Checklist for effectively implementing the AML Program | AML UAE

00:07:05
https://www.youtube.com/watch?v=_Sga8lrXJvo

Resumo

TLDRThe video discusses the essential components of a robust AML program for regulated entities in the UAE. Key aspects include registration with the UAE Financial Intelligence Unit, appointing a competent AML compliance officer, conducting enterprise-wide risk assessments, establishing internal AML policies and procedures, implementing customer due diligence, monitoring strategies for transactions, ongoing training for staff, maintaining accurate records, and auditing the AML compliance program. The overall aim is to detect and mitigate financial crime risks effectively while ensuring compliance with regulations.

Conclusões

  • ✅ Get registered with the UAE go AML portal.
  • ✅ Appoint a competent AML Compliance Officer.
  • ✅ Conduct an enterprise-wide risk assessment.
  • ✅ Implement robust customer due diligence processes.
  • ✅ Monitor business relationships and transactions.
  • ✅ Maintain effective training programs for staff.
  • ✅ Establish thorough AML recordkeeping policies.
  • ✅ Conduct independent AML audits for compliance.
  • ✅ Ensure ongoing communication of AML updates to senior management.

Linha do tempo

  • 00:00:00 - 00:07:05

    The video outlines the UAE's AML regulations requiring financial institutions, DNFBPs, and VASPs to establish comprehensive AML programs. Key points include registering with the UAE Financial Intelligence Unit (FIU) through the goAML portal, ensuring accurate business information is maintained, and appointing a competent AML compliance officer with adequate authority.

Mapa mental

Vídeo de perguntas e respostas

  • What is the primary requirement under the UAE AML framework?

    The primary requirement is to register with the UAE Financial Intelligence Units' go AML portal.

  • What is the role of an AML compliance officer?

    An AML compliance officer is responsible for designing and implementing AML policies and ensuring compliance.

  • How should regulated entities assess financial crime risks?

    They must conduct an enterprise-wide risk assessment to identify and mitigate potential financial crime risks.

  • What is due diligence in the context of AML?

    Due diligence involves verifying customer identities and assessing risks associated with business relationships.

  • What should regulated entities do to monitor ongoing business relationships?

    They should implement monitoring programs to detect unusual transaction patterns and report risks.

  • What is the purpose of AML training for employees?

    To create awareness of internal AML policies and procedures, roles, and responsibilities.

  • What should be included in AML recordkeeping policies?

    Policies should highlight what documents to maintain, how to maintain them, and for how long.

  • How can entities ensure the effectiveness of their AML programs?

    By implementing an independent AML audit function to assess compliance and identify improvement areas.

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Rolagem automática:
  • 00:00:01
    hello AML team we understand that the
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    UAE AML regulations mandate that
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    financial institutions designated
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    non-financial businesses and professions
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    dnfbps and virtual asset service
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    providers VPS design Implement and
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    maintain a comprehensive AML program to
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    combat money laundering terrorism
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    financing and other Financial crimes in
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    this video we shall discuss a checklist
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    that will enable the regulated entities
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    to implement the AML program
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    efficiently the primary requirement
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    under the AML framework is to get
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    registered with the UAE Financial
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    intelligence units go AML portal the
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    regulated entity must ensure that the
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    information and details about the
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    business available on the GOL portal are
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    not outdated The Entity must review
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    whether this information is accurate and
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    valid the second essential element
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    necessary for driving the AML program is
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    having an AML compliance officer who is
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    competent enough to design and implement
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    the AML policies and procedures further
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    the regulated entities must check
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    whether the appointed AML compliance
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    officer has adequate Authority and
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    access to the required records and
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    documents enabling the Fulfillment of
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    the compliance officer functions
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    diligently moving to the AML program
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    development part now the regulated
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    entities must conduct the enter prise
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    wide risk assessment to assess the
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    potential exposure to financial crime
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    risks and Define the adequate controls
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    required to mitigate the identified risk
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    the regulated entities must periodically
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    review the relevance of the assessed
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    business risk to ensure that it aligns
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    with the entity's current business
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    profile having verified the accuracy and
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    adequacy of the business risk assessment
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    the regulated entities must proceed with
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    determining whether the entity has
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    comprehensive internal AML CFT policies
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    procedures and and controls the
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    regulated entities must ensure that this
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    framework is aligned with the entity's
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    assessm lft risk and the regulatory
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    obligations prescribed by the UAE AML
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    regulations further The Entity Senior
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    Management must review and approve these
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    AML policies and
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    procedures while establishing the
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    business relationships the regulated
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    entities must ensure that the team
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    adopts a robust customer due diligence
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    process in this context The Entity must
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    ensure that the customer on boarding
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    process and the due diligence measures
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    to be applied are well documented and
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    circulated among the team along with the
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    defined CDD rules the entity should
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    ensure that adequate measures are
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    applied in accordance with the
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    customer's risk profile for example is
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    the team applying the enhanced due
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    diligence process when the customer is
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    identified as posing increased mlft risk
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    while establishing business
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    relationships implementing targeted
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    Financial sanctions and screening the
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    customers and their beneficial owners is
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    another vital element of the AML program
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    the regulated entity reviews the TFS
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    regime followed by The Entity the
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    quality of the systems if any deployed
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    for customer screening Etc further the
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    sanctions compliance policies and
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    program must also support the ongoing
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    screening requirements imposed under the
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    AML regulations to manage the dynamic
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    risk profile of the customers once the
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    customer is onboarded monitoring the
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    business relationship including the
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    transactions executed by the customer is
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    crucial to identifying and managing the
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    risks the regulated entities must
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    consider having an ongoing monitoring
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    program to trace the transaction
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    customer Behavior Etc to detect unusual
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    patterns to accurately identify and
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    promptly report the risk indicators and
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    file the suspicious activity report or
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    suspicious transaction report the AML
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    complies sance officer and the team must
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    be acquainted with the business specific
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    M lft red flags and set internal
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    mechanisms the regulated entity must
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    review and maintain a robust and
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    systematic mechanism allowing the
  • 00:04:11
    Frontline employees to promptly report
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    The observed risk indicators to the AML
  • 00:04:16
    compliance officer a well-defined
  • 00:04:19
    approach must also be documented that
  • 00:04:21
    assists the AML compliance officer in
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    reviewing the received internal reports
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    performing independent investigations
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    and deciding whether external reporting
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    to FIU is needed not just limited to s
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    or St Str the AML program must be
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    comprehensive covering the circumstances
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    where different reports like dpmr or
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    fund freeze report Etc are required to
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    be filed with the FIU or any other
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    concerned
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    Authority keeping an entity free from
  • 00:04:51
    individuals and corporates dealing with
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    mlft proceeds is an outcome that can be
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    achieved only with the relevant team's
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    contribution and the Senior Management
  • 00:05:00
    support the regulated entity must
  • 00:05:03
    develop a robust AML training program
  • 00:05:05
    and impart adequate training to the team
  • 00:05:08
    creating awareness around the entity's
  • 00:05:10
    internal AML policy and procedures and
  • 00:05:13
    the roles and responsibilities of the
  • 00:05:15
    employees Senior Management must also be
  • 00:05:17
    involved in the training sessions the
  • 00:05:20
    AML program should clearly provide that
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    the AML compliance officer furnishes
  • 00:05:25
    periodic AML reports to the Senior
  • 00:05:27
    Management updating them on the entity
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    am L activities key statistics around
  • 00:05:31
    the customers onboarded and transactions
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    executed along with the risk profiles
  • 00:05:36
    the mlft suspicion observed and the
  • 00:05:39
    reports filed with the FIU
  • 00:05:43
    Etc the regulated entities must have a
  • 00:05:46
    proper AML recordkeeping policy
  • 00:05:48
    highlighting the documents and
  • 00:05:50
    information to be maintained how this
  • 00:05:52
    information shall be maintained and for
  • 00:05:54
    how long Etc the AML records should be
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    maintained in an organized manner with
  • 00:05:59
    easy retrieval but parallel safeguarding
  • 00:06:02
    the data from unauthorized access to
  • 00:06:05
    review the quality relevance and
  • 00:06:07
    comprehensiveness of the AML measures
  • 00:06:09
    the entity must Implement an AML audit
  • 00:06:12
    function the AML auditor must be
  • 00:06:15
    independent of routine AML activities
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    and capable of providing an unbiased
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    opinion on the regulated entity's AML
  • 00:06:22
    compliance
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    status with a systematic approach assess
  • 00:06:28
    the effectiveness of the existing AML
  • 00:06:30
    program and identify the areas that need
  • 00:06:33
    immediate action to strengthen the same
  • 00:06:36
    set your AML Journey right with adequate
  • 00:06:38
    measures to detect and mitigate the
  • 00:06:40
    financial crime risk while staying AML
  • 00:06:45
    compliant trust that this video helps
  • 00:06:47
    manage your AML compliance function
  • 00:06:50
    effectively stay tuned for more
  • 00:06:52
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Etiquetas
  • AML
  • UAE
  • Compliance
  • Financial Crimes
  • Risk Assessment
  • Due Diligence
  • Training
  • Recordkeeping
  • Auditing
  • Customer Monitoring