMENT
CASH TRANSACTION REPORTING
ASSET FREEZING MEASURE
POLITICALLY EXPOSED PERSONS
RECORD KEEPING
CLIENT IDENTIFICATION
CRIMINAL ACTIVITY
FINANCIAL SERVICE PROVIDER
MONEY LAUNDERING
FINANCING OF TERRORISM
COMBATING THE FINANCING OF TERRORISM
DUE DILIGENCE PROCEDURE
LOW-INCOME PEOPLE
INTERNAL AUDIT DEPARTMENT
CASH TRANSACTION REPORTING
ASSET FREEZING MEASURE
POLITICALLY EXPOSED PERSONS
RECORD KEEPING
CLIENT IDENTIFICATION
CRIMINAL ACTIVITY
FINANCIAL SERVICE PROVIDER
Hernandez-Coss, Raul
Egwuagu, Chinyere
Isern, Jennifer
Porteous, David
AML/CFT Regulation : Implications for Financial Service Providers that Serve Low-Income People
description Across the world, new measures are being introduced and existing measures tightened to combat money laundering and the financing of terrorism. All financial service providers, including those working with low-income communities, are-or will-be affected by these measures. This paper summarizes the implications of the international framework for anti-money laundering (AML) and combating the financing of terrorism (CFT) for financial service providers working with low-income people. The international AML/CFT standards developed by the Financial Action Task Force (FATF), generally requires financial service providers to enhance their internal controls to cater specifically for AML/CFT risks; undertake customer due diligence procedures on all new and existing clients; introduce heightened surveillance of suspicious transactions and keep transaction records for future verification; and report suspicious transactions to national authorities. These measures could bring additional costs of compliance to financial service providers; and customer due diligence rules may restrict formal financial services from reaching lower-income people. The introduction of new or tightened AML/CFT regulations may have the unintended and undesirable consequence of reducing the access of low-income people to formal financial services. As a means to avoid this outcome, this paper argues in favor of (1) gradual implementation of new measures; (2) the adoption of a risk-based approach to regulation; and (3) the use of exemptions for low-risk categories of transactions.
format Other Financial Sector Study
topic_facet MONEY LAUNDERING
FINANCING OF TERRORISM
COMBATING THE FINANCING OF TERRORISM
DUE DILIGENCE PROCEDURE
LOW-INCOME PEOPLE
INTERNAL AUDIT DEPARTMENT
CASH TRANSACTION REPORTING
ASSET FREEZING MEASURE
POLITICALLY EXPOSED PERSONS
RECORD KEEPING
CLIENT IDENTIFICATION
CRIMINAL ACTIVITY
FINANCIAL SERVICE PROVIDER
author Hernandez-Coss, Raul
Egwuagu, Chinyere
Isern, Jennifer
Porteous, David
author_facet Hernandez-Coss, Raul
Egwuagu, Chinyere
Isern, Jennifer
Porteous, David
author_sort Hernandez-Coss, Raul
title AML/CFT Regulation : Implications for Financial Service Providers that Serve Low-Income People
title_short AML/CFT Regulation : Implications for Financial Service Providers that Serve Low-Income People
title_full AML/CFT Regulation : Implications for Financial Service Providers that Serve Low-Income People
title_fullStr AML/CFT Regulation : Implications for Financial Service Providers that Serve Low-Income People
title_full_unstemmed AML/CFT Regulation : Implications for Financial Service Providers that Serve Low-Income People
title_sort aml/cft regulation : implications for financial service providers that serve low-income people
publisher World Bank, Washington, DC
publishDate 2005-09
url http://documents.worldbank.org/curated/en/497161468140979952/AML-CFT-regulation-Implications-for-financial-service-providers-that-serve-low-income-people
http://hdl.handle.net/10986/36206
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AT isernjennifer amlcftregulationimplicationsforfinancialserviceprovidersthatservelowincomepeople
AT porteousdavid amlcftregulationimplicationsforfinancialserviceprovidersthatservelowincomepeople
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