https://newsletter.po.creamermedia.com
Deepening Democracy through Access to Information
Home / Legal Briefs / Norton Rose Fulbright South Africa Inc RSS ← Back
Africa|Business|Financial|Paper|Services|System|Operations
Africa|Business|Financial|Paper|Services|System|Operations
africa|business|financial|paper|services|system|operations
Close

Email this article

separate emails by commas, maximum limit of 4 addresses

Sponsored by

Close

Article Enquiry

Money laundering risks in a global pandemic


Close

Embed Video

Money laundering risks in a global pandemic

Money laundering risks in a global pandemic

14th May 2020

ARTICLE ENQUIRY      SAVE THIS ARTICLE      EMAIL THIS ARTICLE

Font size: -+

The Financial Intelligence Centre (FIC) published a notice in March 2020 indicating that there will be no relaxation of obligations under the Financial Intelligence Centre Act 2001 (FICA) during the nationwide lockdown. A robust money-laundering policy ought to form an integral part of any company’s compliance program. Business’s compliance functions must operate effectively, even if remotely.

In South Africa, “accountable institutions” (for example banks, insurers and law firms) are under an obligation to comply with FICA and must register with the Financial Intelligence Centre (FIC).  All institutions (including accountable institutions) are required to report suspicious and unusual transactions to the FIC with dealers in motor vehicles and Krugerrands also being required to report transactions above certain cash thresholds.

Advertisement

Money laundering risks exist in the day-to-day operations of a company.  In light of a global event like the COVID-19 pandemic, new risks evolve with an enhanced need for corporate compliance teams to keep a close eye on business transactions, source of funds and suspicious and unusual transactions. It is evident that organised criminals have sought to take advantage of the global crisis and corporate uncertainty.

On 4 May 2020, the Financial Action Task Force (FATF) published a paper setting out challenges, good practices and policy responses to new money laundering and terrorist financing threats and vulnerabilities arising from the COVID-19 pandemic.   The risks that the FATF have identified include:

Advertisement
  • Criminals finding ways to bypass customer due diligence measures by exploiting temporary changes in internal controls caused by remote working situations, in order to conceal and launder funds;
  • Increased misuse of online financial services and virtual assets to move and conceal illicit funds;
  • Exploiting economic stimulus measures and insolvency schemes as a means for individuals and corporations to conceal and launder illicit proceeds;
  • Misuse and misappropriation of domestic and international financial aid and emergency funding by avoiding standard procurement procedures, resulting in increased corruption and consequent money laundering risks;
  • Increased use of the unregulated financial sector as individuals move money out of the banking system due to financial instability, creating additional opportunities for criminals to launder illicit funds;
  • Criminals exploiting COVID-19 and the associated economic downturn to move into new cash-intensive and high-liquidity lines of business in developing countries, to launder proceeds of unlawful activities, fund their operations, or fraudulently claim to be charities to raise funds online.

Businesses must take heed of these risks and ensure that their compliance function is operating effectively and securely, even if remotely. A failure to comply with required obligations may carry administrative or criminal sanctions. 

Suspicious and unusual transactions must be appropriately reported within fifteen days after a person becomes aware of (or suspects) the suspicious or unusual transaction.

Written by Marelise Van Der Westhuizen, CEO and Sabeeha Kathrada-Khan, Associate, Norton Rose Fulbright

 

EMAIL THIS ARTICLE      SAVE THIS ARTICLE ARTICLE ENQUIRY

To subscribe email subscriptions@creamermedia.co.za or click here
To advertise email advertising@creamermedia.co.za or click here

Comment Guidelines

About

Polity.org.za is a product of Creamer Media.
www.creamermedia.co.za

Other Creamer Media Products include:
Engineering News
Mining Weekly
Research Channel Africa

Read more

Subscriptions

We offer a variety of subscriptions to our Magazine, Website, PDF Reports and our photo library.

Subscriptions are available via the Creamer Media Store.

View store

Advertise

Advertising on Polity.org.za is an effective way to build and consolidate a company's profile among clients and prospective clients. Email advertising@creamermedia.co.za

View options

Email Registration Success

Thank you, you have successfully subscribed to one or more of Creamer Media’s email newsletters. You should start receiving the email newsletters in due course.

Our email newsletters may land in your junk or spam folder. To prevent this, kindly add newsletters@creamermedia.co.za to your address book or safe sender list. If you experience any issues with the receipt of our email newsletters, please email subscriptions@creamermedia.co.za