Title: CSI COMPLIANCE AWARENESS TRAINING
1CSI COMPLIANCE AWARENESS TRAINING
Confidential Sample Attachment For Reference Only
July 2004
This is confidential proprietary and trade secret
information of American Express Travel Related
Services Company, Inc.
2Objectives of todays session
To raise your understanding of
- How the card merchant business could be used
- The obligations on American Express and you
personally
- The red flags for the business
3Question
- What is Money Laundering?
4Money Laundering is.
- The process by which the proceeds of criminal
activity are moved through the financial system
in order to hide all traces of their criminal
origin. - Definition from American Express General
Management Policy 23 July 2002
5Question
- How much money do you think is laundered each
year worldwide?
6The United Nations Office of Drug Control and
Crime Prevention estimate
- World-wide more than 500 billion is laundered
annually.
7Question
- What crimes do you think are covered by money
laundering laws?
8Crimes covered by Money Laundering laws include..
9Money Laundering and Terrorist Financing
- Terrorist financing shares most of the
fundamental attributes of money laundering (e.g.
fundraising funds transfer) but the primary
motivation for terrorism is not financial.
- The source of the funds may be legal but the
objective is criminal.
10The three stages of the Money Laundering process
- Placement
- The physical placement of cash into the financial
system.
- Layering
- Creating complex layers of financial transactions
in order to hide the true source.
- Integration
- Putting the laundered funds back into the economy
in such a way that they re-enter the financial
system as legitimate funds.
11A Typical Money Laundering Cycle
12Anti Money Laundering Laws and Regulations
- Internationally, money laundering legislation has
been enacted and is in place.
- Since events of September 11 2001, money
laundering has an increased focus.
- Evolving legislation continues to place
additional regulatory and legal requirements upon
us.
13USA PATRIOT ACT
USA Patriot Act
- This is comprehensive U.S Anti-Terrorism
Legislation.
- For the first time, Operators of Credit Card
Systems are included.
- American Express is applying similar standards of
the USA Patriot Act to the proprietary business.
- We are likely to see the expansion of AML Laws to
meet or exceed the requirements of the USA
Patriot Act.
14Anti money Laundering Laws and Regulations
- Financial Institutions are required by law to
establish an anti-money laundering program that
includes, at a minimum
- The development of internal policies, procedures
and controls, including a Customer Identification
Program
- The designation of a Compliance Officer
- An ongoing employee training program
- An independent audit function to test programs
15Importance of compliance with the laws and
regulations
- To guard against the possibility of our products
being used for money laundering purposes.
- To guard ourselves and the business against the
possibility of legal or regulatory action
including fines and/or imprisonment.
16What the Law Requires
- Report Suspicious Transactions
17What the Law Requires
- Assist anyone you know or suspect of money
laundering
- Tip Off anyone who is under suspicion of money
laundering
18Where is the Risk for Credit Card Operators?
- The primary risk lies within the movement of
money.
- The fundamental purpose of a credit card
- system is to effect payment from one person
- (The Cardmember) to another (The
- Merchant).
In other words
our job is to move money.
19Reputational Risk Why is it so important to
protect our business?
- Do you know the value of the Brand?
- Amex ranked 15th in the top 100 Brands
- Estimated value - 16.8bn
- Source Business Week/Interbrand Annual rating
20Where is the Risk for the Card Business?
- Do we really know our Customers?
- Do we really know our
- Merchants?
21What do we in CSI need to do?
- The identity of all our
- cardmembers and
- merchants must be verified (as appropriate)
- at the time of entering into a business
relationship, i.e. when the account is opened.
22What do we in CSI need to do?
- Monitor/Report Suspicious Transactions
- Robust monitoring programs must be in place to
identify suspicious transactions. Examples
Transaction Monitoring, Credit Balance Refund and
Reporting, Limit Cash Payments etc.
- Procedures must be followed. Report suspicions
to your Market Compliance Officer or CSI
Compliance Officer.
If in doubt report it!
23Some examples of how Amex could be used to
facilitate Money Laundering
- Buying goods on the Card, paying the Card in cash
then returning goods to the Merchant for a
refund. This creates a credit balance on the Card
Account for which the C/M could request a refund.
24Examples of how a Merchant account could be used
to facilitate Money Laundering
- Merchant submitting rocs through another Merchant
account i.e. a charge incurred at one Merchant
but submitted through another.
Do we really know where charges are coming from?
25Layering
26Integration
Do we really know who runs the business?
27How a Card or Merchant account could be used to
facilitate Terrorist Financing
- A customer may request a donation to be made to a
charitable organisation. Do we really know the
true identity of the organisation?
- Purchase of small goods with high
- intrinsic value can be used to
- transfer wealth e.g. gold bullion
- melted down and disguised as
- everyday objects.
28Red Flags for the CSI Business
- Reluctance to provide requested documentation at
account opening.
- Identification documents that cannot be readily
verified.
- Out of Pattern Account Activity transaction
inconsistent with customer or industry type.
- Transactions that are financially illogical.
29Red Flags for the CSI Business
- High concentration of charges made by one
Cardmember at one Merchant.
- High volume of disputes and chargebacks.
30You should now know..
- The money laundering process.
- How the Card GES Business could be used.
- The obligations on American Express and you
personally.
- The red flags for the business.
Make sure you are alert to the red flags
31Anti Money Laundering Key Contacts
- Market AML Compliance Officer
- Vacant Regional AML Compliance Officer
- Thomas George CSI Compliance Manager J/APA
- (612) 9271 8825