Title: Anti-Money Laundering
1Anti-Money Laundering Office of Foreign Assets
Control Training
2Welcome to Anti-Money Laundering (AML) and Office
of Foreign Assets Control (OFAC) Training
- The topics covered are
- Welcome
- Introduction
- AML and OFAC Overview
- AML and OFAC Compliance
- Summary
- Conclusion
3Welcome
- Course Description
- Welcome to the Anti-Money Laundering and Office
of Foreign Assets Control course. - This course was designed to provide you with an
understanding of the Anti-Money Laundering (AML)
and Office of Foreign Assets Control (OFAC)
requirements that are applicable to CIGNA.
4Introduction
- Course Learning Objectives
- After completing this course, you will be able
to - Identify and appreciate the importance of AML and
OFAC compliance - List common activities money-laundering criminals
use to carry out their illegal schemes - Use effective techniques to prevent, detect, and
report potential money laundering - Identify the appropriate contact for business
unit-specific AML and OFAC guidance - Access additional AML and OFAC resources,
information, and assistance
5Introduction
- Overview
- Today, the activities of criminals, terrorists,
and terrorist organizations are increasingly more
creative, complex, and intense. The insurance
industry has become a target for money-laundering
schemes because of the variety of products
offered that can be used to hide monies related
to criminal activity. - Companies in the insurance industry, such as
CIGNA, are obligated to aid in the prevention,
detection, and reporting of - Potential money-laundering activity
- Transactions with those individuals, entities,
and countries that are prohibited by OFAC
requirements
6AML and OFAC Overview
- Lesson Learning Objectives
- After completing this lesson, you will be able
to - Define money laundering
- Identify your responsibilities for recognizing
and reporting suspicious money-laundering
activities - Describe CIGNA processes to assure CIGNA does not
conduct business with OFAC prohibited parties - Identify the appropriate communications process
when a customer is confirmed to be on the
Specially Designated Nationals (SDN) and Blocked
Persons List - Identify and appreciate the importance of AML and
OFAC compliance
7AML and OFAC Overview
- AML Overview
- Money laundering is a process by which money,
resulting from or related to illegal activity, is
filtered through a series of transactions that
eventually make the money appear to be obtained
from clean legal activities. - The goal of the criminal is to make the money
obtained illegally (such as through drug
trafficking, terrorism, and/or bribery) appear to
be from a legitimate source, such as an insurance
company like CIGNA. Activity of this type is
purposely designed to be extremely complex so as
to avoid detection. Therefore, identification of
money laundering tends to be very challenging.
8AML and OFAC Overview
- AML Overview, Continued
- Many countries around the world are engaged in an
intensive and concerted effort to combat money
laundering and other financial crimes. For
example, in response to mounting concern over
money laundering, the Financial Action Task Force
on Money Laundering (FATF) was established in
1989. The FATF is an inter-governmental body that
has the purpose of development and promotion of
national and international level policies, to
combat money laundering and terrorist financing.
9AML and OFAC Overview
- AML Overview, Continued
- Since its creation, the FATF has spearheaded the
effort to adopt and implement measures designed
to counter the use of the financial system by
criminals. In order to meet its objective, the
FATF published 40 Recommendations that outline
actions that countries should consider as they
continue their commitment to combat money
laundering. A review of these recommendations
provides helpful insights regarding how various
AML initiatives are approached throughout the
world.
9
10AML and OFAC Overview
- AML Overview, Continued
- Money laundering and conducting business with
terrorists is an illegal criminal activity in
almost every country. Preventing and detecting
money laundering is a world-wide priorityone in
which CIGNA must play a key role! Effective
employee awareness is a critical component of a
successful AML compliance program.
11AML and OFAC Overview
- Applicability to CIGNA
- In the past, AML requirements within the United
States primarily applied to banks and brokers
under the U.S. Bank Secrecy Act. This act was
amended after the attacks of September 11, 2001. - In October 2005, the Financial Crimes Enforcement
Network, known as FinCEN, announced that
insurance companies are required to comply with
AML regulations. FinCEN is an organization within
the U.S. Department of the Treasury (U.S.
Treasury) responsible for, among other things,
analyzing information about financial
transactions in order to combat money laundering,
terrorist financing, and other financial crimes.
12AML and OFAC Overview
- Applicability to CIGNA, Continued
- The following covered products are within the
scope of AML requirements - Permanent life insurance policies, other than
group life insurance policies - Annuity contracts, other than group annuity
contracts - Other insurance plans with cash value or
investment features - While AML risk may vary depending on the product
portfolio and geographical territory within CIGNA
businesses, it is critical that employees and
those working on behalf of CIGNA have a
heightened AML awareness and participate in the
prevention, detection, and reporting of potential
money-laundering activity.
13AML and OFAC Overview
- Red Flags
- Employee awareness and a solid understanding of
specific red flag transactions are critical
components of a successful AML compliance
program. Red flags are suspicious activities that
indicate a particular situation warrants caution,
care, and consideration. - While some AML red flags might appear to be
common sense, others require more attention and
diligence. After reviewing the list of suspicious
activities that are considered red flag
indicators for money laundering, take a moment to
identify which scenarios you may be likely to
encounter in carrying out your job, or think
about other scenarios specific to your business
that would raise an AML red flag for you.
14AML and OFAC Overview
- Red Flags, Continued
- A customer with a history of purchasing and then
canceling policies - A customer who is reluctant to provide
identifying information when purchasing a policy,
or who provides minimal or seemingly fictitious
information - A customer who shows little concern for the
investment performance of a policy, but a great
deal of concern about the early cancellation
features - A customer with a history of overpaying premiums
- A customer who conducts business under other
unusual circumstances or during irregular hours
of operation
15AML and OFAC Overview
- Red Flags, Continued
- Purchase of an insurance policy that is
inconsistent with the customers needs - Unusual payment methods, such as cash or cash
equivalents - Proposals to purchase a policy using a check
drawn from an account other than that of the
customer - Early cancellation of an insurance policy
(including cancellation during a trial period),
especially at a cost to the customer or where
payment is made by, or the refund check is
directed to, an apparently unrelated third party
16AML and OFAC Overview
- Red Flags, Continued
- Substantial overpayment of a premium and a
request that a company check be issued back to
the customer for the difference (e.g., a 10,000
check for a 1,000 premium) - Refunds requested in a currency that is different
from that used in the original premium payment - Beneficiaries outside of the country where a
policy is issued - Change of beneficiary to an apparently unrelated
third party
17AML and OFAC Overview
- Basics of CIGNAs Approach
- Because CIGNA is a global enterprise, there is
potential exposure to money laundering.
Therefore, it is important that we have solid
money-laundering detection and reporting
procedures. As an employee, you must comply with
AML regulations and CIGNAs policies regardless
of where you conduct business.
18AML and OFAC Overview
- Basics of CIGNAs Approach, Continued
- CIGNA is required to implement an effective AML
compliance program that includes - A compliance officer responsible for developing
and maintaining an effective compliance program - Policies and procedures that include standardized
reporting and internal controls - Ongoing training of employees and others working
on behalf of CIGNA to raise awareness regarding
everyones responsibilities under the program - Independent testing to monitor the programs
effectiveness - Through this training course and other current
AML-related activities, we want to enhance our
detection capabilities and streamline our
reporting processes.
19AML and OFAC Overview
- Detection of Suspicious Activity
- This training program is designed to increase
CIGNAs overall awareness of potential
money-laundering activity. In addition, it will
assist those working for, or on behalf of, CIGNA
(including brokers and agents) to increase the
chance of identifying transactions that may
appear suspicious. - In accordance with CIGNAs Know Your Customer
strategy, you must keep complete documentation of
transactions and the identities of the account
holder and/or purchaser of a policy. It is
critical to obtain evidence of the customers
identity and to know their typical activity. By
knowing your customers identity and their
typical activity, if a suspicious activity were
to occur, identification of potential money
laundering would be more easily facilitated.
20AML and OFAC Overview
- Report Potential Suspicious Activity
- Criminals rely on communication breakdowns to
safely launder their illegally obtained money.
Therefore, it is important that you know the
reporting requirements related to possible
money-laundering activity. Law enforcement
agencies expect our full cooperation in
collecting, centralizing, and evaluating the many
pieces of information that are essential in the
fight against money laundering. CIGNA is
committed to cooperating with these agencies.
21AML and OFAC Overview
- Report Potential Suspicious Activity, Continued
- Suspicious activity (red flags) must be reported
to your business unit Compliance Officer or AML
lead. - If the activity or transaction is suspected to be
potential money laundering, your business unit
Compliance Officer or AML lead notifies the
Global AML and OFAC Compliance Officer of the
suspicious transaction. He or she completes a
Suspicious Transaction Memorandum and submits the
form electronically to the AML Mailbox. - The Global AML and OFAC Compliance Officer is
responsible for reviewing the Suspicious
Transaction Memorandum and notifying the business
units Compliance Officer regarding whether to
continue processing the transaction. - The Global AML and OFAC Compliance Officer, in
consultation with the Chief Compliance, Ethics
and Privacy Officer as appropriate or necessary,
is authorized to file a Suspicious Activity
Report (SAR) to FinCEN within 30 days.
22AML and OFAC Overview
- Report Potential Suspicious Activity, Continued
- Note Insurance companies are required to file
Form 8300 (report of cash payments over 10,000)
by the 15th day after a cash transaction occurs
for all transactions of cash greater than
10,000, regardless of whether the transaction is
suspicious. However, because CIGNA prohibits cash
transactions in general, there should not be a
need to initiate a Form 8300.
23AML and OFAC Overview
AML Scenario Susan Michael, how are you? Its
been a while since weve spoken. Michael
Everythings just fine and pretty much the same
as when we last talked. Same job, same familyyou
know Susan What can I do for you
today? Michael I just realized that I overpaid
my annual premium. Could you please check to see
if a refund has been issued? Susan Certainly,
just one minute. I see you are due a refund of
40,654. It looks like you overpaid by 3,000
last year as well, but I see that you did receive
last years refund. I can begin the paperwork for
this years refund right away.
24AML and OFAC Overview
- AML Scenario, Continued
- If you were Susan, would you be concerned?
- You should be.
- Some money launderers can be long-time customers,
like Michael, with whom you have an ongoing (and
even friendly) professional relationship. - Do not just assume all money launderers will be
new customers.
25Check Your Understanding
- Remember Susans scenario? Which red flags should
she have identified? - A customer who is reluctant to provide
identifying information when purchasing coverage,
or who provides limited or potentially false
information - A customer with a history of overpaying premium
- Beneficiaries outside of the country where the
policy is issued - Large overpayment of premium where a company
check is issued back to the customer for the
difference - Make a note of all that apply. See the next page
for the correct response.
26Check Your Understanding
- Remember Susans scenario? Which red flags should
she have identified? - A customer who is reluctant to provide
identifying information when purchasing coverage,
or who provides limited or potentially false
information - A customer with a history of overpaying premium
- Beneficiaries outside of the country where the
policy is issued - Large overpayment of premium where a company
check is issued back to the customer for the
difference - Correct answer
- The overpayment and refund of premium is one way
to wash illegally obtained money, making it
appear clean because it is from a reputable
company like CIGNA. There also was a previous
refund requested. While the refund Michael
requested last year was not a significant amount
of money, multiple refunds in any monetary amount
should alert you to a potential money-laundering
red flag.
27AML and OFAC Overview
- Your Responsibility
- Now that Susan has detected a money-laundering
red flag, and using your additional AML reporting
knowledge, what would you advise she do about
this potential money-laundering activity? - Lets look at the proper reporting steps for this
situation.
28AML and OFAC Overview
- Your Responsibility, Continued
- Report suspicious activity Suspicious activity
(red flags) must be reported to your business
unit Compliance Officer or AML lead. - Complete Suspicious Transaction Memorandum If
the transaction involves potential money
laundering, your business unit Compliance Officer
or AML lead notifies the Global AML and OFAC
Compliance Officer through a Suspicious
Transaction Memorandum. - Review and notify The Global AML and OFAC
Compliance Officer is responsible for reviewing
the Suspicious Transaction Memorandum and for
notifying the business unit Compliance Officer
whether to continue processing the transaction.
29AML and OFAC Overview
- Your Responsibility, Continued
- Submit SAR The Global AML and OFAC Compliance
Officer, in consultation with the Chief
Compliance, Ethics and Privacy Officer, is
responsible for submitting a Suspicious Activity
Report (SAR), if necessary, to FinCEN within 30
days. - Do not notify the customer U.S. federal law
prohibits CIGNA from notifying a customer that a
SAR was filed. - Federal law (31 U.S.C.5318(g)(2)) provides that a
financial institution, and its directors,
officers, employees, and agents who, voluntarily
or by means of a suspicious activity report,
notify the government of suspicious transactions,
may not notify any person involved in the
transaction that the transaction has been
reported. - Complete the transaction In order to avoid
awareness of the companys suspicions, the
transaction should be completed.
30AML and OFAC Overview
- Your Responsibility, Continued
- As in all of our compliance programs at CIGNA,
business unit Compliance Officers, the Chief
Compliance, Ethics and Privacy Officer, and other
members of the Enterprise Compliance, as well as
the Ethics Help Line (1-800-472-8348), are always
available as resources for questions or concerns. - Many countries around the globe are making
concentrated efforts to combat money laundering.
You can do your part by detecting and reporting
all potential suspicious activity to your
business unit Compliance Officer or AML lead. By
doing so, CIGNA can be a key contributor to
successful international efforts to prevent
money-laundering activity.
31AML and OFAC Overview
- International AML Requirements
- We have focused here on U.S. AML requirements
however, as mentioned previously, many countries
around the world are also engaged in an intensive
and coordinated effort to combat money laundering
and other financial crimes. Below is a list of
some of the countries/political entities in which
CIGNA conducts its business and their applicable
AML requirements -
- For employees working in or with CIGNA
International, please check with your business
unit Compliance Officer or AML lead for more
information on local (non-U.S.) AML requirements.
Belgium Indonesia Spain
China New Zealand Taiwan
European Union Singapore Thailand
Hong Kong South Korea United Kingdom
32Check Your Understanding
- You should inform a customer that a Suspicious
Activity Report (SAR) has been filed alerting
FinCEN of their suspicious activity. - True
- False
- Which would you select? See the next page for
the correct response.
33Check Your Understanding
- You should inform a customer that a Suspicious
Activity Report (SAR) has been filed alerting
FinCEN of their suspicious activity. - True
- False
- Correct answer
- In accordance with U.S. federal law, you should
never inform a customer that a Suspicious
Activity Report (SAR) has been filed.
34Check Your Understanding
- If you receive an overpayment of 20,000 for a
life insurance policy and the customer requests a
refund and states that it was an oversight on
their part, you should - Immediately refund the money, as it was an
obvious mistake on the policyholders part - Contact the customer and inform him/her that the
transaction appears to be suspicious - Notify your business unit Compliance Officer or
AML lead and wait for instructions whether or not
to process the refund - Submit SAR to FinCEN
- Which would you select? See the next page for
the correct response.
35Check Your Understanding
- If you receive an overpayment of 20,000 for a
life insurance policy and the customer requests a
refund and states that it was an oversight on
their part, you should - Immediately refund the money, as it was an
obvious mistake on the policyholders part - Contact the customer and inform him/her that the
transaction appears to be suspicious - Notify your business unit Compliance Officer or
AML lead and wait for instructions whether to
process the refund - Submit SAR to FinCEN
- Correct answer
- You should notify your business unit Compliance
Officer or AML lead and wait for instructions on
whether to process the transaction.
36AML and OFAC Overview
- Introduction to OFAC
- Now that you have a better understanding of AML,
potential red flags of suspicious transactions,
and reporting obligations, lets begin our
discussion about OFAC requirements. - The U.S. Department of the Treasurys Office of
Foreign Assets Control (OFAC) maintains lists of
terrorists, terrorist organizations, drug
traffickers, diamond and weapons traders, and
even countries, with which certain U.S. parties
and their affiliates are not permitted to conduct
business. Simply put, OFAC prohibits companies
like CIGNA from conducting business with these
parties.
37AML and OFAC Overview
- Introduction to OFAC, Continued
- As you have learned, the detection of money
laundering requires detailed attention to all
transactions, and identification and reporting of
those that appear to be suspicious. So, knowledge
of OFAC also may help enhance our
money-laundering detection activities since,
given the inherently secretive nature of their
criminal activities, these parties may be more
likely to be involved in money laundering. - Lets learn more about OFAC so that we can ensure
CIGNA does not do business with the wrong
individuals and entities.
.
38AML and OFAC Overview
- Overview
- OFAC has long maintained lists of persons,
entities and countries with prohibited export and
import activity. As a result of the September 11,
2001, terrorist attacks on the United States, the
USA PATRIOT Act of 2001 (Uniting and
Strengthening America by Providing Appropriate
Tools Required to Intercept and Obstruct
Terrorism Act of 2001) expanded the scope of the
OFAC lists to include a large number of suspected
terrorists and terrorist organizations. - The most comprehensive list maintained by OFAC is
known as the Specially Designated Nationals (SDN)
and Blocked Persons List (better known as the SDN
List). Companies like CIGNA are not permitted to
conduct business with persons or entities
included on the SDN List. Additionally, OFAC
maintains a list of countries with which
companies like CIGNA cannot conduct business.
These designated countries are listed in the OFAC
Countries Sanction Program (also known as the
Blocked Countries List).
39AML and OFAC Overview
- Overview, Continued
- CIGNA and the whole insurance industry have been
called upon to aid in the prevention, detection,
and reporting of transactions with these parties.
If we identify a party that is included on the
SDN List, we are required to report the
transaction to OFAC within 10 days and, if
confirmed, block or reject the funds of that
party (e.g., insurance policies, annuities). - Both the SDN and the Blocked Countries Lists are
updated as often as daily. The responsibility
within CIGNA for checking these lists is assigned
to specific persons already identified within
each business unit. Regardless of this assignment
of responsibilities, it is important for all of
us to know the OFAC basics.
40AML and OFAC Overview
- Basics to CIGNAs Approach
- The USA PATRIOT Act mandates that insurance
companies such as CIGNA be held responsible for
preventing, detecting, and reporting potential
money laundering and financing of terrorist
activities. As a result and in addition to a
solid enterprise AML compliance program, OFAC
recommends implementing an OFAC compliance
program.
41AML and OFAC Overview
- Basics to CIGNAs Approach, Continued
- OFAC Compliance Program
- An effective OFAC compliance program includes
- A compliance officer who is responsible for
developing and maintaining an effective program - Policies and procedures that include standardized
reporting and internal controls - Ongoing training and communication of
responsibilities to employees and those working
on behalf of CIGNA - Independent testing to monitor the programs
effectiveness
42AML and OFAC Overview
- Basics to CIGNAs Approach, Continued
- OFAC Enforcement
- A strong OFAC compliance program not only helps
to avoid violations, but also can be a major
consideration in mitigating the consequences when
a violation has occurred. While OFAC imposes
strict liability for failure to comply with its
requirements, if an organization is found to have
committed an OFAC violation, its compliance
efforts could be taken into consideration during
OFACs penalty decision-making process. In past
enforcement actions, OFAC has viewed the strength
of the target companys commitment to compliance
as a major factor in assessing the appropriate
severity of penalty to be imposed.
42
43AML and OFAC Overview
- Basics to CIGNAs Approach, Continued
- CIGNA Actions
- If CIGNA discovers a U.S. Treasury-confirmed
Specially Designated National (SDN) or Blocked
Person, we must report the matter to OFAC and
wait for confirmation and further instructions
from the regulators, which could include blocking
the assets for the SDN or Blocked Person. By
September 30 of each year, CIGNA must file with
OFAC an annual report of property that has been
blocked as of June 30 of the same year.
43
44AML and OFAC Overview
Basics to CIGNAs Approach, Continued
- Who Does CIGNA Check?
- Any stakeholder with whom CIGNA does business is
checked against the SDN List. For our purposes, a
stakeholder can include, but is not limited to,
health care professionals and groups, vendors,
producers/brokers, employers, dependents,
beneficiaries, banks, employees, policyholders,
intermediaries, charitable organizations, and any
person, organization or group we issue payment
to, receive payment from, or to which we provide
services.
- How Does CIGNA Check?
- CIGNA uses software, known as i/Lytics, that
automatically compares CIGNA stakeholders to
OFACs current SDN List. - When Does CIGNA Check?
- Before payments to stakeholders are issued
- Before entering into new business
- On a routine basis for our existing stakeholder
population
45AML and OFAC Overview
- Your Responsibility
- Under the best circumstances, CIGNA would never
do business with a person, entity, or country
that appears on the SDN or Blocked Countries
Lists. However, criminals count on breakdowns in
communication and information flow to conduct
their illegal activity and this, unfortunately,
could happen to us. - CIGNA has a robust communication process to try
to reduce our risk of violating OFAC
requirements. In the event we do identify a
potential SDN, this communication process is as
follows on the next pages.
46AML and OFAC Overview
- Your Responsibility, Continued
- Step 1
- Immediately notify your business units
Compliance Officer or OFAC lead. (Some business
units have designated OFAC leads to oversee OFAC
compliance initiatives.) - Step 2
- The business units Compliance Officer or OFAC
lead reviews the potential hit and notifies the
Global AML and OFAC Compliance Officer. - Step 3
- The Global AML and OFAC Compliance Officer, in
consultation with the Chief Compliance, Ethics
and Privacy Officer and with cooperation from the
business unit, notifies OFAC. - Step 4
- Assets of the SDN are blocked by CIGNA if OFAC
confirms the SDN.
47AML and OFAC Overview
- Your Responsibility, Continued
- Step 5
- The Global AML and OFAC Compliance Officer
notifies all business unit Compliance Officers
and OFAC leads of the confirmed SDN. The business
units Compliance Officer or OFAC lead checks
their respective information systems for the
confirmed SDN and notifies the Global AML and
OFAC Compliance Officer if the SDN is identified
as having active assets maintained by CIGNA
within their business unit. - Step 6
- The Global AML and OFAC Compliance Officer, in
consultation with the Chief Compliance, Ethics
and Privacy Officer, must file a Blocked Asset
report with OFAC within 10 days of blocking
assets.
47
48AML and OFAC Overview
- Your Responsibility, Continued
- Step 7
- While CIGNA is permitted to inform the SDN of
U.S. Treasury-confirmed SDN status, CIGNAs
policy requires all written notifications to an
SDN regarding this status be approved by the
Global AML and OFAC Compliance Officer, with
additional guidance, if needed, from OFAC.
48
49AML and OFAC Overview
- OFAC Scenario
- Lets look at an example of what can happen when
the basics of OFAC compliance are not in place. - AZ Insurance has decided to outsource a portion
of their claims processing work to ClaimIT, Inc.,
a company that specializes in claim processing
services. Margo, manager of AZ Insurance vendor
contracting, completed the required due
diligence, including an OFAC SDN check, before
the final vendor contract was signed with
ClaimIT, Inc. - The OFAC check did not identify ClaimIT, or any
of its principals, as an SDN.
50AML and OFAC Overview
- OFAC Scenario, Continued
- Everything seemed to go smoothly with this vendor
relationship for the next 2 years until OFAC
contacted George, Chief Compliance Officer of AZ
Insurance. OFAC informed George that ClaimIT,
Inc. is an identified SDN. George was further
informed that his company, AZ Insurance, was now
being investigated by OFAC regulators since they
have been conducting business with the SDN
(ClaimIT, Inc.). - George immediately contacted Margo in vendor
contracting to see how this could have happened.
The impacts to AZ Insurance are significant,
starting with the possibility of unfavorable
coverage by the media and publication of the
investigation of a potential violation by AZ
Insurance on OFACs website. - What do you think AZ Insurance should have done
to prevent this OFAC violation?
51AML and OFAC Overview
- OFAC Scenario, Continued
- With the right compliance program basics in
place, this scenario is preventable. AZ Insurance
needed to have a process in place to conduct
ongoing, routine OFAC checks of existing
stakeholdersin this case, its vendors. Remember,
the U.S. Treasury continually updates the SDN
List, sometimes as frequently as daily, but
generally every 3 to 5 days. This means that in
addition to initial OFAC checks before engaging
in new business, routine, periodic OFAC checks
are needed to identify newly added terrorists,
terrorist organizations, and drug traffickers. - We would not want this to happen at CIGNA, which
is why initial and ongoing OFAC
checks/validations are so important to the
effectiveness of our OFAC compliance program.
These OFAC checks help prevent an event, similar
to the AZ Insurance scenario, from occurring here
at CIGNA.
52Check Your Understanding
- After we receive validation from OFAC that our
suspected SDN is confirmed, CIGNA is permitted to
inform a customer that OFAC requires that we
block their accounts. - True
- False
- Which would you select? See the next page for
the correct response.
53Check Your Understanding
- After we receive validation from OFAC that our
suspected SDN is confirmed, CIGNA is permitted to
inform a customer that OFAC requires that we
block their accounts. - True
- False
- Correct answer
- CIGNA is permitted to inform a customer that
their accounts have been blocked as a result of
the U.S. Treasurys instructions through OFAC.
This communication must be coordinated, however,
by the business unit Compliance Officer Global
AML and OFAC Compliance Officer Chief
Compliance, Ethics, and Privacy Officer and if
necessary, OFAC.
54Check Your Understanding
- Ongoing OFAC SDN List checks are not necessary
for existing clients and customers because OFAC
regulations require that we must perform this
check only before entering into new business. - True
- False
- Which would you select? See the next page for
the correct response.
55Check Your Understanding
- Ongoing OFAC SDN List checks are not necessary
for existing clients and customers because OFAC
regulations require that we must perform this
check only before entering into new business. - True
- False
- Correct answer
- While it is important to complete an OFAC check
before entering into a new business arrangement,
it is equally important to conduct ongoing OFAC
checks because the SDN List data is updated as
frequently as daily.
56AML and OFAC Compliance
- Lesson Learning Objectives
- After completing this lesson, you will be able
to - Identify and appreciate the importance of AML and
OFAC compliance - Identify the actions required by CIGNA to comply
with regulations - Identify important contacts for compliance
information and assistance
57AML and OFAC Compliance
- Importance of AML and OFAC Compliance
- CIGNA could experience damage to its
reputationnot to mention heavy financial
penaltiesif our AML or OFAC compliance programs
are not effective. Companies that violate AML and
OFAC regulations have had a difficult time
recovering from the impact on shareholder value
and damage to reputation. - AML Penalties
- Fines may be twice the amount of the transaction,
up to 1 million. - Property involved in the transaction also may be
seized and forfeited. - Employees can be fined individually and sentenced
to up to 20 years of imprisonment for knowing or
being willfully blind to the fact that a
transaction involves illegal funds.
58AML and OFAC Compliance
Importance of AML and OFAC Compliance, Continued
- AML Case 1
- After a 3-year investigation, American Express
Co. paid 65 million in 2007 to resolve
allegations that one of its subsidiaries had
violated the U.S. governments anti-money
laundering laws. Investigators believe some
American Express accounts were used to launder
more than 55 million of drug proceeds through
unregulated transfers of U.S. and South American
currency.
- AML Case 2
- In February 2003, a major narcotics trafficking
investigation revealed that a network of
insurance brokers in the U.S., soliciting clients
in South America, deposited drug proceeds into
investment accounts on behalf of narcotics
traffickers. The investigation resulted in the
seizure of approximately 9.5 million from a
number of parties.
59AML and OFAC Compliance
- Importance of AML and OFAC Compliance, Continued
- OFAC Penalties
- The maximum civil and criminal penalties for OFAC
violations recently increased. Civil fines now
include up to 250,000 or twice the value of the
transaction at issue, whichever is greater even
if the person had no knowledge of the violation. - Willful violations of OFAC regulations could
trigger criminal fines as high as 1 million and
imprisonment up to 20 years.
59
60AML and OFAC Compliance
- Importance of AML and OFAC Compliance, Continued
- OFAC Case 1
- In January 2009, Lloyds TSB Bank agreed to
forfeit 350 million to resolve its liability for
violating OFAC sanctions. - OFAC Case 2
- In November 2007, Chevron Corporation paid 2
million to OFAC as part of a 30 million
multi-agency settlement of alleged OFAC
violations. Although Chevron took certain steps
designed to prevent its dealing with OFAC
prohibited parties, OFAC alleged that such
procedures proved inadequate. In addition,
Chevron did not voluntarily disclose this matter
to OFAC.
61AML and OFAC Compliance
- CIGNA Policies
- In addition, CIGNAs policies state that
employees who are knowingly involved, or are
aware of the involvement of others, in potential
AML or OFAC violations are subject to
disciplinary action up to and including
termination of employment. CIGNA also may report
the incident to the proper legal authorities. - Why should you comply? By now, the answer should
be clear - With our reputation and integrity serving as the
cornerstone of the companys long-term viability
and success, it is very important that we ensure
compliance with AML and OFAC regulations. More
personally, you should comply to ensure that your
professional role at CIGNA remains in good
standing.
62AML and OFAC Compliance
- Potentially Costly ErrorsLessons Learned
- There are a number of common mistakes companies
make in regard to AML and OFAC compliance.
Recognizing the past mistakes of other
businesses, consider these examples (on the next
page) of common errors that CIGNA should avoid.
63AML and OFAC Compliance
- Potentially Costly ErrorsLessons Learned,
Continued - AML Errors
- Informing the party involved that a Suspicious
Activity Report (SAR) was filed, which should
never be done - Communication breakdowns, such as identifying an
unusual transaction but not bringing this
transaction to the attention of your business
unit Compliance Officer or AML lead - Lack of centralized reporting, resulting in
executive leadership being unaware of multiple
business units filing Suspicious Transaction
Memorandums on the same party
64AML and OFAC Compliance
- Potentially Costly ErrorsLessons Learned,
Continued - OFAC Errors
- Not performing periodic, ongoing SDN List checks
in addition to the initial new business OFAC
check - Relying on other third parties to perform OFAC
checks. Note This could expose us to penalties
as it may be perceived that we are involved with
the illegal transaction (which is the reason why
CIGNA performs its own OFAC checks). - Payments to Cuban nationals living in another
country - Business accounts with offices in sanctioned
countries - Accidental release of wire transfers that should
have been blocked - Not retaining federal reports properly. While the
regulation requires record retention of five
years, we must follow CIGNAs Record Retention
Schedule that requires permanent retention for
federal reporting (CR-CA-1).
64
65AML and OFAC Compliance
- Your Responsibilities
- What you can do
- Know your business unit Compliance Officer.
- Read CIGNAs AML and OFAC Policies.
- Frequently visit the AML and OFAC web pages on
the Enterprise Compliance intranet site for
updates. - Identify, share, and discuss AML red flags
specific to your business unit. - Always Know Your Customer and keep complete
documentation of transactions and the identities
of the policy or account holder and/or purchaser
of plans. - Understand the AML and OFAC reporting
requirements should you identify suspicious
activity or an SDN.
66Check Your Understanding
- In order to comply with AML and OFAC regulations,
CIGNA must - Implement and maintain policies and procedures
that include standardized reporting and internal
controls - Establish and maintain ongoing training of
employees and others working on behalf of CIGNA
to raise awareness regarding everyones
responsibilities under the program - Operate a monitoring plan to ensure program
effectiveness - Designate a Compliance Officer responsible for
developing and maintaining an effective
compliance program - Make a note of all that apply. See the next page
for the correct response.
67Check Your Understanding
- In order to comply with AML and OFAC regulations,
CIGNA must - Implement and maintain policies and procedures
that include standardized reporting and internal
controls - Establish and maintain ongoing training of
employees and others working on behalf of CIGNA
to raise awareness regarding everyones
responsibilities under the program - Operate a monitoring plan to ensure program
effectiveness - Designate a Compliance Officer responsible for
developing and maintaining an effective
compliance program - Correct answer
- CIGNA must perform all of these tasks to comply
with AML and OFAC regulations.
68Summary
- Important Contacts for Information and Assistance
- Compliance with all laws and regulations
applicable to CIGNAs business is important.
However, given the nature of the post-9/11 world
in which we now conduct our global operations,
AML and OFAC compliance have a particularly high
level of visibility with regulators and the
public.
69Summary
- Important Contacts for Information and
Assistance, Continued - You should escalate AML and OFAC issues to your
designated business units Compliance Officer or
AML and OFAC lead. However, CIGNA has several
other resources and tools for you to obtain
clarification, information, and assistance with
AML or OFAC issues and questions. These include
AML and OFAC Policy Enterprise Compliance Chief Compliance, Ethics and Privacy Officer Georgia Dodds Foley, Esq.1-(215)-761-2029
Global AML and OFAC Compliance OfficerLuis Eduardo Henriquez1-(215)-761-1711 AML web page AML mailbox AMLCompliance_at_CIGNA.com
OFAC Lead Luis Henriquez1-(215)-761-1711 OFAC web page OFAC mailbox OFACCompliance2_at_CIGNA.com
Ethics Help Line1-800-472-8348 Printable contact list
70Conclusion
- Summary
- This concludes the Anti-Money Laundering and
Office of Foreign Assets Control course. - You should now be able to
- Identify and appreciate the importance of AML and
OFAC compliance - List common activities money-laundering criminals
use to carry out their illegal schemes - Use effective techniques to prevent, detect, and
report potential money laundering - Identify the appropriate contact for business
unit-specific AML and OFAC guidance - Access additional AML and OFAC resources,
information, and assistance
71Annual Affirmation Statement
- As an employee or other individual working for or
on behalf of CIGNA, its subsidiaries or
affiliated companies, I am responsible for
knowing, understanding and complying with CIGNA's
Anti-Money Laundering ("AML") and Office of
Foreign Assets Control ("OFAC") Policies. More
specifically - I acknowledge and affirm that I have completed
CIGNA's AML/OFAC training module, and that I will
comply with the requirements outlined in the
module. - I acknowledge and affirm my awareness of the
availability of information related to AML/OFAC
on the CIGNA Central Website. In order to ensure
my familiarity with this resource, I agree to
review and maintain my awareness of policies,
procedures, guidelines, and any other pertinent
AML/OFAC information on this site, as well as
participate in additional training on these
topics, required by CIGNA. - I acknowledge and affirm my commitment that in
the event I have any questions or concerns
regarding AML/OFAC requirements, or if I become
aware of a potential incident or violation, to
ask for help and/or report a concern using the
contacts outlined for me in the guidelines and
training. - I acknowledge and affirm my understanding that
violating or disregarding AML/OFAC requirements
may result in disciplinary action up to and
including termination. - Call the Ethics Help Line, 1.800.472.8348, if you
would like to contact the Ethics Office now.
72Wrap Up
- In order to get credit for taking the Anti-Money
Laundering Office of Foreign Assets Control
Training course, you must provide the following
information to EthicsCompliance_at_cigna.com - Name
- Email Address
- Course Name
- Date you completed this training
- Company Name
- Please make sure the subject line of your email
is - CIGNA.com AML and OFAC training.
- Note By submitting this email you agree to abide
by requirements contained in the affirmation
statement on the previous screen. - Thank you.