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FinCEN wants better AML programs… your thoughts?

FinCEN Seeks Comments on Enhancing the Effectiveness of Anti-Money Laundering Programs

Strategic Communications, 703-905-3770
Immediate Release

WASHINGTON—The Financial Crimes Enforcement Network (FinCEN) today issued an Advance Notice of Proposed Rulemaking (ANPRM) to solicit public comment on a wide range of questions pertaining to potential regulatory amendments under the Bank Secrecy Act (BSA).  The proposals under consideration are intended to provide financial institutions greater flexibility in the allocation of resources and greater alignment of priorities across industry and government, resulting in the enhanced effectiveness and efficiency of anti-money laundering (AML) programs. 

FinCEN, in collaboration with its supervisory partners, law enforcement, and, where appropriate, the financial industry, has undertaken recent initiatives to collectively re-examine the BSA regulatory framework and the broader national AML regime.  As described in the ANPRM, in 2019, the congressionally established forum for industry, regulators, and law enforcement, known as the BankSecrecy Act Advisory Group, created a working group to develop recommendations for strengthening the national AML regime by increasing its effectiveness and efficiency.  This ANPRM is a result of FinCEN’s evaluation of those recommendations. 

The ANPRM seeks comment on incorporating an “effective and reasonably designed” AML program component to empower financial institutions to allocate resources more effectively.  This component also would seek to implement a common understanding between supervisory agencies and financial institutions regarding the necessary AML program elements, and would seek to impose minimal additional obligations on AML programs that already comply under the existing supervisory framework. 

The potential regulatory amendments described in the ANPRM would make clear that an “effective and reasonably designed” program is one that: 

  1. assesses and manages risk as informed by a financial institution’s own risk assessment process, including consideration of AML priorities to be issued by FinCEN consistent with the proposed amendments,
  2. provides for compliance with BSA requirements, and
  3. provides for the reporting of information with a high degree of usefulness to government authorities. 

The ANPRM also seeks comment on proposals to impose an explicit requirement for a risk assessment process and for the Director of FinCEN to issue a list of national AML priorities, to be called FinCEN’s Strategic Anti-Money Laundering Priorities, every two years.  

Comments from all interested parties will help inform the scope of any future regulatory actions and should be submitted within 60 days of the ANPRM’s publication in the Federal Register.


FinCEN Press Release

Advanced Notice of Proposed Rulemaking (ANPRM)

Categories: Advance Notice of Proposed Rulemaking (ANPRM) Anti-Money Laundering FinCEN Updates Public Consultations


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