In April 1990 the Financial Action Taskforce (FATF) issued the 40 Recommendations: a comprehensive framework of measures to counter financial crime. For the next three decades, the international community would rely on these recommendations to tackle money laundering and counter the financing of terrorism.
30 years and 5 months later a consortia of media outlets released thousands of Suspicious Activity Reports (SARS) into the public domain. Known as the “FinCEN Files”, these leaks exposed a range of serious deficiencies inherent in the global AML/CFT regime. They also led to the intensification of calls for reform from an outraged public and officials worldwide.
The list of proposed changes are numerous, and include:
Before September 2020 numerous projects aiming to implement such solutions were underway around the world. However, the FinCEN files have provided added stimulus to this reform agenda. There are clear signals that FIs should be ready to make changes to the way they work:
Experienced anti-financial crime consultant Matthew Redhead agrees that within the banking industry a shift in attitude is well underway. As a result, the processes and technologies used to tackle AML risks are likely to come under close scrutiny. He argues that “The trend in AML is running strongly away from compliance-based processes, towards a more reflexive, responsive and agile approach.”
Although there has long been discussion of change in the industry, the time to act is now. Next week we’ll be looking at how to choose the right technology to make these changes happen.