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March 31, 2008




     Focus business management: compliance


 Money Laundering ‘Red Flags’:
 How To Spot Risky Scenarios
                                                                                                                                  LY.
 By Patrick McGunaGle
                                                                                                                               ON
                                                                                                       mon categories of money laundering risk


 a
                                                        w h at t o l o o k f o r
        s insurers ramp up their anti-mon-
                                                                                                                             G
                                                                                                       for insurers, including: 1) when clients


                                                                                                              DIN
        ey laundering (amL) efforts to comply                  red FlaG tiP sHeet                      misrepresent themselves to agents and in-
        with federal regulatory requirements,                                                          surance companies; 2) when rogue agents
                                                                                3 common
                                                                                                            A
                                         RE
 firms must be aware of important “red flags”                                   categories of money    victimize their own clients; and 3) when
 that indicate potential money laundering                                       laundering risk for    clients and agents conspire together to

                                       AL ION
 activity—and make sure their agents and                                        insurers:              defraud companies or government enti-


                                     ON UT
 brokers learn them as well.                                                  A When clients misrep-   ties. These scenarios also indicate the high
     Being able to spot these “red flags” is                                                           dollar value of some money laundering

                                  RS RIB
                                                                                resent themselves to
 one of the critical steps in amL compli-                                       agents and insurers.   schemes, although insurers need to be


                                PE IST
 ance, both as a method for insurance                                         2 When rogue agents      aware that many criminals pursue much
 companies to strengthen their own amL                                          victimize their own    lower amounts to attempt to operate “be-

                             OR R D
 processes and also to demonstrate to                                           clients.               low the radar.”


                          Y F FO
 regulators that their amL programs are                                       3 When clients and
 sound. under the FinCen guidelines, an                                         agents conspire        “red FlaG” BeHavior

                        OP OT
                                                                                together to defraud
 insurance company is responsible for amL                                                              using existing criminal cases as well as the
                                                                                companies or govern-


                      DC N
 compliance for all covered products they                                       ment entities.         knowledge of certain patterns in money laun-
 sell, whether through their own agents or                                                             dering behavior, firms can compile a library

    TE
 through non-captive/independent distrib-                                                              of “red flags” to detect the signs of money


 RIN
 utors. so it is up to the firm to understand          policies purchased offshore. more than          laundering—and stop it before it happens.
 the “red flag” scenarios and integrate these          250 policies were purchased, some for               These “red-flag” scenarios carry an
Pas an ongoing part of amL monitoring for
 all sales channels.
                                                       more than $1 million dollars in pre-
                                                       mium. many of the policies were cashed
                                                                                                       above-average risk for criminal behavior:
                                                                                                       K sales involving unusually large single
                                                       out shortly after purchase, with heavy          premiums or a series of large premium
 HiGH-ProFile Money launderinG cases                   surrender charges.                              payments.
 With criminals constantly devising cre-               E a south Dakota agent was imprisoned           K sales involving excessive transactions or
 ative new ways to launder money, insurers             for promoting a scheme to conceal taxable       early surrenders.
 face a wide range of money laundering                 income from the irs by transferring cli-        K Clients who are keenly interested in how
 behavior from both the “inside” (brokers              ents’ assets into management companies          quickly and how much money they can
 themselves) and out (the customers). some             and trusts.                                     borrow or withdraw from permanent life
 examples include these cases reported by              E a life insurance settlements provider         insurance contracts.
 the irs and state authorities:                        purchased more than 9,000 policies with         K sales with a premium paid by a third party
 E a Florida case indicted 5 Colom-                    more than $1 billion in combined death          or by a premium financing arrangement.
 bian nationals on charges of laundering               benefits before the company was discov-         K Clients who are not able to account for
 millions of dollars from cocaine sales                ered and put out of business by regulators      the source of funding from their own in-
 through single-premium life insurance                 in 2004. according to the u.s. District         come or assets.
                                                       attorney and seC, the company sold un-          K Clients who lack roots in the local com-
                                                       registered securities to 29,000 investors.      munity or a legitimate reason for doing
                       EPatrick McGunagle is
                                                       One civil court case against the company        business with a local agent or agency.
                       group executive, advisory
                                                       and its executives alleged that a drug cartel   K purchases of life insurance that are not con-
                       services at Fortent. He can
                                                       wired large amounts of funds to this com-       sistent with a customer’s identified needs.
                       be reached via email at
                                                       pany’s account to launder tainted money.        K products in which beneficiaries appear
                       p.mcgunagle@fortent.com.
                                                           These examples demonstrate the 3 com-       unrelated to the owner.


 www.lifeandhealthinsurancenews.com                                                                     March 31, 2008 | National Underwriter Life & Health
K agents who are especially secretive about    own institutional knowledge and experience    amL training can encourage active par-
their largest clients, their identities and    to develop red flag scenarios. a firm’s amL   ticipation by brokers and agents to be
activities.                                    users can manually create scenarios for the   on the lookout for suspicious customers
                                               system based on what agents and brokers       and transactions—as well as internal “red
How scenarios work                             have seen for themselves in the trenches,     flags” indicating to the firm any improper
in aMl MonitorinG                              helping the organization learn what money     behavior by the agents themselves.
insurance companies can employ scenarios       laundering looks like in all its constantly       scenarios give both managers and
as a vital part of their amL monitoring sys-   changing permutations.                        employees a very tangible tool for identi-
tems in order to detect red flags wherever                                                   fying potential money laundering, trans-


                                                                                                                     LY.
and whenever they appear. advanced amL         draMatizinG “red FlaGs” For                   forming the process from theoretical
                                               traininG

                                                                                                                  ON
technology is designed to detect hidden                                                      “rule following” to a more real-world set
patterns and relationships, and the red        On top of their use in amL programs           of challenges and objectives. Firms who
flags built into these systems can identify    themselves, these “red flag” scenarios can
                                                                                                                G
                                                                                             use scenario-training are better able to


                                                                                                    DIN
the common, as well as not-so-common,          be an integral part of amL training, which    motivate their employees in the “compli-
money laundering techniques.                   is also a FinCen requirement for firms.       ance mission” and achieve a more effec-
                                                                                                  A
                                     RE
    But companies can also leverage their      By building red flags into case studies,      tive amL program overall. NU



                                   AL ION
                                 ON UT
                              RS RIB
                            PE IST
                         OR R D
                      Y F FO
                    OP OT
                  DC N
    TE
PRIN




                            (#16576) Reprinted with permission from National Underwriter Life & Health.
                            Copyright 2008 by The National Underwriter Company. All Rights Reserved.

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Insurance National Underwriter Fortent

  • 1. March 31, 2008 Focus business management: compliance Money Laundering ‘Red Flags’: How To Spot Risky Scenarios LY. By Patrick McGunaGle ON mon categories of money laundering risk a w h at t o l o o k f o r s insurers ramp up their anti-mon- G for insurers, including: 1) when clients DIN ey laundering (amL) efforts to comply red FlaG tiP sHeet misrepresent themselves to agents and in- with federal regulatory requirements, surance companies; 2) when rogue agents 3 common A RE firms must be aware of important “red flags” categories of money victimize their own clients; and 3) when that indicate potential money laundering laundering risk for clients and agents conspire together to AL ION activity—and make sure their agents and insurers: defraud companies or government enti- ON UT brokers learn them as well. A When clients misrep- ties. These scenarios also indicate the high Being able to spot these “red flags” is dollar value of some money laundering RS RIB resent themselves to one of the critical steps in amL compli- agents and insurers. schemes, although insurers need to be PE IST ance, both as a method for insurance 2 When rogue agents aware that many criminals pursue much companies to strengthen their own amL victimize their own lower amounts to attempt to operate “be- OR R D processes and also to demonstrate to clients. low the radar.” Y F FO regulators that their amL programs are 3 When clients and sound. under the FinCen guidelines, an agents conspire “red FlaG” BeHavior OP OT together to defraud insurance company is responsible for amL using existing criminal cases as well as the companies or govern- DC N compliance for all covered products they ment entities. knowledge of certain patterns in money laun- sell, whether through their own agents or dering behavior, firms can compile a library TE through non-captive/independent distrib- of “red flags” to detect the signs of money RIN utors. so it is up to the firm to understand policies purchased offshore. more than laundering—and stop it before it happens. the “red flag” scenarios and integrate these 250 policies were purchased, some for These “red-flag” scenarios carry an Pas an ongoing part of amL monitoring for all sales channels. more than $1 million dollars in pre- mium. many of the policies were cashed above-average risk for criminal behavior: K sales involving unusually large single out shortly after purchase, with heavy premiums or a series of large premium HiGH-ProFile Money launderinG cases surrender charges. payments. With criminals constantly devising cre- E a south Dakota agent was imprisoned K sales involving excessive transactions or ative new ways to launder money, insurers for promoting a scheme to conceal taxable early surrenders. face a wide range of money laundering income from the irs by transferring cli- K Clients who are keenly interested in how behavior from both the “inside” (brokers ents’ assets into management companies quickly and how much money they can themselves) and out (the customers). some and trusts. borrow or withdraw from permanent life examples include these cases reported by E a life insurance settlements provider insurance contracts. the irs and state authorities: purchased more than 9,000 policies with K sales with a premium paid by a third party E a Florida case indicted 5 Colom- more than $1 billion in combined death or by a premium financing arrangement. bian nationals on charges of laundering benefits before the company was discov- K Clients who are not able to account for millions of dollars from cocaine sales ered and put out of business by regulators the source of funding from their own in- through single-premium life insurance in 2004. according to the u.s. District come or assets. attorney and seC, the company sold un- K Clients who lack roots in the local com- registered securities to 29,000 investors. munity or a legitimate reason for doing EPatrick McGunagle is One civil court case against the company business with a local agent or agency. group executive, advisory and its executives alleged that a drug cartel K purchases of life insurance that are not con- services at Fortent. He can wired large amounts of funds to this com- sistent with a customer’s identified needs. be reached via email at pany’s account to launder tainted money. K products in which beneficiaries appear p.mcgunagle@fortent.com. These examples demonstrate the 3 com- unrelated to the owner. www.lifeandhealthinsurancenews.com March 31, 2008 | National Underwriter Life & Health
  • 2. K agents who are especially secretive about own institutional knowledge and experience amL training can encourage active par- their largest clients, their identities and to develop red flag scenarios. a firm’s amL ticipation by brokers and agents to be activities. users can manually create scenarios for the on the lookout for suspicious customers system based on what agents and brokers and transactions—as well as internal “red How scenarios work have seen for themselves in the trenches, flags” indicating to the firm any improper in aMl MonitorinG helping the organization learn what money behavior by the agents themselves. insurance companies can employ scenarios laundering looks like in all its constantly scenarios give both managers and as a vital part of their amL monitoring sys- changing permutations. employees a very tangible tool for identi- tems in order to detect red flags wherever fying potential money laundering, trans- LY. and whenever they appear. advanced amL draMatizinG “red FlaGs” For forming the process from theoretical traininG ON technology is designed to detect hidden “rule following” to a more real-world set patterns and relationships, and the red On top of their use in amL programs of challenges and objectives. Firms who flags built into these systems can identify themselves, these “red flag” scenarios can G use scenario-training are better able to DIN the common, as well as not-so-common, be an integral part of amL training, which motivate their employees in the “compli- money laundering techniques. is also a FinCen requirement for firms. ance mission” and achieve a more effec- A RE But companies can also leverage their By building red flags into case studies, tive amL program overall. NU AL ION ON UT RS RIB PE IST OR R D Y F FO OP OT DC N TE PRIN (#16576) Reprinted with permission from National Underwriter Life & Health. Copyright 2008 by The National Underwriter Company. All Rights Reserved.