The Financial Intelligence Unit has successfully spearheaded a two-day national validation workshop at the Bank of Sierra Leone Complex, Kingtom, Freetown.
With support from the Inter-Governmental Action Group Against Money Laundering in West Africa, the FIU embarked on the update of the second ML/TF risk assessment exercise in July, 2022. The exercise took onboard new areas deemed to be prone to ML/TF risks in addition to the deficiencies identified in the Mutual Evaluation Report, in 2020. Sectors like Virtual Assets and Virtual Assets Service Providers, Legal Persons and Legal Arrangements, Not for Profit Organizations, Environmental Crimes and some sub-sectors in the Designated Non Financial Businesses and Professions like Car dealers, Shipping Companies, are given serious concern in this exercise.
Representatives from various AML/CFT Competent Authorities converged for the two days and deliberated the report sector by sector.
Gaps were identified, recommendations proffered and further mitigation measures assigned to the implementation plans.
The national risk assessment exercise is the first recommendation from the Financial Action Task Force to every member jurisdiction in the first against Money Laundering and Terrorist Financing.
The essence of the meeting was to discuss the followings:
- To communicate what the Unit is currently doing and the challenges facing the FIU to combat Money Laundering and Terrorist Financing in Sierra Leone.
- To solicit support from the Embassy in providing technical assistance to the Unit especially in the area of ICT.
- To help in providing capacity building for operational staff of the Unit
After Listening to the U.S Embassy representative on reason for visit.
Director FIU appreciates U.S support in training and U.S Treasury Technical Assistance, Christine Wandra, Jeff Cooper and others.
The Director highlighted the following Challenges:
SUPPORT FIU FUNCTIONING THAT IS CONSISTENT WITH INTERNATIONAL STANDARDS AND BEST PRACTICES.
- The functioning of the FIU needs to be improved so that it can meet performance standards for core functions. A key objective of this project component in 2020 will be to assist FIU management and staff to understand and perform its core functions while off-loading responsibilities to the appropriate stakeholders to ensure duties are being shared across the AML/CFT regime. FIU hopes to actively relinquish control where appropriate and possible.
- Support FIU functioning that is consistent with international standards and best practices. Assist FIU management to continue identification of non-core functions with the goal of “freeing up” resources necessary to improve effectiveness and efficiency. Out of necessity the FIU has amassed a breadth of AML/CFT responsibilities outside of conventional core functions, which demand increased attention and resources. It is crucial for other appropriate stakeholders to begin “shouldering” some AML/CFT responsibilities, but incumbent on the FIU to ensure non-core work functions are performed as means of knowledge transfer.
- Support money laundering case development and asset forfeiture proceedings that are consistent with international standards and best practices.
FIU MANAGEMENT DEVELOPMENT:
- Some of the activities are intended to Continue supporting FIU management in understanding and clearly promoting their analytic and intelligence mandates as appropriate to the FIU’s core mission.
- Further develop already existing Standard Operating Procedures (SOPs) into a comprehensive document with the goal:
- To create a “record” of risks & implemented controls.
- Maintenance of SOPs enveloped into an existing job function.
- Further develop project management “tools” and staff skills to promote a culture of accountability and a basis to measure/track progress on efforts.
FIU “IT” STRATEGY WE NEED THE US EMBASSY TO:
- Assist the FIU to develop processes and procedures designed to leverage fully the information collected via the IT templates created in 2019. Then we will be able to Develop routine reports – tactical and strategic – designed to alert the FIU to anomalous activity not otherwise reported (i.e., spontaneous reporting) and to measure shifts in risks, to include geography (TF) and FI underreporting of STRs.
- Develop robust methods of prioritizing technology objectives and solutions the ensure Short-term goals (i.e., immediate or time-sensitive improvements) that provide “lift” but also set the stage to comprehensively address long-term needs. Interim solutions are in support of the goal to shift FIU resources from “undifferentiated heavy lifting” to sustainable value-added work products consistent with core mandates
FIU / BSL COLLABORATION and INTEROPERABILITY:
- The FIU will continue to support the Bank of Sierra Leone (BSL) to strengthen and maximize their role as bank examiner with respect to AML/CFT. Wide-ranging collaboration has been achieved through the execution and operationalization of an MOU which is now being reviewed by lawyers from both institutions.
- The planned re-execution of the MOU will appropriately address this goal.
- Established procedures and scheduled have been developed and are being followed.
DNFBP SECTOR DEVELOPMENT:
- Support the FIU with efforts designed to compel simultaneously, DNFBP governing agencies to recognize and assume their rightful AML/CFT supervisory responsibilities while at the same time bringing awareness to the DNFBP sectors through outreach and education. DNFBP Pilot Group created and holding regular meetings. Consultative workshop to roll out guidelines and “Rollout” compliance template created. Policy team has created a draft guidelines and template approved by all Supervisory bodies.
The Financial Intelligence Unit (FIU) with support from GIABA and World Bank on Tuesday commenced a three day national Money Laundering and Terrorism Financial Risk Assessment workshop at the Hill Valley Hotel in Freetown. The aim of the assessment is to lead to the determination of cost effective and proportionate ant-money laundering program of work, which prioritizes those areas of highest risk for management.
Director of FIU, Ahmed Kamara, said the exercise is designed to be country owned and country driven. The exercise has been structured in accordance with the World Bank National Risk Assessment (NRA) tool but that is not to say that we cannot modify it to reflect our peculiar circumstances. He said eight Working Groups have been set up to examine the risks and drivers of Money Laundering (ML) and Terrorism Financing (TF) in the following sectors: Crime Proceeds (SLP); National Vulnerability (ONS); Banking Sector (BSL); other Financial Institutions (NRA); Insurance Sector (SLICOM); DNFBPs (SPU); Securities (SEC) and Financial Inclusion (BSL). Mr. Kamara said these group leaders and their group members come to this process with an impeachable pedigree from their different works of life and what these groups will be doing in the next nine months is to collect, input, analyze and compile data; make presentations and compile reports.
Commissioner of the Anti- Corruption Commission (ACC) Joseph Fitzgerald Kamara said the NRA is a government-wide exercise that seeks to enhance and deepen our collective understanding of money laundering in the country. He added that a National Risk Assessment evaluates the nature and extent of a country’s exposure to potential external and internal risks. Mr. Kamara reiterated that “the ease with which money and valuables can now move across borders means that regulatory authorities and enforcement agencies within and among countries must cooperate and coordinate to address emerging risks”. The Commissioner said that Africa stands at a crossroads. Economic growth has taken root across much of the region. Exports are booming, foreign investment is on the rise and dependence on aid is declining. Governance reforms are transforming the political landscape. Democracy, transparency and accountability have given Africa’s citizens a greater voice in decisions that affect their lives.
Country Director, World Bank, Ato Brown, noted that in 2012, the international standards for anti- money laundering and the countering of the financing of terrorism were slightly revised and a new requirement was added requiring all countries to undertake a National AML/CFT Risk Assessment. He said this new requirement is to ensure that AML/CFT System will be designed in a way that ensures scarce resources will be aimed at mitigating the most serious risks, threats and vulnerabilities facing the country.
Mr. Brown said all countries are now trying to meet the new international obligation, so Sierra Leone is a trail blazer in undertaking this work, as only a handful of countries have begun.
GIABA Director of Research and Planning, Mu’aza Umar said the World Bank conducted the AML/CFT Assessment of Sierra Leone and the Detailed Assessment Report was adopted by GIABA in June 2007. He said the Report revealed the status of AML/CFT of the country as that period. Since then a lot progress has been recorded by the country in all areas-legislation, regulation, enforcement, compliance by reporting entities and greater international cooperation. Mr. Umar said the Assessment will identify ML/TF mechanisms , methods and techniques used by criminals, individuals and groups, and their associates in the country; determine or estimate the extent to which criminals employ the identified mechanisms, methods and techniques to launder the proceeds of crime through financial gateways, including the informal sector; assess the general political and socio-economic factors of the country that could facilitate ML/TF or hinder effective implementation of AML/CFT measures and to assess and determine the general sectoral ML/TF risks in the financial and designated non-financial sectors.
In his keynote address, Deputy Minister of Justice, Arrow John Bockarie, reiterated that “the menaces of money laundering and terrorism financing can no doubt lead to the breakdown of the orderliness of legitimate businesses, interfere with economic and other state policies, distort market conditions and ultimately create serious systemic risk. Where financial institutions are involved in or tolerate money laundering, the result is often distress and collapse,” the Deputy Minister maintained, adding “as a government, we regard the National Risk Assessment as a critical ingredient to strengthening the country’s AML/CFT regime. The National Risk Assessment is a direct response to Recommendation 1 of the Financial Action Task Force (FATF) revised standards”. The Minister assured of government’s commitment to the fight against money laundering and terrorism financing, noting that they are menaces that affect not only the domestic economy but have far- reaching consequences for the region and the global economy if left unchecked. “As a responsible nation within the global community, we feel beholden to join the rest of the world in the fight against these twin evils,” Minister Bockarie committed. He said as a demonstration of government’s firm commitment to the fight against the two financial menaces, it passed the AML/CFT Act 2012 into law, established the Financial Intelligence Unit as an autonomous institution to coordinate the country’s efforts in the rollout of international standards across all sectors.