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This week John takes on two topics: the melding of BSA and anti-fraud functions and an advocacy group's proposal for a middle way solution to the needs of the unbanked
The title of this Beatles classic carries a message for bankers in multiple functions in many organizations today. • Key statistics, such as this one: a single skimming device placed on an ATM typically costs $33,000 in losses; and • Law enforcement projects ATM skimming to be the fastest growing cyber-crime among financial institutions.
Completing a very compelling several days was a discussion on workplace violence that delved into personality traits of psychopaths (a surprising list that seems more common than you might think) that oftentimes can lead to acts as devastating as some terrorist attacks, as well as a discussion of the FS-ISAC (Financial Service –Information Sharing and Analysis Center), a 4,100 member organization designed to address cyber threats. [For more about the coming together of BSA/AML and fraud detection and prevention in banks, including further commentary from John Byrne, see the November 2009 Compliance Clinic in ABA Banking Journal. You can check your bank’s print copy, or read it right now in the Digital Magazine.] Thinking Outside the Box or Simply Causing More Problems? One of the things I have enjoyed about the Bank Secrecy Act area, over the years, is the opportunity to debate the effectiveness of the various laws and regulations imposed on financial institutions and their customers. As many of you know, I believed back in the 1980s, and continue to today, that the cash transaction reporting regime should be modified to reflect new technology and utility of information. Of course, if you are to debate a policy position, you need to be able to “count votes” and so it is clear to me that dramatic change will not occur. I mention that old debate not only because it never completely goes away, but also because I wanted to offer another BSA-related issue that has surfaced that reminds me that this is an area that is continually evolving. A banker friend recently wrote me that the following may be a good topic for this blog, someday. Let me offer that I have no position (yet) on this issue, but wanted to put this out there for comment. Here goes: An organization called the “New America Foundation,” which describes itself as “a nonprofit, nonpartisan public policy institute that invests in new thinkers and new ideas to address the next generation of challenges facing the United States”(www.newamerica.net) has announced the “Passageway Account Proposal.”
About John Byrne, CAMS Byrne leads Condor Consulting LLC, a Washington, D.C., area financial services consulting firm specializing in regulatory management, AML, privacy, and a vast array of financial institution compliance related issues. He has written extensively on AML issues for 25 years and has appeared on television and testified before many congressional committees on AML-related policy issues. Prior to the creation of his firm, John was the Global Regulatory Relations Executive at Bank of America. Previously, he worked for the American Bankers Association for 22 years and was responsible for ABA's lobbying, regulatory, and educational efforts on money laundering, and other compliance issues. He received the ABA's Distinguished Services Award and was also the first private sector recipient of the “Director's Medal for Exceptional Service” from the Treasury Department's Financial Crimes Enforcement Network (FinCEN). Byrne can be e-mailed at This e-mail address is being protected from spam bots, you need JavaScript enabled to view it . His web page can be found at www.thecondorconsultingllc.com Community Bank Compliance Officers: Be sure to check out our other compliance blog, "Lucy and Nancy's Common Sense Compliance." Lucy Griffin and Nancy Derr-Castiglione, ABA BJ contributing editors, address compliance challenges with the smaller bank in mind. Check it out! Compliance Officers: Don't miss ABA BJ's online coverage of ABA's 2009 Regulatory Compliance Conference. Click here
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