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Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016
Mutual evaluation
report by the
Committee of
Experts on the
Evaluation of Anti-
Money Laundering
Measures and the
Financing of
Terrorism
MONEYVAL 1
Anti-money laundering and counter-
terrorist financing (AML/CFT)
measures in Hungary
Fourth Round Mutual Evaluation
Key findings, ratings and priority actions
September 2016
http://www.fatf-gafi.org/publications/mutualevaluations/documents/mer-hungary-2016.html
Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016
Mutual evaluation
report by the
Committee of
Experts on the
Evaluation of Anti-
Money Laundering
Measures and the
Financing of
Terrorism
MONEYVAL
Ratings โ€“ Effectiveness (1/3)
2
Immediate outcome of an effective system to combat money
laundering (ML) and terrorist financing (TF)
Extent to
which
Hungary has
achieved this
objective
1. ML and TF risks are understood and, where appropriate,
actions co-ordinated domestically to combat ML and TF
Low
2. International co-operation delivers appropriate information,
financial intelligence, and evidence, and facilitates action
against criminals and their assets
Substantial
3. Supervisors appropriately supervise, monitor and regulate
financial institutions and designated non-financial
businesses and professions (DNFBPs) for compliance with
AML/CFT requirements commensurate with their risks.
Moderate
4. Financial institutions and DNFBPs adequately apply AML/CFT
preventive measures commensurate with their risks, and
report suspicious transactions.
Moderate
Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016
Mutual evaluation
report by the
Committee of
Experts on the
Evaluation of Anti-
Money Laundering
Measures and the
Financing of
Terrorism
MONEYVAL 3
Immediate outcome of an effective system to combat money
laundering (ML) and terrorist financing (TF)
Extent to
which
Hungary has
achieved this
objective
5. Legal persons and arrangements are prevented from misuse
for money laundering or terrorist financing, and information
on their beneficial ownership is available to competent
authorities without impediments
Low
6. Financial intelligence and all other relevant information are
appropriately used by competent authorities for money
laundering and terrorist financing investigations.
Substantial
7. Money laundering offences and activities are investigated
and offenders are prosecuted and subject to effective,
proportionate and dissuasive sanctions
Low
8. Proceeds and instrumentalities of crime are confiscated. Low
Ratings โ€“ Effectiveness (2/3)
Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016
Mutual evaluation
report by the
Committee of
Experts on the
Evaluation of Anti-
Money Laundering
Measures and the
Financing of
Terrorism
MONEYVAL 4
Immediate outcome of an effective system to combat money
laundering (ML) and terrorist financing (TF)
Extent to
which
Hungary has
achieved this
objective
9. Terrorist financing offences and activities are investigated
and persons who finance terrorism are prosecuted and
subject to effective, proportionate and dissuasive sanctions.
Moderate
10. Terrorists, terrorist organisations and terrorist financiers are
prevented from raising, moving and using funds, and from
abusing the non-profit sector.
Moderate
11. Persons and entities involved in the proliferation of weapons
of mass destruction are prevented from raising, moving and
using funds, consistent with the relevant United Nations
Security Council Resolutions.
Moderate
Ratings โ€“ Effectiveness (3/3)
Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016
Mutual evaluation
report by the
Committee of
Experts on the
Evaluation of Anti-
Money Laundering
Measures and the
Financing of
Terrorism
MONEYVAL 5
Ratings โ€“ Effectiveness
0
2
5
4 High
Substantial
Moderate
Low
6
Ratings โ€“ technical compliance
(1/5)
AML/CFT POLICIES AND COORDINATION
1. Assessing risks & applying a risk-based approach ParParPa Par Partially compliant
2. National cooperation and coordination ParParPa Par Partially compliant
MONEY LAUNDERING AND CONFISCATION
3. Money laundering offence LarLarLarLar Largely compliant
4. Confiscation and provisional measures ComComCo Com Compliant
TERRORIST FINANCING AND FINANCING OF PROLIFERATION
5. Terrorist financing offence ParParPa Par Partially compliant
6. Targeted financial sanctions related to terrorism & terrorist
financing ParParPa Par Partially compliant
7. Targeted financial sanctions related to proliferation ParParPa Par Partially compliant
8. Non-profit organisations ParParPa Par Partially compliant
7
Ratings โ€“ technical compliance
(2/5)
PREVENTIVE MEASURES
9. Financial institution secrecy laws Co ComComCo Compliant
Customer due diligence and record keeping
10. Customer due diligence Pa ParParPa Partially compliant
11. Record keeping LarLarLarLar Largely compliant
Additional measures for specific customers and activities
12. Politically exposed persons Pa ParParPa Partially compliant
13. Correspondent banking Pa ParParPa Partially compliant
14. Money or value transfer services LarLarLarLar Largely compliant
15. New technologies Pa ParParPa Partially compliant
16. Wire transfers Pa ParParPa Partially compliant
8
Ratings โ€“ technical compliance
(3/5)
PREVENTIVE MEASURES (continued)
Reliance, Controls and Financial Groups
17. Reliance on third parties LarLarLarLar Largely compliant
18. Internal controls and foreign branches and subsidiaries Pa Pa ParPa Partially compliant
19. Higher-risk countries Pa Pa ParPa Partially compliant
Reporting of suspicious transactions
20. Reporting of suspicious transactions Co Co ComCo Compliant
21. Tipping-off and confidentiality LarLarLarLar Largely compliant
Designated non-financial Businesses and Professions (DNFBPs)
22. DNFBPs: Customer due diligence Pa Pa ParPa Partially compliant
23. DNFBPs: Other measures Pa Pa ParPa Partially compliant
TRANSPARENCY AND BENEFICIAL OWNERSHIP OF LEGAL
PERSONS AND ARRANGEMENTS
24. Transparency and beneficial ownership of legal persons Pa Pa ParPa Partially compliant
25. Transparency and beneficial ownership of legal
arrangements Pa Pa ParPa Partially compliant
9
Ratings โ€“ technical compliance
(4/5)
POWERS AND RESPONSIBILITIES OF COMPETENT AUTHORITIES
AND OTHER INSTITUTIONAL MEASURES
Regulation and Supervision
26. Regulation and supervision of financial institutions LarLarLarLar Largely compliant
27. Powers of supervisors LarLarLarLar Largely compliant
28. Regulation and supervision of DNFBPs Pa Pa ParPa Partially compliant
Operational and Law Enforcement
29. Financial intelligence units Co Co ComCo Compliant
30. Responsibilities of law enforcement and investigative
authorities Co Co ComCo Compliant
31. Powers of law enforcement and investigative authorities LarLarLarLar Largely compliant
32. Cash couriers Pa Pa ParPa Partially compliant
10
Ratings โ€“ technical compliance
(5/5)
POWERS AND RESPONSIBILITIES OF COMPETENT AUTHORITIES
AND OTHER INSTITUTIONAL MEASURES (continued)
General Requirements
33. Statistics ParPa Pa Par Partially compliant
34. Guidance and feedback ParPa Pa Par Partially compliant
Sanctions
35. Sanctions ParPa Pa Par Partially compliant
INTERNATIONAL COOPERATION
36. International instruments LarLarLarLar Largely compliant
37. Mutual legal assistance LarLarLarLar Largely compliant
38. Mutual legal assistance: freezing and confiscation LarLarLarLar Largely compliant
39. Extradition LarLarLarLar Largely compliant
40. Other forms of international cooperation LarLarLarLar Largely compliant
Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016
Mutual evaluation
report by the
Committee of
Experts on the
Evaluation of Anti-
Money Laundering
Measures and the
Financing of
Terrorism
MONEYVAL 11
Ratings โ€“ technical compliance
5
13
22
0
Compliant
Largely compliant
Partially compliant
Non compliant
Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016
Mutual evaluation
report by the
Committee of
Experts on the
Evaluation of Anti-
Money Laundering
Measures and the
Financing of
Terrorism
MONEYVAL
Key findings
๏‚ง Hungary has a rather mixed understanding of its ML/FT risks. The NRA does not
include sufficient depth with regard to potential ML/FT threats, vulnerabilities
and their consequences. It also does not demonstrate the characteristics of a
comprehensive assessment based on a robust methodology. The Hungarian
authorities have not yet adopted a national AML/CFT strategy in the light of the
outcome of the NRA, nor have they defined consequential policies and
necessary actions coherently.
๏‚ง Hungaryโ€™s use of financial intelligence and other information for ML/FT and
associated predicate offence investigations demonstrates to a large extent the
characteristics of an effective system. The good quality, timely and relevant
work produced and assistance provided by the Hungarian Financial Intelligence
Unit (HFIU) to other competent authorities contributes significantly to the
efforts to detect and disrupt ML threats and deprive criminals of ill-gotten
gains. However, law enforcement and other competent authorities did not
demonstrate that they make appropriate use of financial intelligence and other
relevant information for ML/FT investigations.
12
Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016
Mutual evaluation
report by the
Committee of
Experts on the
Evaluation of Anti-
Money Laundering
Measures and the
Financing of
Terrorism
MONEYVAL
Key findings
13
๏‚ง Although the number of investigations and prosecutions for ML are on the rise,
the fight against ML activity is not a priority objective. The ML prosecutions are
not commensurate with the risks and threats identified in the NRA. ML is
treated mostly in a self-laundering context, with a limited number of cases
highlighting structured ML schemes. The dependence of the ML offence on the
identification of a specific predicate offence is a factor that has weighed on the
effectiveness of the AML-system.
๏‚ง The mandatory seizure/confiscation regime is legally sound and stringent,
although the dependence on the predicate offence is a restraining factor. The
statistics do not demonstrate the actual effective and successful application of
the seizure/confiscation rules. However, some case examples are indicative of
large amounts of proceeds susceptible to confiscation. The potential of the
Asset Recovery Office (ARO) to provide support to investigations should be
further exploited.
Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016
Mutual evaluation
report by the
Committee of
Experts on the
Evaluation of Anti-
Money Laundering
Measures and the
Financing of
Terrorism
MONEYVAL
Key findings
๏‚ง Hungary adopts a proactive approach against terrorism, albeit not particularly
focused on the FT-aspect. In the absence of FT-targeted investigations and
prosecutions, an effectiveness assessment must rely mainly on structural
elements. Although the professionalism and good intelligence work of the
Counter Terrorism Centre (TEK) and the HFIU are recognised, there are a
number of considerations highlighting some weaknesses that should be
addressed to achieve a better performing CTF regime.
๏‚ง Hungary has a legal basis to apply targeted financial sanctions regarding
terrorist financing, but implementation has technical and effectiveness-related
deficiencies. The Application of freezing measures under the EU framework
results in delays. Moreover, there are concerns related to the implementation
procedures under the FRM Act. Deficiencies were also identified with regard to
the national freezing mechanisms under the AML/CFT Act, in relation to
communicating information to service providers and the application of criminal
procedural measures for the enforcement of freezing measures.
14
Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016
Mutual evaluation
report by the
Committee of
Experts on the
Evaluation of Anti-
Money Laundering
Measures and the
Financing of
Terrorism
MONEYVAL
Key findings
15
๏‚ง Hungary has not undertaken a formal domestic review to determine if there is a
subset within the NPO sector which may potentially be at risk of being misused
for FT. There are doubts about the level of transparency of the NPO sector. No
authority or mechanism has been designated to conduct outreach to the NPO
sector on FT issues and to monitor the NPOs posing a higher FT risk.
๏‚ง AML/CFT supervisory activities in Hungary are not fully commensurate with the
perception of ML/FT risks. While the Central Bank of Hungary (MNB)
demonstrated a basic understanding of ML/FT risks for some FIs, this is not the
case for all FIs. DNFBP supervisors do not identify and in principle maintain an
understanding of ML/FT risks in their respective sectors, even though there are
exceptions to this. Onsite inspections for compliance with AML/CFT obligations
do not focus on areas of higher ML/FT risks. While the MNB and DNFBP
supervisors are equipped with powers to impose administrative sanctions, the
dissuasiveness of the sanctions imposed could be enhanced in order to create a
greater incentive for all obliged entities to fully comply with the AML/CFT
obligations.
Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016
Mutual evaluation
report by the
Committee of
Experts on the
Evaluation of Anti-
Money Laundering
Measures and the
Financing of
Terrorism
MONEYVAL
Key findings
๏‚ง Hungary takes steps in relation to combating proliferation. However, the
countryโ€™s reliance on the EU framework for implementing the UNSCRs
relating to targeted financial sanctions to combat PF results in a time-gap
which has a negative impact on the systemโ€™s effectiveness. Even though in
practice there is a mechanism in place for the dissemination of information
by the authorities on updates made in the relevant UNSC lists, no legal
basis exists for implementing sanctions before these are transposed into
EU Law.
๏‚ง Hungary demonstrates many characteristics of an effective system of
international cooperation. Respective authorities use a wide and
comprehensive framework of multilateral, bilateral and national legal
instruments and other cooperation mechanisms to seek and provide good
quality and timely international cooperation. The countries that gave input
on the international co-operation of the Hungarian authorities found it to
be generally satisfactory.
16
Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016
Mutual evaluation
report by the
Committee of
Experts on the
Evaluation of Anti-
Money Laundering
Measures and the
Financing of
Terrorism
MONEYVAL
Priority Actions for Hungary to
strengthen its AML/CFT System
17
๏‚ง A more detailed ML/FT-threat and vulnerability analysis (including the
collection of in-depth data) should be undertaken through updating the
NRA. A national AML/CFT strategy and related action plan relevant for all
competent authorities should be determined on the most relevant ML/FT
risks identified, with appropriate coordination of action and allocation of
resources. More information should be shared with the private sector
about the results of the NRA. Its main stakeholders should be encouraged
to conduct their own individual risk assessments.
๏‚ง Hungary should ensure that it pursues investigations for the different types
of ML consistent with its risk profile. It should review its statistical system
to enable an objective understanding of the performance of its repressive
AML/CFT system and an internal assessment of its effectiveness. The
prosecutorial authorities should test in the courts the limits of the
evidentiary requirements on the illegal origin of the laundered assets,
taking into account the all-crimes scope of the ML offence. Parallel
financial investigations should be systematically organised, particularly in
serious and complex proceed-generating cases
Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016
Mutual evaluation
report by the
Committee of
Experts on the
Evaluation of Anti-
Money Laundering
Measures and the
Financing of
Terrorism
MONEYVAL
Priority Actions for Hungary to
strengthen its AML/CFT System
๏‚ง With regard to the confiscation of proceeds and instrumentalities of crime,
Hungary should review its statistical system in order to produce reliable,
comprehensive and sufficiently detailed figures. It is recommended to reinforce
the role of the Asset Recovery Office (ARO), allowing it to function as both a
financial police capable to conduct parallel investigations and as a criminal
assets bureau. Steps should be taken to create a central bank register, as
increasingly practiced in other Council of Europe member States.
๏‚ง The MNB and DNFBP supervisors should carry out their AML/CFT supervisory
activities commensurate with the perception of ML/FT risks. They should issue
(or amend the existing) procedures that take into account national and sectorial
ML/FT risks. The MNB should adopt measures to assess the ML/FT risks at the
sectorial level and for each financial institution, in order to obtain an overall
perception of such risks for the entire financial sector. The authorities should
reconsider the overall AML/CFT sanctioning regime in terms of dissuasiveness
and proportionality. Supervisory activities on financial institutions should focus
on straw men and โ€œphantom companiesโ€.
18
Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016
Mutual evaluation
report by the
Committee of
Experts on the
Evaluation of Anti-
Money Laundering
Measures and the
Financing of
Terrorism
MONEYVAL
Priority Actions for Hungary to
strengthen its AML/CFT System
๏‚ง Hungary should undertake an assessment of the vulnerabilities related to legal
entities, having regard to the possible use of โ€œstraw menโ€ by organised crime.
The country should ensure that competent authorities have access to accurate
beneficial ownership information. Amendments should be introduced to the
Trust Act or to the AML/CFT Act to unambiguously clarify that identities of the
beneficial owner of trusts must be made available for CDD purposes to FIs and
DNFBPs. Measures should be taken to ensure that non-professional trustees also
disclose their status to FIs and DNFBPs upon opening a business relationship or
when carrying out an occasional transaction above a certain threshold. Legal
provisions should be introduced for prompt reporting of changes to the legal
ownership of companies to the Court of Registry, with dissuasive sanctions for
breaches of such requirement.
๏‚ง Hungary should remedy the remaining technical deficiencies affecting the full
criminalisation of financing of terrorism and foreign terrorist fighters.
Effectiveness of border controls should be improved by providing a legal basis for
the possibility to administratively stop and restrain suspect assets. Parallel
financial investigations should be formalised for future FT cases. The
establishment of law enforcement sections specialised in countering the
financing of terrorism should be considered.
19
Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016
Mutual evaluation
report by the
Committee of
Experts on the
Evaluation of Anti-
Money Laundering
Measures and the
Financing of
Terrorism
MONEYVAL
Priority Actions for Hungary to
strengthen its AML/CFT System
๏‚ง Hungary should undertake further steps for the prompt implementation of
UNSCR-targeted financial sanctions, and reconsider the role of their
domestic courts in the asset-freezing process. Hungary should take the
necessary legislative measures in order to improve the implementation of
the UNSCRs relating to targeted financial sanctions. It should be further
ensured that service providers are promptly updating their databases in line
with new listings/designations for FT and PF. Hungary should conduct a
formal review of the entire NPO sector in order to identify NPOs that could
potentially pose a higher FT risk. The country should establish an effective
mechanism to conduct outreach to the NPO sector concerning FT issues and
monitor the NPOs posing a higher FT risk.
๏‚ง The authorities should take steps to ensure that financial institutions and
DNFBPs are adequately applying preventive measures. They should take
further steps to raise awareness of FT risks amongst all sectors. Hungary
should amend the legislative framework in line with the international
standards, and safeguard rapid implementation by financial institutions and
DNFBPs of these provisions.
20

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Mutual Evaluation of Hungary - 2016

  • 1. Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016 Mutual evaluation report by the Committee of Experts on the Evaluation of Anti- Money Laundering Measures and the Financing of Terrorism MONEYVAL 1 Anti-money laundering and counter- terrorist financing (AML/CFT) measures in Hungary Fourth Round Mutual Evaluation Key findings, ratings and priority actions September 2016 http://www.fatf-gafi.org/publications/mutualevaluations/documents/mer-hungary-2016.html
  • 2. Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016 Mutual evaluation report by the Committee of Experts on the Evaluation of Anti- Money Laundering Measures and the Financing of Terrorism MONEYVAL Ratings โ€“ Effectiveness (1/3) 2 Immediate outcome of an effective system to combat money laundering (ML) and terrorist financing (TF) Extent to which Hungary has achieved this objective 1. ML and TF risks are understood and, where appropriate, actions co-ordinated domestically to combat ML and TF Low 2. International co-operation delivers appropriate information, financial intelligence, and evidence, and facilitates action against criminals and their assets Substantial 3. Supervisors appropriately supervise, monitor and regulate financial institutions and designated non-financial businesses and professions (DNFBPs) for compliance with AML/CFT requirements commensurate with their risks. Moderate 4. Financial institutions and DNFBPs adequately apply AML/CFT preventive measures commensurate with their risks, and report suspicious transactions. Moderate
  • 3. Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016 Mutual evaluation report by the Committee of Experts on the Evaluation of Anti- Money Laundering Measures and the Financing of Terrorism MONEYVAL 3 Immediate outcome of an effective system to combat money laundering (ML) and terrorist financing (TF) Extent to which Hungary has achieved this objective 5. Legal persons and arrangements are prevented from misuse for money laundering or terrorist financing, and information on their beneficial ownership is available to competent authorities without impediments Low 6. Financial intelligence and all other relevant information are appropriately used by competent authorities for money laundering and terrorist financing investigations. Substantial 7. Money laundering offences and activities are investigated and offenders are prosecuted and subject to effective, proportionate and dissuasive sanctions Low 8. Proceeds and instrumentalities of crime are confiscated. Low Ratings โ€“ Effectiveness (2/3)
  • 4. Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016 Mutual evaluation report by the Committee of Experts on the Evaluation of Anti- Money Laundering Measures and the Financing of Terrorism MONEYVAL 4 Immediate outcome of an effective system to combat money laundering (ML) and terrorist financing (TF) Extent to which Hungary has achieved this objective 9. Terrorist financing offences and activities are investigated and persons who finance terrorism are prosecuted and subject to effective, proportionate and dissuasive sanctions. Moderate 10. Terrorists, terrorist organisations and terrorist financiers are prevented from raising, moving and using funds, and from abusing the non-profit sector. Moderate 11. Persons and entities involved in the proliferation of weapons of mass destruction are prevented from raising, moving and using funds, consistent with the relevant United Nations Security Council Resolutions. Moderate Ratings โ€“ Effectiveness (3/3)
  • 5. Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016 Mutual evaluation report by the Committee of Experts on the Evaluation of Anti- Money Laundering Measures and the Financing of Terrorism MONEYVAL 5 Ratings โ€“ Effectiveness 0 2 5 4 High Substantial Moderate Low
  • 6. 6 Ratings โ€“ technical compliance (1/5) AML/CFT POLICIES AND COORDINATION 1. Assessing risks & applying a risk-based approach ParParPa Par Partially compliant 2. National cooperation and coordination ParParPa Par Partially compliant MONEY LAUNDERING AND CONFISCATION 3. Money laundering offence LarLarLarLar Largely compliant 4. Confiscation and provisional measures ComComCo Com Compliant TERRORIST FINANCING AND FINANCING OF PROLIFERATION 5. Terrorist financing offence ParParPa Par Partially compliant 6. Targeted financial sanctions related to terrorism & terrorist financing ParParPa Par Partially compliant 7. Targeted financial sanctions related to proliferation ParParPa Par Partially compliant 8. Non-profit organisations ParParPa Par Partially compliant
  • 7. 7 Ratings โ€“ technical compliance (2/5) PREVENTIVE MEASURES 9. Financial institution secrecy laws Co ComComCo Compliant Customer due diligence and record keeping 10. Customer due diligence Pa ParParPa Partially compliant 11. Record keeping LarLarLarLar Largely compliant Additional measures for specific customers and activities 12. Politically exposed persons Pa ParParPa Partially compliant 13. Correspondent banking Pa ParParPa Partially compliant 14. Money or value transfer services LarLarLarLar Largely compliant 15. New technologies Pa ParParPa Partially compliant 16. Wire transfers Pa ParParPa Partially compliant
  • 8. 8 Ratings โ€“ technical compliance (3/5) PREVENTIVE MEASURES (continued) Reliance, Controls and Financial Groups 17. Reliance on third parties LarLarLarLar Largely compliant 18. Internal controls and foreign branches and subsidiaries Pa Pa ParPa Partially compliant 19. Higher-risk countries Pa Pa ParPa Partially compliant Reporting of suspicious transactions 20. Reporting of suspicious transactions Co Co ComCo Compliant 21. Tipping-off and confidentiality LarLarLarLar Largely compliant Designated non-financial Businesses and Professions (DNFBPs) 22. DNFBPs: Customer due diligence Pa Pa ParPa Partially compliant 23. DNFBPs: Other measures Pa Pa ParPa Partially compliant TRANSPARENCY AND BENEFICIAL OWNERSHIP OF LEGAL PERSONS AND ARRANGEMENTS 24. Transparency and beneficial ownership of legal persons Pa Pa ParPa Partially compliant 25. Transparency and beneficial ownership of legal arrangements Pa Pa ParPa Partially compliant
  • 9. 9 Ratings โ€“ technical compliance (4/5) POWERS AND RESPONSIBILITIES OF COMPETENT AUTHORITIES AND OTHER INSTITUTIONAL MEASURES Regulation and Supervision 26. Regulation and supervision of financial institutions LarLarLarLar Largely compliant 27. Powers of supervisors LarLarLarLar Largely compliant 28. Regulation and supervision of DNFBPs Pa Pa ParPa Partially compliant Operational and Law Enforcement 29. Financial intelligence units Co Co ComCo Compliant 30. Responsibilities of law enforcement and investigative authorities Co Co ComCo Compliant 31. Powers of law enforcement and investigative authorities LarLarLarLar Largely compliant 32. Cash couriers Pa Pa ParPa Partially compliant
  • 10. 10 Ratings โ€“ technical compliance (5/5) POWERS AND RESPONSIBILITIES OF COMPETENT AUTHORITIES AND OTHER INSTITUTIONAL MEASURES (continued) General Requirements 33. Statistics ParPa Pa Par Partially compliant 34. Guidance and feedback ParPa Pa Par Partially compliant Sanctions 35. Sanctions ParPa Pa Par Partially compliant INTERNATIONAL COOPERATION 36. International instruments LarLarLarLar Largely compliant 37. Mutual legal assistance LarLarLarLar Largely compliant 38. Mutual legal assistance: freezing and confiscation LarLarLarLar Largely compliant 39. Extradition LarLarLarLar Largely compliant 40. Other forms of international cooperation LarLarLarLar Largely compliant
  • 11. Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016 Mutual evaluation report by the Committee of Experts on the Evaluation of Anti- Money Laundering Measures and the Financing of Terrorism MONEYVAL 11 Ratings โ€“ technical compliance 5 13 22 0 Compliant Largely compliant Partially compliant Non compliant
  • 12. Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016 Mutual evaluation report by the Committee of Experts on the Evaluation of Anti- Money Laundering Measures and the Financing of Terrorism MONEYVAL Key findings ๏‚ง Hungary has a rather mixed understanding of its ML/FT risks. The NRA does not include sufficient depth with regard to potential ML/FT threats, vulnerabilities and their consequences. It also does not demonstrate the characteristics of a comprehensive assessment based on a robust methodology. The Hungarian authorities have not yet adopted a national AML/CFT strategy in the light of the outcome of the NRA, nor have they defined consequential policies and necessary actions coherently. ๏‚ง Hungaryโ€™s use of financial intelligence and other information for ML/FT and associated predicate offence investigations demonstrates to a large extent the characteristics of an effective system. The good quality, timely and relevant work produced and assistance provided by the Hungarian Financial Intelligence Unit (HFIU) to other competent authorities contributes significantly to the efforts to detect and disrupt ML threats and deprive criminals of ill-gotten gains. However, law enforcement and other competent authorities did not demonstrate that they make appropriate use of financial intelligence and other relevant information for ML/FT investigations. 12
  • 13. Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016 Mutual evaluation report by the Committee of Experts on the Evaluation of Anti- Money Laundering Measures and the Financing of Terrorism MONEYVAL Key findings 13 ๏‚ง Although the number of investigations and prosecutions for ML are on the rise, the fight against ML activity is not a priority objective. The ML prosecutions are not commensurate with the risks and threats identified in the NRA. ML is treated mostly in a self-laundering context, with a limited number of cases highlighting structured ML schemes. The dependence of the ML offence on the identification of a specific predicate offence is a factor that has weighed on the effectiveness of the AML-system. ๏‚ง The mandatory seizure/confiscation regime is legally sound and stringent, although the dependence on the predicate offence is a restraining factor. The statistics do not demonstrate the actual effective and successful application of the seizure/confiscation rules. However, some case examples are indicative of large amounts of proceeds susceptible to confiscation. The potential of the Asset Recovery Office (ARO) to provide support to investigations should be further exploited.
  • 14. Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016 Mutual evaluation report by the Committee of Experts on the Evaluation of Anti- Money Laundering Measures and the Financing of Terrorism MONEYVAL Key findings ๏‚ง Hungary adopts a proactive approach against terrorism, albeit not particularly focused on the FT-aspect. In the absence of FT-targeted investigations and prosecutions, an effectiveness assessment must rely mainly on structural elements. Although the professionalism and good intelligence work of the Counter Terrorism Centre (TEK) and the HFIU are recognised, there are a number of considerations highlighting some weaknesses that should be addressed to achieve a better performing CTF regime. ๏‚ง Hungary has a legal basis to apply targeted financial sanctions regarding terrorist financing, but implementation has technical and effectiveness-related deficiencies. The Application of freezing measures under the EU framework results in delays. Moreover, there are concerns related to the implementation procedures under the FRM Act. Deficiencies were also identified with regard to the national freezing mechanisms under the AML/CFT Act, in relation to communicating information to service providers and the application of criminal procedural measures for the enforcement of freezing measures. 14
  • 15. Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016 Mutual evaluation report by the Committee of Experts on the Evaluation of Anti- Money Laundering Measures and the Financing of Terrorism MONEYVAL Key findings 15 ๏‚ง Hungary has not undertaken a formal domestic review to determine if there is a subset within the NPO sector which may potentially be at risk of being misused for FT. There are doubts about the level of transparency of the NPO sector. No authority or mechanism has been designated to conduct outreach to the NPO sector on FT issues and to monitor the NPOs posing a higher FT risk. ๏‚ง AML/CFT supervisory activities in Hungary are not fully commensurate with the perception of ML/FT risks. While the Central Bank of Hungary (MNB) demonstrated a basic understanding of ML/FT risks for some FIs, this is not the case for all FIs. DNFBP supervisors do not identify and in principle maintain an understanding of ML/FT risks in their respective sectors, even though there are exceptions to this. Onsite inspections for compliance with AML/CFT obligations do not focus on areas of higher ML/FT risks. While the MNB and DNFBP supervisors are equipped with powers to impose administrative sanctions, the dissuasiveness of the sanctions imposed could be enhanced in order to create a greater incentive for all obliged entities to fully comply with the AML/CFT obligations.
  • 16. Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016 Mutual evaluation report by the Committee of Experts on the Evaluation of Anti- Money Laundering Measures and the Financing of Terrorism MONEYVAL Key findings ๏‚ง Hungary takes steps in relation to combating proliferation. However, the countryโ€™s reliance on the EU framework for implementing the UNSCRs relating to targeted financial sanctions to combat PF results in a time-gap which has a negative impact on the systemโ€™s effectiveness. Even though in practice there is a mechanism in place for the dissemination of information by the authorities on updates made in the relevant UNSC lists, no legal basis exists for implementing sanctions before these are transposed into EU Law. ๏‚ง Hungary demonstrates many characteristics of an effective system of international cooperation. Respective authorities use a wide and comprehensive framework of multilateral, bilateral and national legal instruments and other cooperation mechanisms to seek and provide good quality and timely international cooperation. The countries that gave input on the international co-operation of the Hungarian authorities found it to be generally satisfactory. 16
  • 17. Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016 Mutual evaluation report by the Committee of Experts on the Evaluation of Anti- Money Laundering Measures and the Financing of Terrorism MONEYVAL Priority Actions for Hungary to strengthen its AML/CFT System 17 ๏‚ง A more detailed ML/FT-threat and vulnerability analysis (including the collection of in-depth data) should be undertaken through updating the NRA. A national AML/CFT strategy and related action plan relevant for all competent authorities should be determined on the most relevant ML/FT risks identified, with appropriate coordination of action and allocation of resources. More information should be shared with the private sector about the results of the NRA. Its main stakeholders should be encouraged to conduct their own individual risk assessments. ๏‚ง Hungary should ensure that it pursues investigations for the different types of ML consistent with its risk profile. It should review its statistical system to enable an objective understanding of the performance of its repressive AML/CFT system and an internal assessment of its effectiveness. The prosecutorial authorities should test in the courts the limits of the evidentiary requirements on the illegal origin of the laundered assets, taking into account the all-crimes scope of the ML offence. Parallel financial investigations should be systematically organised, particularly in serious and complex proceed-generating cases
  • 18. Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016 Mutual evaluation report by the Committee of Experts on the Evaluation of Anti- Money Laundering Measures and the Financing of Terrorism MONEYVAL Priority Actions for Hungary to strengthen its AML/CFT System ๏‚ง With regard to the confiscation of proceeds and instrumentalities of crime, Hungary should review its statistical system in order to produce reliable, comprehensive and sufficiently detailed figures. It is recommended to reinforce the role of the Asset Recovery Office (ARO), allowing it to function as both a financial police capable to conduct parallel investigations and as a criminal assets bureau. Steps should be taken to create a central bank register, as increasingly practiced in other Council of Europe member States. ๏‚ง The MNB and DNFBP supervisors should carry out their AML/CFT supervisory activities commensurate with the perception of ML/FT risks. They should issue (or amend the existing) procedures that take into account national and sectorial ML/FT risks. The MNB should adopt measures to assess the ML/FT risks at the sectorial level and for each financial institution, in order to obtain an overall perception of such risks for the entire financial sector. The authorities should reconsider the overall AML/CFT sanctioning regime in terms of dissuasiveness and proportionality. Supervisory activities on financial institutions should focus on straw men and โ€œphantom companiesโ€. 18
  • 19. Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016 Mutual evaluation report by the Committee of Experts on the Evaluation of Anti- Money Laundering Measures and the Financing of Terrorism MONEYVAL Priority Actions for Hungary to strengthen its AML/CFT System ๏‚ง Hungary should undertake an assessment of the vulnerabilities related to legal entities, having regard to the possible use of โ€œstraw menโ€ by organised crime. The country should ensure that competent authorities have access to accurate beneficial ownership information. Amendments should be introduced to the Trust Act or to the AML/CFT Act to unambiguously clarify that identities of the beneficial owner of trusts must be made available for CDD purposes to FIs and DNFBPs. Measures should be taken to ensure that non-professional trustees also disclose their status to FIs and DNFBPs upon opening a business relationship or when carrying out an occasional transaction above a certain threshold. Legal provisions should be introduced for prompt reporting of changes to the legal ownership of companies to the Court of Registry, with dissuasive sanctions for breaches of such requirement. ๏‚ง Hungary should remedy the remaining technical deficiencies affecting the full criminalisation of financing of terrorism and foreign terrorist fighters. Effectiveness of border controls should be improved by providing a legal basis for the possibility to administratively stop and restrain suspect assets. Parallel financial investigations should be formalised for future FT cases. The establishment of law enforcement sections specialised in countering the financing of terrorism should be considered. 19
  • 20. Anti-money laundering and counter-terrorist financing measures in Hungary โ€“ Mutual Evaluation Report โ€“ September 2016 Mutual evaluation report by the Committee of Experts on the Evaluation of Anti- Money Laundering Measures and the Financing of Terrorism MONEYVAL Priority Actions for Hungary to strengthen its AML/CFT System ๏‚ง Hungary should undertake further steps for the prompt implementation of UNSCR-targeted financial sanctions, and reconsider the role of their domestic courts in the asset-freezing process. Hungary should take the necessary legislative measures in order to improve the implementation of the UNSCRs relating to targeted financial sanctions. It should be further ensured that service providers are promptly updating their databases in line with new listings/designations for FT and PF. Hungary should conduct a formal review of the entire NPO sector in order to identify NPOs that could potentially pose a higher FT risk. The country should establish an effective mechanism to conduct outreach to the NPO sector concerning FT issues and monitor the NPOs posing a higher FT risk. ๏‚ง The authorities should take steps to ensure that financial institutions and DNFBPs are adequately applying preventive measures. They should take further steps to raise awareness of FT risks amongst all sectors. Hungary should amend the legislative framework in line with the international standards, and safeguard rapid implementation by financial institutions and DNFBPs of these provisions. 20