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Money Laundering

Hide Disguise

TRUE ORIGIN OF THE CRIMINAL PROCEEDS.

CriminalsLaw Enforcement Authorities

Law Enforcement Authorities

Reducing Crime

Criminals

Retain Funds Recycle for Further Crimes

Predicate Offences (Unlawful Activities)

Drug trafficking Counterfeiting Smuggling Theft Embezzlement Racketeering Tax evasion Kidnapping Illegal arms sales Bribery Illegal trade of cultural property

Laundering Process

Placement Layering Integration

Placement Problems

50,000$ of 10$ bills=2 feet high A bill weighs aprrox. One gram There are aprrox. 454 bills per pound

50lbs of 10$ bills = 227.000$ 50lbs of 20$ bills = 454.000$ 50lbs of 50$ bills =1.135.000$ 50lbs of 100$ bills =2.270.000$ 50lbs cocaine = 600.000$ 50lbs marijuana = 300.000$

ECONOMIC IMPACTS OF MONEY LAUNDERING

Misallocation Of Funds Unpredictable Movements Of Funds Reputation Risk Undermines the Legitimate Private Sector Economic Development issues Loss of Tax Revenue Loss of Control of Economic Policy Other

Estimation Of Laundered Money


%2-5 World GNP Annually 500 Billion to 1.5 Trillion USD (FATF) Approaches Issues

Hidden activities Difference in Predicate offences Black money>Laundered money

INTERNATIONAL EFFORTS

Financial Acton Task Force-1989 The Vienna Conventinon-1988 Basle Committee Statement of Principles-1988 European Union Directive-1991 IOSCO-1992 Other

FAFT

40 Recommendations Country Evaluations Typology Studies Guidelines Mutual Evaluation Identifying Non-Cooperative Countries and Territories

Latest FATF Report About NCCOTs

NCCOTs Jurisdictions Subject To The monitoring Process

Off Shore Centers


Tax Evasion Evading Strict Regulation Money Laundering

Confidentiality Weak Supervision Owning a bank, company

Some Figures
Jurisdiction Banks Bahamas 305 Liechtenstein 17 Seychelles Nauru 400 Comp. 47,040 75,000 4,800 -

http://www.state.gov

A Brief History of Combating


1972 Bank Secrecy Act- US 1986 Money Laundering Control Act-US Enactment Of Otter Countries Acts Emerge of Financial Intelligent Units

Scope of The ACTs


Criminalization of Laundering Determining Predicate Offences Establishing Of a FIU AML Programs (Reporting, Identification, Recording etc of Transactions.. Etc) Civil &Criminal Liabilities Other (Information Exchange, Education..etc)

Basic FIU Model

1-Disclouseres transmitted to FIU 2-FIU receives additional information from law enforcement 3-Possible exchange with foreign counterpart FIU 4-After analysis, FIU provide case ti prosecutor for action

Egmont Group and Definition of FIU


EGMONT Group-1995 Central national agency responsible for receiving, requesting, analyzing and disseminating to the competent authorities, disclosures of financial information,

concerning suspected proceeds of crime in order to counter money laundering.

FIUs of Some Countries

Security Markets

Industry Rely on Commissions Due Diligence has taken Perception International, Large, Liquid Nature Availability of many Instruments and Institutions

Securities Market (Cont)


Layering Stage Lack of Information IOSCO Resolution-1992 GAO survey of Securities Sector of USA

Patriot ACT Brokers/Delaers

Before Patriot Act


Currency Transaction Reports Funds Transfers and Transmittals Suspicious Activity Reporting-Red Flags Other

Patriot Act-Brokers/Dealers

SEC 312 Private Banking Account SEC 313 Correspondent Account SEC 314 Financial Institution Cooperation Provision SEC 319 Domestic and Foreign Bank Records Production

Patriot Act-Brokers/Dealers

SEC 352 Anti Money Laundering Programs SEC 356 Suspicious Activity Report by the Securities and futures Industry SEC 256 Customer Identification and Verification

Typologies

Typologies from FATF and Other Sources

Conclusion

Reducing Crime Since 1990s Significant Steps has taken Lack of Statistical Data Isolation of NCCOTs from Global Financial Community New Fighting Means Focusing on Detecting

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