Meridian Trade Bank MAJOR ENHANCEMENTS IN AML/CTF COMPLIANCE AND OTHER RELEVANT DEVELOPMENTS FOR 2016

Similar documents
Bank M2M Europe MAJOR ENHANCEMENTS IN AML/CTF COMPLIANCE AND OTHER RELEVANT DEVELOPMENTS

Norvik Banka MAJOR ENHANCEMENTS IN AML/CTF COMPLIANCE AND OTHER RELEVANT DEVELOPMENTS

JSC Regionala investiciju banka MAJOR ENHANCEMENTS IN AML/CTF COMPLIANCE AND OTHER RELEVANT DEVELOPMENTS

DNB banka AS MAJOR ENHANCEMENTS IN AML/CTF COMPLIANCE AND OTHER RELEVANT DEVELOPMENTS

Swedbank AS MAJOR ENHANCEMENTS IN AML/CTF COMPLIANCE AND OTHER RELEVANT DEVELOPMENTS

Extract from Instruction for procedures against Money Laundering and Terrorist Financing for the SEB Group

Non-Banking Financial Institution (NBFI) Third Party Payment Processor (TPPP) AMLQuestionnaire

KYX - Identifying risks in Banking Relationships

AML/CFT Best Practices For Vietnam. accuity.com

2. Review Criteria against Enhanced Independent Review

AML and Tax Compliance in the Asia-Pacific Region: Investing in KYC Systems, Data, and Processes

GROUP OF COMPANIES «TRAILTRANS LOGISTICS» represents: E-commerce B2B-platform RuNiTrade

Australian Remittance and Currency Providers Association Ltd. ACN: ABN: PO Box 1757 Lane Cove NSW 2066

ANTI-MONEY LAUNDERING SERVICES EXPERTS WITH IMPACT

IMAS Guidance to Assessing Money Laundering and Financing of Terrorism (ML/FT) Risk

IIB - INTERNATIONAL BANKING ANTI-MONEY LAUNDERING SEMINAR

Financial regulatory compliance.

Steve Ingram. AML - The Expectations, The Examinations and the Regulatory Requirements

Juan Carlos Ramirez, VP, AML/ATF & Sanctions Audit, Scotiabank. Compliance and Risk Management

Defining and promoting excellence in the provision of mobile money services

ANTI-MONEY LAUNDERING & SANCTIONS EXPERTS WITH IMPACT

RDC Risk Management in 2013

Customer Due Diligence A Risk Based Approach. Dr Tony Wicks Director of AML Solutions NICE Actimize

RDC Risk Management in 2015

Anti Money Laundering Compliance Solutions. Copyright 2016 Allsec Technologies. All rights reserved.

AML & KYC. The Crime Prevention Compliance Course

Information paper. Transaction filtering, systems testing and annual certification: driving business benefits

Combining Governance, Risk and Compliance Provides Security.

Behind the Four Pillars: Is Your AML House Really Rock Solid?

Risk Based Approach and Enterprise Wide Risk Assessment Edwin Somers / Inneke Geyskens-Borgions 26 September 2017

Guidance for the AML/CFT Statistical return Year ended 31 December 2017 Regulated entities

FAST, EFFICIENT AND RELIABLE FREIGHT FORWARDING SERVICES SINCE 1993

Effective AML Compliance

Declaration of the international seminar

AML & KYC. The Crime Prevention Compliance Course. This course can also be presented in-house for your company or via live on-line webinar

AML model risk management and validation

Digital Passport. Transforming SME banking through customer-permissioned data exchange

JOB TITLE: VP, BSA Officer REPORTS TO: SVP, Deposit Operations and Regulatory Compliance/CRA Officer DEPARTMENT: Compliance

IDC MarketScape: Worldwide Anti Money Laundering Solutions in Financial Services 2018 Vendor Assessment

Financial Services Compliance

WBL Developments in Latvia March 21, Lubliana

FINANCIAL INTELLIGENCE ANALYSIS UNIT. Risk Procedures. Ms Katia Satariano Senior Compliance Officer

OCEANWIDE MARINE SUITE Comprehensive and Collaborative Processing Solution for the Marine Industry

Global Identity Resolution & Verification

Managing Risk Governance and

What s Going On With Customer Management? Marcia Corner, IBS Product Management April 19, 2017

Internal Compliance Program (ICP)

Payments the new player domain. How EY can assist

RIMI BALTIC STRENGTHENING OUR POSITION FOR PROFITABLE LONG TERM GROWTH ICA GRUPPEN CAPITAL MARKETS DAY, 14 DECEMBER 2017 EDGAR SESEMANN, CEO

Effective Risk Management With AML Risk Assessment. January 25, 2017

Independent Reasonable Assurance Report. To the Board of Directors and Management of Asahi Refining USA, Inc.

For distribution to relevant parties within your firm. Contact: Larry Boyce Vice-President, Sales Compliance (416)

JERSEY REGULATORY AWARENESS PROGRAMME In association with COMSURE

UOPEN TM AUTOMATED DEPOSIT ACCOUNT OPENING AND LOAN APPLICATION

CBI REPORT ON AML COMPLIANCE IN THE CREDIT UNION SECTOR SAMPLE ACTION PLAN. Governance

ACAMS Utilizing Internal Audits to Pinpoint Gaps in Your Institution s AML Program

Broadscope provides a superior fund administration alternative for the Private Equity industry.

Banking & Capital Markets - Open Banking Executive Briefing Center, Brussels, February 8-9 th 2018

The Roles and Responsibilities of the Money Laundering Reporting Officer (MLRO)

OVERVIEW OF ACTIVITY AND FINANCE FOR FY 2015/16

Conference Program Pre-conference Training Tuesday, August 1, Main Conference Day One Wednesday, August 2, 2017

Your Hosts. Abi Smith Webinar Host, Encompass Corporation. Alex Ford RegTech & CDD Operations, Encompass Corporation.

Guidelines Guidelines for the assessment of knowledge and competence

Anti-Money Laundering and Sanctions Compliance. You Can t Afford the Risks

Better Compliance. Relevant. Timely. Accurate.

Customer Due Diligence Risk-Based Approach. Dan Soto CCO Ally Financial

AGENDA. Overview. 8 Elements of an Effective Compliance Framework. Conclusion-What we did right in H2017? Moving Ahead thru Compliance

ACAMS Update. John J. Byrne, Esq., CAMS Executive Vice President February 5, 2016

Content. 1. Emission reductions in the Swedbank Group Results Emissions per scope Important changes 5

Prerequisite for Financial Management - Services Pathway: Business Essentials

DEFENSE IN DEPTH Collaboration Among Risk Management, Internal Audit and Compliance SEPTEMBER 9, 2013

THE LATVIAN SUSTAINABLE BUILDING COUNCIL AND BUILDING GREEN IN LATVIA. Zane Sauka Managing director Latvian Sustainable Building Council

CONSULTATION DOCUMENT AML/CFT SUPERVISORY STRATEGY

Customer Due Diligence (CDD) Market Survey. Survey Results. Copyright 2016 NICE Actimize. All rights reserved.

REUTERS/Carlos Baria. Thomson Reuters World-Check One Finding Hidden Risks

Lietuvos Paštas Corporate Group. Lithuanian Post (LP) ACTIVITY OWERVIEW

SIA Deloitte Audits Latvia Transparency Report

I WANT A SUSTAINABLE PARTNERSHIP WITH COMMON GOALS AND A MAXIMUM OF TRANSPARENCY

Commerzbank s Sustainability Programme

Global Compliance Plus (GCoP)

ANTI-MONEY LAUNDERING, SANCTIONS & ANTICORRUPTION SOLUTIONS EXPERTS WITH IMPACT

Harnessing Innovation for Inclusive Finance

Learn Why Real Time Posting In Your Retail Network Is Key to Cash Payer Adoption

POSEIDON AML SOLUTION. Anti-Money Laundering and Counter- Terrorist Financing System with Anti-Fraud Functionality

BPP Professional Education. REGULATORY AWARENESS One programme, two solutions. Developing Professionals. Essential Business Skills

Products. Commercial Banking Attract, Retain and Grow Profitable Business Relationships in a Highly Competitive Environment

SIA Deloitte Audits Latvia Transparency Report April 2017

DFS NY A strategic approach to dealing with the final rule. August 2017

Remote e-identification and e-signatures Trusting someone you have never seen

RTE Related Findings from the DIGINNO Study of G2B Cross-Border Services and Business Needs

Thomson Reuters World-Check One Finding Hidden Risks

RSM ANTI-MONEY LAUNDERING SURVEY BEST PRACTICES AND BENCHMARKING FOR YOUR BSA/AML PROGRAM

in brief The Power of Women s Market Data: A How-to Guide 1. IDENTIFY

COPYRIGHT NOTICE USE OF WEBEX LOGIN/PASSWORD FOR ACAMS WEB SEMINARS

We build the success of our clients. Business Innovation Now

How to discover ways to sustainable anti-money laundering operations*

TRAINING PROGRAMME

Electricity import/export in Baltic electricity market. 25. September Jaanus Arukaevu

Risk and Compliance Services

AB LINAS AGRO GROUP- VERTICALLY INTEGRATED AGRICULTURAL AND FOOD INDUSTRY GROUP. Tomas Tumėnas, Finance Director

Transcription:

Meridian Trade Bank MAJOR ENHANCEMENTS IN AML/CTF COMPLIANCE AND OTHER RELEVANT DEVELOPMENTS FOR 2016

The long-term goal of AS Meridian Trade Bank is to remain a universal bank operating in the Baltic region, whose growth is based on advanced technological platforms combined with individual approach to customers. Risk managment Enhanced control Strengthened by investment Compliance staff

Main focus and progress Independent testing US consultants independent testing Main recommendations have been implemented: risk assessment compliance performance AML monitoring and Sanctions screening systems Regular AML systems and IT independent testing Reshaping business Diversification through Latvian resident clients switching from international clients to resident clients De-risking of the Client base Reduction of dependency on the transactional business line Enhancing control Implemented new IT systems from FICO Tonbeller Siron RAS, KYC and AML tools and Accuity for Sanctions screening and PEP Strengthened management and supervisory function Increased the number of AML employees by 50% Regular training program to all staff Quality control

FACTSHEET PROFILE OF THE BANK Brief description of the bank AS Meridian Trade Bank has been successfully operating for over 20 years and has a well-developed branch network in Latvia and Lithuania. Head office is located in Riga, the Bank has a branch in Liepaja, 15 service centres in Riga and other 9 in Latvia s most economically active cities. The Bank has another branch and 2 service centres in Lithuania. The number of customers of MTB exceeds 39 thousand. MTB staff in Latvia and Lithuania counts more than 260 people. Strong liquidity ratio at 78 % (end of 2016). MTB is owned by five local private individuals, who acquired the Bank via management buy-out in 2014. Major business lines The bank offers a wide range of services, which are typical for a universal bank operating in the Baltic region, to small and medium sized corporate customers and natural persons: Deposit products; Lending, leasing; Payment cards; Brokerage services; E-commerce. MTB aims at a stable and rational growth through low-risk operations based on further improvement of services provided to customers, who are based in the Baltic region.

KEY AML/CTF ACTIVITIES On-going work on strong corporate governance and AML/CFT programmes Developed and implemented ML risk management strategy Revised Client risk management process Implemented a new Client risk scoring system Updated DD and EDD procedures Implementation of AML/CFT monitoring and Client risk scoring systems from FICO Tonbeller SIRON Implementation of new Sanctions screening system by Accuity Implementation of advanced AML training system Significantly increased the number and quality/ experience of AML/CFT employees RESHAPING OF THE BUSINESS MODEL Reduction of dependency of transactional business line Re-shaped business model, approved new strategy, re-examined clients file (implementing de-risking) and strengthened control systems Implementation of risk-mitigating measures reduce transaction volume Work on diversification of business lines according to the re-shaped business model Further development of corporate and retail services for the Baltic market In 2016 net interest income increased by 7% and commission income by 37% In 2016 percentage of resident clients reached 91% Diversification through Latvian and Lithuanian resident clients Switching from international clients to resident clients. The main customer groups of the Bank will be: Natural persons (LV and LT residents and EU residents) Small and medium sized Baltic region companies, including those involved in international trade, export-import cargo transportation, trade and transit services in the Baltic region or having their business counterparts or investments in the Baltic region CORPORATE GOVERNANCE Development of new policies and procedures Consistent establishment of new and wider-reaching policies and procedures designed to strengthen overall governance Significantly re-designed Client risk scoring system and enhanced procedure for measuring the client s risk Re-building the Internal Control System in compliance with new regulatory requirements and the independent US audit recommendations

Implementing high business ethics standards throughout the Bank, assessing compliance performance Established Quality Assurance programmes Increased transparency Improved quality of information collected from payments. Financial sanctions (UN, EU, OFAC) compliance policy Implemented an Internal Control System, which ensures compliance with UN, EU, OFAC sanctions Sanctions screening tool provided by Accuity was implemented to strengthen the capacity of the bank to mitigate sanctions risk Designated Sanctions officer Since December 2016. Strengthened management and supervisory function Increased awareness 8 new AML compliance employees Wider reporting, AML risk assessment system INTERNAL CONTROLS Structural changes Strong AML management team structure was created AML/CTF risk control functions are independent from the business functions Changes in compliance costs, staff AML related expenses increased by 400 000 EUR comparing to 2015 Increased the number of AML employees by 50% Changes in KYC/DD/EDD/PEP/ Financial Sanctions monitoring New ML risk assessment methodology New automated Client risk scoring system New AML monitoring system New Sanctions screening system De-risking of the Client base TRAINING OF THE STAFF Focused training provided in 2016 Training program covers all AML related areas For AML staff specific external trainings are ensured External training International AML trainings, seminars, conferences for AML staff 2 CAMS certified specialists On-going testing and certification The Bank will continue providing initial training for all new employees and intends to tailor initial training to meet specific needs Regular training program to all staff

Specific external training for senior AML/CTF staff and management International training for senior responsible AML/CTF officers INDEPENDENT TESTING US consultants independent testing outcome The Bank was examined in order to compare its practices to regulatory requirements set forth in the US Bank Secrecy Act/AML/OFAC regulations. The testing was performed by US consultant Exiger LLC and Lewis Baach Kaufmann Middlemiss. The main recommendations of the Remediation plan have been implemented. Other external audits Next expected independent testing Q1 2018 AML IT system s audit once every 18 months next Q2 2018 Main recommendations were related to: meaningful risk assessment; compliance performance; compliance culture; training process; AML monitoring system; AML case management system. Internal audit function Has further strengthened its capacity/expertise to perform independent testing of AML/CFT processes through training Follow-up fulfilment of the previous recommendations AUTOMATED SYSTEMS AND TOOLS IT system s changes Implemented new systems from FICO Tonbeller Siron RAS, KYC and AML tools Implemented Accuity Sanctions, screening and PEP system Core banking system The Wall AML/CTF monitoring system FICO Tonbeller Siron Sanctions Screening system Online 24/7, Accuity tool Other databases Dow Jones Factiva Management of international financial sanctions Has been improved by the tool from Accuity and FICO Tonbeller Siron.