• Analyzing FINRA fines related to deficient AML programs to identify potential risks linked to lax oversight of red flags and suspicious activities.
• Reviewing the FINRA360 AML Exam Findings section of the report to discern trends in areas such as risk-based approaches to exam’ expectations regarding adequate resourcing and testing of AML programs.
• Learning about the SEC’s Office of Compliance Inspections and Examinations CDD Final Rule expectations on issues such as understanding nature and purpose of accounts.
Senior Vice President and Global Head of AML,
Chief BSA/AML Officer,
Raymond James Financial