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Design and
Implementation
of the CDD and
Beneficial
Ownership
Final Rule
2
Key Dates
• Final rule became effective July 11, 2016
• (60 days after publication in the Federal
Register)
• Must comply with these rules by May 11,
2018.
• *FinCEN FAQ released July 19, 2016
• FIN-2016-G003
CDD
• Question 5: Amendments to the anti-money laundering (“AML”) program requirements
• Q: Are there any changes to the AML program requirements for covered financial institutions in the Rule?
•
• A: Yes. The CDD Rule amends the AML program requirements for each covered financial institution to explicitly require
covered institutions to implement and maintain appropriate risk-based procedures for conducting ongoing customer due
diligence, to include:
•  understanding the nature and purpose of the customer relationships; and
•  conducting ongoing monitoring to identify and report suspicious transactions and, on a risk basis, to maintain and
update customer information.
• A covered financial institution’s AML program must include, at a minimum: (1) a system of internal controls; (2)
independent testing; (3) designation of a compliance officer or individual(s) responsible for day-to-day compliance; (4)
training for appropriate personnel; and (5) appropriate risk-based procedures for conducting ongoing CDD to understand
the nature and purpose of customer relationships and to conduct ongoing monitoring to identify and report suspicious
transactions, and, on a risk basis, to maintain and update customer information.
3
CDD and EDD (Policy and Procedure expectation)
• At a minimum, these policies and procedures must be adequate to ensure that the Bank understands the nature and purpose of its
customer relationships and shall include:
• (a) baseline documentation requirements and processes to be used for CDD at account opening, including ACH specific customer
and originator due diligence policies, processes, and procedures per OCC Bulletin 2008-12, Payment Processors Guidance.
• (b) an appropriate methodology for assigning accurate risk levels to the Bank’s customer base that assesses relevant factors
including products, services, customers, entities, transactions, and geographic locations;
• (c) specification of the EDD information that bank personnel must obtain for higher-risk accounts, which among other information
should include:
• (i) Purpose of the account;
• (ii) Source of funds and wealth;
• (iii) Individuals with ownership or control over the account, such as beneficial owners, signatories, or guarantors;
• (iv) Occupation or type of business (of customer or other individuals with ownership or control over the account);
• (v) Financial Statements;
• (vi) Bank references;
• (vii) Domicile (where the business is organized);
• (viii) Proximity of the customer’s residence, place of employment, or place of business to the bank;
• (ix) Description of the customer’s primary trade area and whether international transactions are expected to be routine;
• (x) Description of the business operations, the anticipated volume of currency and total sales, and a list of major customers and
suppliers; and
• (xi) Explanations for changes in account activity.
• https://www.occ.gov/static/enforcement-actions/ea2016-069.pdf
4
Beneficial Owner
• Question 9: Definition of beneficial owner
• Q: Who is a beneficial owner?
• A: The Rule defines beneficial owner as each of the following:
•  each individual, if any, who, directly or indirectly, owns 25% or more of the equity
interests of a legal entity customer (i.e., the ownership prong); and
•  a single individual with significant responsibility to control, manage, or direct a legal
entity customer, including an executive officer or senior manager (e.g., a Chief Executive
Officer, Chief Financial Officer, Chief Operating Officer, Managing Member, General
Partner, President, Vice President, or Treasurer); or any other individual who regularly
performs similar functions (i.e., the control prong). This list of positions is illustrative, not
exclusive, as there is significant diversity in how legal entities are structured.
• Under this definition, a legal entity will have a total of between one and five beneficial
owners (i.e., one person under the control prong and zero to four persons under the
ownership prong).
5
Exclusions
• Question 21: Exclusions from the definition of legal entity customer
• “A legal entity customer does not include sole proprietorships, unincorporated associations, or natural persons opening accounts on their own
behalf.”
• Q: Are there any entities that are excluded from the definition of the legal entity customer and for which a covered financial institutions is not
required to obtain beneficial ownership information?
• A: Yes. The CDD Rule excludes from the definition of legal entity customer certain entities that are subject to Federal or State regulation and for
which information about their beneficial ownership and management is available from the Federal or State agencies, such as:
•  Financial institutions regulated by a Federal functional regulator or a bank regulated by a State bank regulator;
•  Certain exempt persons for purposes of the currency transactions reporting obligations:
• o A department or agency of the United States, of any State, or of any political subdivision of a State;
• o Any entity established under the laws of the United States, or any State, or of any political subdivision of any State, or under an interstate
compact;
• o Any entity (other than a bank) whose common stock or analogous equity interests are listed on the New York, American, or NASDAQ stock
exchange;
• o Any entity organized under the laws of the United States or of any State at least 51% of whose common stock or analogous equity interests are
held by a listed entity;
•  Issuers of securities registered under section 12 of the Securities Exchange Act of 1934 (SEA) or that is required to file reports under 15(d) of
that Act;
•  An investment company, as defined in section 3 of the Investment Company Act of 1940, registered with the U.S. Securities and Exchange
Commission (SEC);
•  An SEC-registered investment adviser, as defined in section 202(a)(11) of the Investment Advisers Act of 1940;
•  An exchange or clearing agency, as defined in section 3 of the SEA, registered under section 6 or 17A of that Act;
•  Any other entity registered with the SEC under the SEA;
•  A registered entity, commodity pool operator, commodity trading advisor, retail foreign exchange dealer, swap dealer, or major swap participant,
defined in section 1a of the Commodity Exchange Act, registered with the Commodity Futures Trading Commission;
•  A public accounting firm registered under section 102 of the Sarbanes-Oxley Act.
6
Exclusions continued….
• Additional regulated entities:
•  A bank holding company, as defined in section 2 of the Bank Holding Company Act of 1956 (12 USC
1841) or savings and loan holding company, as defined in section 10(n) of the Home Owners’ Loan Act
(12 USC 1467a(n));
•  A pooled investment vehicle operated or advised by a financial institution excluded from the
definition of legal entity customer under the final CDD rule;
•  An insurance company regulated by a State;
•  A financial market utility designated by the Financial Stability Oversight Council under Title VIII of the
Dodd-Frank Wall Street Reform and Customer Protection Act of 2010;
• Excluded Foreign Entities:
•  A foreign financial institution established in a jurisdiction where the regulator of such institution
maintains beneficial ownership information regarding such institution;
•  A non-U.S. governmental department, agency or political subdivision that engages only in
governmental rather than commercial activities; and
•  Any legal entity only to the extent that it opens a private banking account subject to
31 CFR 1010.620.
7
Plan, Plan, Plan.
• Approach this from an Enterprise
perspective.
• Do not silo it to BSA.
• Involve other departmental stakeholders.
i.e.: both deposit and loan operations,
executive management, training, IT, etc.
8
Tasks – Develop a project plan
• Add to BSA/AML Program (5th
pillar)
• Modify written procedures – it is noted as
an expectation.
• Is your software ready?
• Departmental procedures need to be
respectively written.
9
Training
• Training should be conducted – there are “legal entity
customer” definition exclusions to beneficial ownership
applicability.
• - It would not include, for example, sole proprietorships
or unincorporated associations even though such
businesses may file with the Secretary of State.
• - The definition would also not include trusts (other
than statutory trusts created by a filing with a Secretary
of State or similar office).
*See final rule pages 205 through 212 for additional insight.
10
Sample Project Plan
11
Sample Project Plan continued
12
Questions
?
13

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Design and Implementation of the CDD and Beneficial Ownership final rule

  • 1. Design and Implementation of the CDD and Beneficial Ownership Final Rule
  • 2. 2 Key Dates • Final rule became effective July 11, 2016 • (60 days after publication in the Federal Register) • Must comply with these rules by May 11, 2018. • *FinCEN FAQ released July 19, 2016 • FIN-2016-G003
  • 3. CDD • Question 5: Amendments to the anti-money laundering (“AML”) program requirements • Q: Are there any changes to the AML program requirements for covered financial institutions in the Rule? • • A: Yes. The CDD Rule amends the AML program requirements for each covered financial institution to explicitly require covered institutions to implement and maintain appropriate risk-based procedures for conducting ongoing customer due diligence, to include: •  understanding the nature and purpose of the customer relationships; and •  conducting ongoing monitoring to identify and report suspicious transactions and, on a risk basis, to maintain and update customer information. • A covered financial institution’s AML program must include, at a minimum: (1) a system of internal controls; (2) independent testing; (3) designation of a compliance officer or individual(s) responsible for day-to-day compliance; (4) training for appropriate personnel; and (5) appropriate risk-based procedures for conducting ongoing CDD to understand the nature and purpose of customer relationships and to conduct ongoing monitoring to identify and report suspicious transactions, and, on a risk basis, to maintain and update customer information. 3
  • 4. CDD and EDD (Policy and Procedure expectation) • At a minimum, these policies and procedures must be adequate to ensure that the Bank understands the nature and purpose of its customer relationships and shall include: • (a) baseline documentation requirements and processes to be used for CDD at account opening, including ACH specific customer and originator due diligence policies, processes, and procedures per OCC Bulletin 2008-12, Payment Processors Guidance. • (b) an appropriate methodology for assigning accurate risk levels to the Bank’s customer base that assesses relevant factors including products, services, customers, entities, transactions, and geographic locations; • (c) specification of the EDD information that bank personnel must obtain for higher-risk accounts, which among other information should include: • (i) Purpose of the account; • (ii) Source of funds and wealth; • (iii) Individuals with ownership or control over the account, such as beneficial owners, signatories, or guarantors; • (iv) Occupation or type of business (of customer or other individuals with ownership or control over the account); • (v) Financial Statements; • (vi) Bank references; • (vii) Domicile (where the business is organized); • (viii) Proximity of the customer’s residence, place of employment, or place of business to the bank; • (ix) Description of the customer’s primary trade area and whether international transactions are expected to be routine; • (x) Description of the business operations, the anticipated volume of currency and total sales, and a list of major customers and suppliers; and • (xi) Explanations for changes in account activity. • https://www.occ.gov/static/enforcement-actions/ea2016-069.pdf 4
  • 5. Beneficial Owner • Question 9: Definition of beneficial owner • Q: Who is a beneficial owner? • A: The Rule defines beneficial owner as each of the following: •  each individual, if any, who, directly or indirectly, owns 25% or more of the equity interests of a legal entity customer (i.e., the ownership prong); and •  a single individual with significant responsibility to control, manage, or direct a legal entity customer, including an executive officer or senior manager (e.g., a Chief Executive Officer, Chief Financial Officer, Chief Operating Officer, Managing Member, General Partner, President, Vice President, or Treasurer); or any other individual who regularly performs similar functions (i.e., the control prong). This list of positions is illustrative, not exclusive, as there is significant diversity in how legal entities are structured. • Under this definition, a legal entity will have a total of between one and five beneficial owners (i.e., one person under the control prong and zero to four persons under the ownership prong). 5
  • 6. Exclusions • Question 21: Exclusions from the definition of legal entity customer • “A legal entity customer does not include sole proprietorships, unincorporated associations, or natural persons opening accounts on their own behalf.” • Q: Are there any entities that are excluded from the definition of the legal entity customer and for which a covered financial institutions is not required to obtain beneficial ownership information? • A: Yes. The CDD Rule excludes from the definition of legal entity customer certain entities that are subject to Federal or State regulation and for which information about their beneficial ownership and management is available from the Federal or State agencies, such as: •  Financial institutions regulated by a Federal functional regulator or a bank regulated by a State bank regulator; •  Certain exempt persons for purposes of the currency transactions reporting obligations: • o A department or agency of the United States, of any State, or of any political subdivision of a State; • o Any entity established under the laws of the United States, or any State, or of any political subdivision of any State, or under an interstate compact; • o Any entity (other than a bank) whose common stock or analogous equity interests are listed on the New York, American, or NASDAQ stock exchange; • o Any entity organized under the laws of the United States or of any State at least 51% of whose common stock or analogous equity interests are held by a listed entity; •  Issuers of securities registered under section 12 of the Securities Exchange Act of 1934 (SEA) or that is required to file reports under 15(d) of that Act; •  An investment company, as defined in section 3 of the Investment Company Act of 1940, registered with the U.S. Securities and Exchange Commission (SEC); •  An SEC-registered investment adviser, as defined in section 202(a)(11) of the Investment Advisers Act of 1940; •  An exchange or clearing agency, as defined in section 3 of the SEA, registered under section 6 or 17A of that Act; •  Any other entity registered with the SEC under the SEA; •  A registered entity, commodity pool operator, commodity trading advisor, retail foreign exchange dealer, swap dealer, or major swap participant, defined in section 1a of the Commodity Exchange Act, registered with the Commodity Futures Trading Commission; •  A public accounting firm registered under section 102 of the Sarbanes-Oxley Act. 6
  • 7. Exclusions continued…. • Additional regulated entities: •  A bank holding company, as defined in section 2 of the Bank Holding Company Act of 1956 (12 USC 1841) or savings and loan holding company, as defined in section 10(n) of the Home Owners’ Loan Act (12 USC 1467a(n)); •  A pooled investment vehicle operated or advised by a financial institution excluded from the definition of legal entity customer under the final CDD rule; •  An insurance company regulated by a State; •  A financial market utility designated by the Financial Stability Oversight Council under Title VIII of the Dodd-Frank Wall Street Reform and Customer Protection Act of 2010; • Excluded Foreign Entities: •  A foreign financial institution established in a jurisdiction where the regulator of such institution maintains beneficial ownership information regarding such institution; •  A non-U.S. governmental department, agency or political subdivision that engages only in governmental rather than commercial activities; and •  Any legal entity only to the extent that it opens a private banking account subject to 31 CFR 1010.620. 7
  • 8. Plan, Plan, Plan. • Approach this from an Enterprise perspective. • Do not silo it to BSA. • Involve other departmental stakeholders. i.e.: both deposit and loan operations, executive management, training, IT, etc. 8
  • 9. Tasks – Develop a project plan • Add to BSA/AML Program (5th pillar) • Modify written procedures – it is noted as an expectation. • Is your software ready? • Departmental procedures need to be respectively written. 9
  • 10. Training • Training should be conducted – there are “legal entity customer” definition exclusions to beneficial ownership applicability. • - It would not include, for example, sole proprietorships or unincorporated associations even though such businesses may file with the Secretary of State. • - The definition would also not include trusts (other than statutory trusts created by a filing with a Secretary of State or similar office). *See final rule pages 205 through 212 for additional insight. 10
  • 12. Sample Project Plan continued 12