Money laundering. White Collar Crime and Serious Fraud Conference The New Zealand Governance Centre 2 July Louis de Koker Deakin University

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1 Money laundering White Collar Crime and Serious Fraud Conference The New Zealand Governance Centre 2 July 2010 Louis de Koker Deakin University

2 Outline Money laundering The concept and purpose The FATF An informal, non-transparent, nonrepresentative body with punch The FATF Recommendations and corporate compliance responses

3 MONEY LAUNDERING THE CONCEPT 3

4 Money laundering General definition: any act that obscures the illicit nature or the existence, location or application of proceeds of crime But it is not that simple Countries criminalised specific acts within a flexible international framework

5 International framework The money laundering offence Vienna Convention (1988); Palermo Convention (2000); UN Convention Against Corruption (2003); FATF Rec 1 Broad framework allowing countries to choose direction on elements of the offences such as: Parties Guilt Range of predicate offences Criminal s objective / intention

6 International framework (cont) Consequences: What constitutes money laundering in one country may not do so in another The actual offences may bear little relation to what is generally understood as money laundering

7 Why was action taken against money laundering? History Concern about organised crime and drug trafficking Two key ideas: Illicit funds are dangerous Illicit funds present a law enforcement opportunity

8 FATF 8

9 The FATF An inter-governmental body whose purpose is the development and promotion of policies, both at national and international levels, to combat money laundering and terrorist financing AML/CFT standard-setting: 49 Recommendations Endorsed by UN, G20 and more than 180 countries

10 Exclusivity and informality FATF is exclusive, non-transparent and informal 35 members 33 jurisdictions and 2 regional organizations Membership is deliberately restricted New members (Russia and RSA (2004); China (2007); Korea (2009); India (?) (became observer in 2006) No formal written constitution Closed meetings

11 Non-members? FATF-style Regional Bodies (FSRBs) Other observer bodies (World Bank, IMF etc) Indirect input Business community? Consultative forum / Electronic Advisory Group Indirect and limited channels

12 Input by members Members need to be well-resourced to carry their views within FATF Input by country representatives are not necessarily bound by a domestic policy framework Accountability? Often displaying members interests: Low risk / Risk-Based Approach (RBA) Despite these challenges FATF has been very influential

13 FATF standards Set of soft (non-binding) regulatory rules Started life as recommendations to be adopted voluntarily by FATF members Peer group mutual evaluation But for AML/CFT to work, non-members had to adopt measures too

14 Recommendation 21 Financial institutions should give special attention to business relationships and transactions with persons, including companies and financial institutions, from countries which do not or insufficiently apply the FATF Recommendations Blacklisting process Current Cooperation Review Group process Backed by G20

15 FATF AND CORPORATE COMPLIANCE RESPONSES 15

16 Management of compliance risk Compliance risk is defined by the Basel Committee (2005) as [T]he risk of legal or regulatory sanctions, material financial loss, or loss to reputation a bank may suffer as a result of its failure to comply with laws, regulations, rules, related self-regulatory organisation standards, and codes of conduct applicable to its banking activities

17 Range of compliance responses Non- Compliance Liberal Compliance Conservative- Compliance Over- Compliance Balanced compliance

18 Factors impacting on a corporate compliance response The hard law rule Applicable soft law Corporate compliance response The company s own framework and reality Business management principles 18

19 Impact of AML/CFT Impact on crime difficult to determine Some positive impact Facilitated a number of prosecutions Increased penalties Also some negative impact AML/CFT as a driver of identity crimes and organised crime Jurisdictional shifts New Zealand?

20 Impact of AML/CFT (cont) Impact on corporate practices Corporate compliance Business ethics - undesirable clients and business

21 Conclusion Louis de Koker

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