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PRESENTED BY---
RIDHI RANJAN MARTHA- 126133372
DEV PRASAD ROUT- 1261333100
 KYC (Know Your Customer) is a framework for banks
which enables them to know / understand the
customers and their financial dealings to be able to
serve them better.
 Banking operations are susceptible to the risks of
money laundering and terrorist financing.
Therefore, banks are advised to follow certain customer
identification procedure for opening of accounts and
monitoring transactions of a suspicious nature for the
purpose of reporting it to appropriate authority
 Reserve Bank of India has advised banks to make the
Know Your Customer (KYC) procedures mandatory
while opening and operating the accounts and has
issued the KYC guidelines under Section 35 (A) of the
Banking Regulation Act, 1949.
 Any contravention of the same will attract penalties
under the relevant provisions of the Act. Thus, the Bank
has to be fully compliant with the provisions of the KYC
procedures.
 Customer?
One who maintains an account, establishes business relationship, on
who’s behalf account is maintained, beneficiary of accounts
maintained by intermediaries, and one who carries potential risk
through one off transaction
 Your? Who should know?
Branch manager, audit officer, monitoring officials, PO.
 Know? What you should know?
True identity and beneficial ownership of the accounts
permanent address, registered & administrative address, sources of
funds, nature of customers’ business etc.
 Opening a new account.
 In respect of accounts where documents as per current KYC
standards have not been submitted while opening the initial
account.
 Opening a Locker Facility where these documents are not
available with the Bank for all the Locker facility holders.
 When the Bank feels it necessary to obtain additional
information from existing customers based on conduct of
account.
 When there are changes to signatories, mandate holders,
beneficial owners etc.
 For non-account holders approaching the Bank for high
value one-off transactions like Drafts, Remittances etc.
 Sound KYC procedures have particular relevance to the
safety and soundness of banks, in that:
1. They help to protect banks’ reputation and the integrity
of banking systems by reducing the likelihood of banks
becoming a vehicle for or a victim of financial crime
and suffering consequential reputational damage;
2. They provide an essential part of sound risk
management system (basis for identifying, limiting and
controlling risk exposures in assets & liabilities
 To prevent banks from being used, intentionally or
unintentionally, by criminal elements for money
laundering activities . KYC procedures also enable banks
to know/understand their customers and their financial
dealings better which in turn help them manage their
risks prudently.
4 key elements of KYC policies
 1) Customer Acceptance Policy;
 2) Customer Identification Procedures;
 3) Monitoring of Transactions; and
 4) Risk management
The Customer Acceptance Policy must ensure that explicit
guidelines are in place on the following aspects of customer
relationship in the bank.
 No account is opened in anonymous
 Parameters of risk perception are clearly defined.
 Documentation requirements and other information to be
collected.
 Circumstances, in which a customer is permitted to act on
behalf of another person/entity, should be clearly spelt out
 Necessary checks before opening a new account .
 Not to open an account or close an existing account where the
bank is unable to apply appropriate customer due diligence
 The policy approved by the Board of banks should clearly
spell out the Customer Identification Procedure to be
carried out at different stages i.e. while establishing a
banking relationship. i.e. while establishing a banking
relationship; carrying out a financial transaction or when
the bank has a doubt about the authenticity/veracity or
the adequacy of the previously obtained customer
identification data.
 Identifying the customer and verifying his/ her identity by
using reliable, independent source documents, data or
information.
 Banks can effectively control and reduce their risk only if
they have an understanding of the normal and
reasonable activity of the customer –to identify
transactions that fall outside the regular pattern of
activity.
However, the extent of monitoring will depend on the risk
sensitivity of the account
 The bank may prescribe threshold limits for a particular
category of accounts and pay particular attention to the
transactions which exceed these limits.
 The Board of Directors of the bank should ensure that an
effective KYC programme is put in place by establishing
appropriate procedures and ensuring their effective
implementation.
 Responsibility should be explicitly allocated within the bank
for ensuring that the bank’s policies and procedures are
implemented effectively.
 Apart from the key elements the other things that a bank
should look into customer education, introduction of new
technologies, applicability to branches outside India and
appointment of principal officer.
THANK YOU

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kycnormsgroup19-121110050951-phpapp01 - Copy.ppt

  • 1. PRESENTED BY--- RIDHI RANJAN MARTHA- 126133372 DEV PRASAD ROUT- 1261333100
  • 2.  KYC (Know Your Customer) is a framework for banks which enables them to know / understand the customers and their financial dealings to be able to serve them better.  Banking operations are susceptible to the risks of money laundering and terrorist financing. Therefore, banks are advised to follow certain customer identification procedure for opening of accounts and monitoring transactions of a suspicious nature for the purpose of reporting it to appropriate authority
  • 3.  Reserve Bank of India has advised banks to make the Know Your Customer (KYC) procedures mandatory while opening and operating the accounts and has issued the KYC guidelines under Section 35 (A) of the Banking Regulation Act, 1949.  Any contravention of the same will attract penalties under the relevant provisions of the Act. Thus, the Bank has to be fully compliant with the provisions of the KYC procedures.
  • 4.  Customer? One who maintains an account, establishes business relationship, on who’s behalf account is maintained, beneficiary of accounts maintained by intermediaries, and one who carries potential risk through one off transaction  Your? Who should know? Branch manager, audit officer, monitoring officials, PO.  Know? What you should know? True identity and beneficial ownership of the accounts permanent address, registered & administrative address, sources of funds, nature of customers’ business etc.
  • 5.  Opening a new account.  In respect of accounts where documents as per current KYC standards have not been submitted while opening the initial account.  Opening a Locker Facility where these documents are not available with the Bank for all the Locker facility holders.  When the Bank feels it necessary to obtain additional information from existing customers based on conduct of account.  When there are changes to signatories, mandate holders, beneficial owners etc.  For non-account holders approaching the Bank for high value one-off transactions like Drafts, Remittances etc.
  • 6.  Sound KYC procedures have particular relevance to the safety and soundness of banks, in that: 1. They help to protect banks’ reputation and the integrity of banking systems by reducing the likelihood of banks becoming a vehicle for or a victim of financial crime and suffering consequential reputational damage; 2. They provide an essential part of sound risk management system (basis for identifying, limiting and controlling risk exposures in assets & liabilities
  • 7.  To prevent banks from being used, intentionally or unintentionally, by criminal elements for money laundering activities . KYC procedures also enable banks to know/understand their customers and their financial dealings better which in turn help them manage their risks prudently. 4 key elements of KYC policies  1) Customer Acceptance Policy;  2) Customer Identification Procedures;  3) Monitoring of Transactions; and  4) Risk management
  • 8. The Customer Acceptance Policy must ensure that explicit guidelines are in place on the following aspects of customer relationship in the bank.  No account is opened in anonymous  Parameters of risk perception are clearly defined.  Documentation requirements and other information to be collected.  Circumstances, in which a customer is permitted to act on behalf of another person/entity, should be clearly spelt out  Necessary checks before opening a new account .  Not to open an account or close an existing account where the bank is unable to apply appropriate customer due diligence
  • 9.  The policy approved by the Board of banks should clearly spell out the Customer Identification Procedure to be carried out at different stages i.e. while establishing a banking relationship. i.e. while establishing a banking relationship; carrying out a financial transaction or when the bank has a doubt about the authenticity/veracity or the adequacy of the previously obtained customer identification data.  Identifying the customer and verifying his/ her identity by using reliable, independent source documents, data or information.
  • 10.
  • 11.
  • 12.  Banks can effectively control and reduce their risk only if they have an understanding of the normal and reasonable activity of the customer –to identify transactions that fall outside the regular pattern of activity. However, the extent of monitoring will depend on the risk sensitivity of the account  The bank may prescribe threshold limits for a particular category of accounts and pay particular attention to the transactions which exceed these limits.
  • 13.  The Board of Directors of the bank should ensure that an effective KYC programme is put in place by establishing appropriate procedures and ensuring their effective implementation.  Responsibility should be explicitly allocated within the bank for ensuring that the bank’s policies and procedures are implemented effectively.  Apart from the key elements the other things that a bank should look into customer education, introduction of new technologies, applicability to branches outside India and appointment of principal officer.