FCG 3.3 Further guidance
1FCTR contains the following additional AML guidance:
• FCTR 4 summarises the findings of, and consolidates good and poor practice from, the FSA’s thematic review of Automated Anti-Money Laundering Transaction Monitoring Systems
• FCTR 5 summarises the findings of, and consolidates good and poor practice from, the FSA’s Review of firms’ implementation of a risk-based approach to anti-money laundering (AML)
• FCTR 10 summarises the findings of the Small Firms Financial Crime Review. It contains guidance directed at small firms on:
◦ Regulatory/Legal obligations (FCTR 10.3.1G)
◦ Account opening procedures (FCTR 10.3.2G)
◦ Monitoring activity (FCTR 10.3.3G)
◦ Suspicious activity reporting (FCTR 10.3.4G)
◦ Records (FCTR 10.3.5G)
◦ Responsibilities and risk assessments (FCTR 10.3.7G)
• FCTR 12 summarises the findings of the FSA’s thematic review of Banks’ management of high money laundering risk situations. It includes guidance on:
◦ High risk customers and PEPs – AML policies and procedures (FCTR 12.3.2G)
◦ High risk customers and PEPs – Risk assessment (FCTR 12.3.3G)
◦ High risk customers and PEPs – Customer take-on (FCTR 12.3.4G)
◦ High risk customers and PEPs – Enhanced monitoring of high risk relationships (FCTR 12.3.5G)
◦ Correspondent banking – Risk assessment of respondent banks (FCTR 12.3.6G)
◦ Correspondent banking – Customer take-on (FCTR 12.3.7G)
◦ Correspondent banking – Ongoing monitoring of respondent accounts (FCTR 12.3.8G)
◦ Wire transfers – Paying banks (FCTR 12.3.9G)
◦ Wire transfers – Intermediary banks (FCTR 12.3.10G)
◦ Wire transfers – Beneficiary banks (FCTR 12.3.11G)
◦ Wire transfers – Implementation of SWIFT MT202COV (FCTR 12.3.12G)