The EBA found that competent authorities across the EU adopted significantly different approaches for identifying and tackling money laundering (ML) and terrorist financing risks highlighted by the leaks. These approaches varied beyond what the EBA would have expected under a risk-based approach.
The European Banking Authority (EBA) published today the
findings of its assessment of competent authorities’ responses to the
2020 Luanda leaks.
The information contained in the documents leaked by the
International Consortium of Investigative Journalists (ICIJ) on the
financial affairs of Isabel dos Santos or her associates raised a number
of concerns, that included the risk that financial institutions in the
EU were handling the proceeds from corruption.
The EBA worked to understand the steps AML/CFT competent authorities
in the EU had taken to assess the ML/TF risks to which their sector was
exposed, in light of this information. The EBA found that more than half
of all competent authorities assessed the information provided in the
leaked ICIJ documents. Several of those authorities subsequently
identified institutions that had links with Isabel dos Santos and her
associates, in spite of the fact that these institutions had not been
explicitly mentioned by the ICIJ. On the other hand, other competent
authorities took no action when the leaks were released. This suggests
that there is a risk that proceeds from corruption linked to Isabel dos
Santos and her associates may not have been detected and may continue to
be laundered through the EU’s financial sector. In addition, the EBA
noted that not all competent authorities took advantage of existing
cooperation channels to exchange information and improve their
understanding of the ML/TF risks to which their sector was exposed in
this context.
The existing EBA Guidelines set clear expectations of the way
competent authorities should identify, assess and manage the ML/TF risks
highlighted by the Luanda Leaks holistically and across all areas of
supervision. The EBA also identified good practices in some Member
States, including steps by competent authorities to put in place
dedicated processes to identify and swiftly react to instances of
crystallised ML/TF risk, as was the case in the Luanda Leaks.
EBA
© EBA
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