Teaming up with... AVIVA

Welcome to the UKGI weekly regulation update service for Aviva ABC brokers

We hope you find the Updates useful. If you are
interested in subscribing to our affordable
ABC compliance support package, please
email us at ABC@ukgigroup.com or
call UKGI on our dedicated ABC
contact line 01925 767893.

FCA publishes insights and writes to certain firms about anti-money laundering failings

Link(s):FCA warns firms over anti-money laundering failings | FCA
Dear CEO letter: Action needed in response to common control failings identified in anti-money laundering frameworks (fca.org.uk)

Context

The FCA has written to firms (‘Annex 1 firms’ – which are firms carrying on the activities noted on page 88 of 99 in this document), which are subject to the Money Laundering Regulations (the MLRs).  The Dear CEO letter relates to common controls failings that the FCA has identified in firms’ anti-money laundering frameworks.  It has also published a web page highlighting some common issues it has found. 

Key points to note and next actions

  • Although most insurance intermediaries will not be captured directly by the requirements of the MLRs, or the DEAR DEO letter, the findings and messages can be applied as good anti-money laundering practice and to all firms’ efforts to reduce and prevent financial crime.
  • Annex 1 businesses include, for example, some lenders, safe custody providers, money brokers and financial leasing companies.
  • The common issues the FCA found have been grouped under four headings, which are expanded within the Dear CEO letter:
  • Business Model – discrepancies between firms’ registered and actual activities, and lack of Financial Crime controls to keep pace with business growth
  • Risk Assessment – weaknesses in Business Wide Risk Assessments and Customer Risk Assessments
  • Due Diligence, Ongoing Monitoring and Policies and Procedures – lack of detail in policies creating ambiguity around actions staff should take to comply with their obligations under the MLRs
  • Governance, Management Information and Training – lack of resources for Financial Crime, inadequate Financial Crime training and absence of a clear audit trail for Financial Crime related decision-making.