FFIEC BSA/AML Assessing the BSA/AML Compliance Program (2024)

BSA COMPLIANCE OFFICER

Objective: Confirm that the bank’s board of directors has designated a qualified individual or individuals (BSA compliance officer) responsible for coordinating and monitoring day-to-day compliance with BSA regulatory requirements. Assess whether the BSA compliance officer has the appropriate authority, independence, access to resources, and competence to effectively execute all duties.

The bank’s board of directors must designate a qualified individual or individuals to serve as the BSA compliance officer.[18]12 CFR 208.63(c)(3), (Federal Reserve); 12 CFR 326.8(c)(3) (FDIC); 12 CFR 748.2(c)(3) (NCUA); 12 CFR 21.21(d)(3) (OCC). The BSA compliance officer is responsible for coordinating and monitoring day-to-day BSA/AML compliance. The BSA compliance officer is also charged with managing all aspects of the BSA/AML compliance program, including managing the bank’s compliance with BSA regulatory requirements. The board of directors is ultimately responsible for the bank’s BSA/AML compliance and should provide oversight for senior management and the BSA compliance officer in the implementation of the bank’s board-approved BSA/AML compliance program.[19]FinCEN (2014), “Advisory to U.S. Financial Institutions on Promoting a Culture of Compliance,” FIN-2014-A007.

The act by the bank’s board of directors of appointing a BSA compliance officer is not, by itself, sufficient to meet the regulatory requirement to establish and maintain a BSA/AML compliance program reasonably designed to assure and monitor compliance with the BSA. The board of directors is responsible for ensuring that the BSA compliance officer has appropriate authority, independence, and access to resources to administer an adequate BSA/AML compliance program based on the bank’s ML/TF and other illicit financial activity risk profile. The BSA compliance officer should regularly report the status of ongoing compliance with the BSA to the board of directors and senior management so that they can make informed decisions about existing risk exposure and the overall BSA/AML compliance program. Reporting to the board of directors or a designated board committee about the status of ongoing compliance should include pertinent BSA-related information, including the required notification of suspicious activity report (SAR) filings.

The BSA compliance officer is responsible for carrying out the board’s direction, including the implementation of the bank’s BSA/AML policies, procedures, and processes. The BSA compliance officer may delegate BSA/AML duties to staff, but the officer is responsible for overseeing the day-to-day BSA/AML compliance program.

The BSA compliance officer should be competent, as demonstrated by knowledge of the BSA and related regulations, implementation of the bank’s BSA/AML compliance program, and understanding of the bank’s ML/TF and other illicit financial activity risk profile associated with its banking activities. The actual title of the individual responsible for overall BSA compliance is not important; however, the individual’s authority, independence, and access to resources within the bank is critical.

Indicators of appropriate authority of the BSA compliance officer may include senior management seeking the BSA compliance officer’s input regarding: the ML/TF and other illicit financial activity risks related to expansion into new products, services, customer types and geographic locations; or operational changes, such as the implementation of, or adjustments to, systems that impact the BSA compliance function. Indicators of appropriate independence of the BSA compliance officer may include, but are not limited to: clear lines of reporting and communication ultimately up to the board of directors or a designated board committee that do not compromise the BSA compliance officer’s independence, the ability to undertake the BSA compliance officer’s role without undue influence from the bank’s business lines, and identification and reporting of issues to senior management and the board of directors.

The BSA compliance officer should have access to suitable resources. This may include, but is not limited to: adequate staffing with the skills and expertise necessary for the bank’s overall risk level (based on products, services, customers, and geographic locations), size or complexity, and organizational structure; and systems to support the timely identification, measurement, monitoring, reporting, and management of the bank’s ML/TF and other illicit financial activity risks.

Examiners should confirm that the bank’s board of directors has designated an individual or individuals responsible for the overall BSA/AML compliance program who are appropriately qualified. Examiners should review reports to the board of directors and senior management regarding the status of ongoing compliance and pertinent BSA-related information, including the required notification of SAR filings. Examiners should confirm that the BSA compliance officer has the appropriate authority, independence, and access to resources.

FFIEC BSA/AML Assessing the BSA/AML Compliance Program (2024)

FAQs

What are the requirements for BSA AML compliance program? ›

Procedures for Monitoring BSA Compliance - 12 CFR 21.21

The program must, at a minimum: provide for a system of internal controls to assure ongoing compliance; provide for independent testing for compliance; designate an individual responsible for coordinating and monitoring day-to-day compliance; and.

How do you assess BSA? ›

There exist many variations in formulae to calculate an individual's body surface area, but one of the most widely used techniques to calculate this value is the Du Bois and Du Bois formula. The formula is as follows[1]: Body Surface Area= 0.007184 x (Height(cm)^0.725) x (Weight(kg)^0.425)

What are the 4 pillars of AML compliance program? ›

For many years AML compliance programs were built on the four internationally known pillars: development of internal policies, procedures and controls, designation of a AML (BSA) officer responsible for the program, relevant training of employees and independent testing.

How to check AML compliance? ›

Let's take a quick look at each component of this process.
  1. Designate a compliance officer. ...
  2. Develop written internal policies. ...
  3. Educate employees. ...
  4. Schedule an independent third-party review. ...
  5. Deploy risk-based procedures for conducting customer due diligence. ...
  6. Start with an AML risk assessment. ...
  7. Set up an AML verification process.

What is the BSA AML risk assessment? ›

BSA/AML Risk Assessment is a compliance tool that helps FIs identify, assess and reduce risks associated with money laundering, terrorist financing, or regulatory noncompliance. It also helps them determine if they should adopt new policies or processes to protect themselves from losses related to identified risks.

What are the 4 basic components of BSA compliance? ›

The Four (4) Pillars Of BSA/AML Compliance
  • PILLAR #1. DESIGNATION OF A COMPLIANCE OFFICER.
  • PILLAR #2. DEVELOPMENT OF INTERNAL POLICIES, PROCEDURES AND CONTROLS.
  • PILLAR #3. ONGOING, RELEVANT TRAINING OF EMPLOYEES.
  • PILLAR #4. INDEPENDENT TESTING AND REVIEW.
  • CONCLUSION.
Mar 24, 2016

What does BSA compliance program include? ›

Under the Bank Secrecy Act (BSA), financial institutions are required to assist U.S. government agencies in detecting and preventing money laundering, such as: Keep records of cash purchases of negotiable instruments, File reports of cash transactions exceeding $10,000 (daily aggregate amount), and.

What is a BSA AML red flag? ›

AML red flags are warning signs, such as unusually large transactions, which indicate signs of money laundering activity. If a company detects one or more red flags in a customer's activity, it should pay closer attention.

How to do an AML risk assessment? ›

The five steps to performing an AML risk assessment
  1. Document key risk indicators. ...
  2. Employ dedicated staff. ...
  3. Identify the inherent risk. ...
  4. Determine the residual risk. ...
  5. Rate the risk.

What are the 6 AML directives? ›

The EU's 6 AML Directive (6 AMLD), which came into effect 3 December 2020 and was implemented by regulated entities by 3 June 2021, aims to strengthen anti-money laundering (AML) rules in the EU and place higher responsibility on regulated entities to fight financial crime.

What are the three fundamental components of risk assessment for BSA? ›

According to the BSA, determining inherent AML risk involves assessing three main factors:
  • Products and services.
  • Customers.
  • Geographic location.
Apr 27, 2023

What is the normal BSA range? ›

The overall BSA was 2.04 +/- 0.24 m(2): 1.81 +/- 0.19 m(2) in normal-weight, 1.99 +/- 0.16 m(2) in overweight, and 2.21 +/- 0.22 m(2) in obese subjects.

What is a good BSA level? ›

The measured surface area of the body is termed as the Body Surface area or BSA in physiology and medicine. Its normal value is considered to be 1.7m².

How to calculate child body surface area? ›

How do I calculate BSA for pediatrics?
  1. Measure the child's weight (in kilograms – kg).
  2. Check the child's height or length (in centimeters – cm).
  3. Multiply the weight and height.
  4. Divide the result by 3600.
  5. Find the square root of that number.
  6. And you're done! You can always double-check with our BSA calculator.
6 days ago

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