EBA publishedan Opinion setting out how prudential supervisors should consider money laundering and terrorist financing (ML/TF) risks in the context of the Supervisory Review and Evaluation Process (SREP)... ongoing work to strengthen the fight against money laundering and terrorist financing.
Money
laundering and terrorist financing can have a significant, adverse
impact on an institution’s soundness and viability. It can also have an
impact on the stability and integrity of the financial system in which
an institution operates. This is why prudential supervisors need to
develop a sufficient understanding of ML/TF risks to enable them to
identify ML/TF risks and prudential concerns. ML/TF risks that are
particularly relevant to prudential supervisors include those that are
indicative of broader deficiencies in the internal governance or
internal controls framework, such as ICT-related weaknesses, that
criminals can use.
The EBA expects prudential supervisors to cooperate effectively and
in a timely manner with AML/CFT supervisors to exchange information on
ML/TF risks and to assess the implication of those risks for the safety
and soundness of the institution they supervise.
This applies to prudential and AML/CFT supervisors that form part of
the same competent authority, as it does to prudential and AML/CFT
supervisors from different competent authorities and in cross border
situations.
The EBA will include more detailed guidance on how ML/TF risks should
be considered by prudential supervisors as part of their overall SREP
assessment in the revised version of the SREP Guidelines that is planned
to be published by end December 2021 as set out in the Pillar 2 roadmap.
Legal basis and background
The EBA has delivered this Opinion in accordance with Article
29(1)(a) of Regulation (EU) No 1093/2010, which mandates the Authority
to play an active role in building a common Union supervisory culture
and consistent supervisory practices, as well as in ensuring uniform
procedures and consistent approaches throughout the Union.
This Opinion is part of the EBA's wider work to strengthen the link between prudential and AML/CFT supervision, and to lead, coordinate and monitor the EU financial sector’s fight against ML/TF. It reflects a specific request in the Council Anti Money Laundering Action Plan of 2018.
The EBA has published guidance on supervisory cooperation in the
AML/CFT context. Guidance on the cooperation between prudential and
AML/CFT supervisors under Art 117 of the CRD is currently being drafted,
and will be published for consultation shortly
© EBA
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