The Five Pillars of an AML Compliance Program (2024)

This post is part of our occasional series on AML program fundamentals which focuses on refreshing foundational knowledge for experienced members of the AML community and providing an introduction to key topics for those new to the subject.

For many years AML compliance programs were built on the four internationally known pillars: development of internal policies, procedures and controls, designation of a AML (BSA) officer responsible for the program, relevant training of employees and independent testing. In May 2018, a fifth pillar –due diligence – was added after the finalization of the “CDD Rule.”

Beginning in 1987, regulators examined the AML compliance programs of financial institutions (FI) by reviewing the programs for effective implementation of the four pillars. The pillars are the required foundation of an effective compliance program. Such a program starts with the first pillar: implementation of effective internal controls through the establishment of internal policies and procedures. These controls need to appropriate for the risk profile of the institution and be in written form. The policies and procedures should define the roles and responsibilities of each part of the FI, including the board of directors, senior management and all parts of the institution.

The second pillar requires the designation of a compliance (AML) officer responsible for managing the program. The designated person must have the requisite knowledge and experience to manage a program for the institution for which they are appointed. Depending on the size and complexity of the FI, the AML officer may hold other duties as well, but the amount of time that is committed to managing and maintaining the program will be closely scrutinized during examinations. Regulators have cited institutions for weaknesses in their program where the designated AML/BSA officer lacks the experience to manage the program or has too many duties outside of the program to effectively manage it.

The third pillar sets an expectation that appropriate periodic training for employees will be given; the focus of the training should be the programs and its controls, and the roles and responsibilities of employees within the program. Since employees around the institution will have different roles and responsibilities, an effective training program will not be “one size fits all”and should be tailored. Certain elements of the training will be common to the entire organization, but operations areas will have different responsibilities from customer facing areas and their respective training activities should reflect those differences. Training should include senior management and the board of directors. Training should also be refreshed on a regular basis and any significant changes to the compliance program should include “off cycle” training to inform impacted employees about the program changes. It is important to keep accurate records of all training provided and who received the training; this is a key element in substantiating compliance with this pillar.

The fourth pillar requires for independent testing of the program. The independent testing can be performed by thirds parties or by FI staff with no responsibility for establishing or managing the program. The testers should have sufficient knowledge and experience with AML compliance to understand and analyze the program. The purpose of the review is to confirm that the program is operating as designed and that the internal controls are effective. This includes review of the policies and procedures for compliance with existing regulations, testing of internal controls, review of training program elements and training records. An independent review should be performed at least annually.

The fifth pillar now requires FIs to include: risk-based procedures for conducting ongoing customer due diligence which include understanding the nature and purpose of customer relationships for the purpose of developing a customer risk profile; and conducting ongoing monitoring to identify and report suspicious transactions and, on a risk basis, to maintain and update customer information [including information on the beneficial owners of legal entity customers].[1] While the first four pillars are set out in the text of the Bank Secrecy Act, the fifth pillar was created by regulation.[2] A focus of the new pillar is the requirement to identify beneficial owners of customers[3]. This requirement goes beyond prior regulatory expectations for customer due diligence. As with all changes to AML compliance programs, these program revisions impact the other pillars of an FI’s program.

A sound AML compliance program has all five pillars functioning effectively.

[1] 31 CFR § 1020.210

[2] See 81 Fed. Reg. 29399 (May 11, 2016)

[3] For more details about the beneficial ownership requirements, see The Beneficial Ownership Rule.

The Five Pillars of an AML Compliance Program (2024)

FAQs

The Five Pillars of an AML Compliance Program? ›

The five pillars of AML compliance offer a holistic approach, emphasizing internal controls, assigned roles, training and awareness, independent testing, and a risk-based strategy for ongoing Customer Due Diligence (CDD).

What are the key elements of an AML program? ›

What are the 6 components of an AML compliance program?
  • Appointing a compliance officer,
  • Employee training,
  • Risk assessment,
  • Detection and reporting of suspicious activity,
  • Internal practices,
  • Internal audits.
Mar 29, 2024

What are the 4 pillars of AML and sanctions compliance program? ›

For many years AML compliance programs were built on the four internationally known pillars: development of internal policies, procedures and controls, designation of a AML (BSA) officer responsible for the program, relevant training of employees and independent testing.

What is the CDD pillar of an AML program? ›

The objective of ongoing customer due diligence is to understand the nature and purpose of customer relationships, which may include understanding the types of transactions in which a customer is likely to engage. These processes assist financial institutions in determining when transactions are potentially suspicious.

What is required in an AML compliance program? ›

The program must include appropriate risk-based procedures for conducting ongoing customer due diligence, including (i) understanding the nature and purpose of customer relationships for the purpose of developing a customer risk profile; and, (ii) conducting ongoing monitoring to identify and report suspicious ...

What are the 5 pillars of AML? ›

The five pillars of AML compliance offer a holistic approach, emphasizing internal controls, assigned roles, training and awareness, independent testing, and a risk-based strategy for ongoing Customer Due Diligence (CDD).

Which of the following is one of the five pillars of a BSA AML compliance program? ›

The newest version of the Bank Secrecy Act identifies five key compliance pillars: The designation of a compliance officer, development of internal policies, creation of a training program for employees, integration of independent testing and auditing, and development of risk-based processes for ongoing customer due ...

What is the 5th pillar of the CDD rule? ›

PILLAR #5

The CDD Rule has four main requirements. It requires financial institutions to establish and maintain written policies and procedures that are designed to: Identify and verify the identity of customers. Identify and verify the identity of the beneficial owners of companies opening accounts.

What are the core elements of AML KYC? ›

The KYC Policy consists of the following four key elements.
  • Customer Acceptance Policy.
  • Customer Identification Procedures.
  • Monitoring of Transactions.
  • Risk Management.

What is a core component of the AML program requirement? ›

Customer Due Diligence is a fundamental component of an AML compliance program. It involves verifying the identity of customers, understanding the nature and purpose of their accounts or transactions, and assessing the risk they pose.

How to build an effective AML program? ›

7 Steps to Create a Successful AML Compliance Program
  1. Set the Tone at the Top. ...
  2. Appoint a Compliance Officer. ...
  3. Establish and Share a Written Compliance Policy. ...
  4. Implement a Training Program for Staff. ...
  5. Perform Ongoing Monitoring. ...
  6. Run Internal Audits to Review Financial Performance. ...
  7. Set Up Strategies for Incident Management.
Feb 24, 2024

How to improve AML compliance? ›

Eight ways to ensure your firm passes an AML inspection
  1. AML leadership. Your firm's AML policy must be steered by senior management. ...
  2. Employee training. ...
  3. Tailored AML PCPs. ...
  4. Conduct risk assessments. ...
  5. Up to date client information. ...
  6. Record keeping. ...
  7. Suspicious activity reports (SARs) ...
  8. Stay up to date.
Apr 23, 2024

What are the AML regulations and compliance? ›

The AML laws provide guidelines to regulated entities, which help them detect and prevent the criminal activities. The law provisions require entities to remain compliant with their AML obligations, protecting them from money laundering risks and avoiding the non-compliance regulatory implications.

What are three key elements of the AML CTF Program Part A? ›

Part A of your program
  • A ML/TF risk assessment of your business or organisation that is regularly reviewed and updated.
  • Board and senior management approval and their ongoing oversight of your program. ...
  • Having an AML/CTF compliance officer at the management level to manage your compliance with your obligations.
Jan 15, 2024

What activity is a key element of an anti-money laundering program? ›

A practical AML compliance program must be able to ensure your organisation has the tools, the processes and the people to detect any suspicious activities associated with money laundering. This includes, but is not limited to, common illegal acts like fraud, terrorism financing and tax evasion.

What makes a good AML program? ›

Every AML program should have a compliance officer, resources dedicated to compliance, AML compliance policies, key controls and procedures, effective tools, and a strong compliance framework within an organization. An AML program should cater to the requirements and risks of an organization.

Which of the following is a key element of the AML framework? ›

Customer Due Diligence – adequate due diligence on new or existing customers – is a key part of AML-CFT policy without which banks can become subject to reputational, operational, legal and concentration risks in banking systems.

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