We all talk about regulatory risk often and regard it as
something important. And it is. However, the following excerpt from an article
from the Bloomberg Review on July 1, 2014 illustrates what happens if you limit
your focus to regulatory risk.
“But obviously BNP
Paribas did not care about obeying U.S. sanctions against Sudan. It cared about not
getting caught violating those sanctions, of course, and it
is sad -- or whatever the bank equivalent of "sad" is, "less
well capitalized" I guess -- that it did get caught. But the sanctions
just had no moral bite with BNP Paribas. It did not occur to anyone there -- even
in the compliance department -- that Cuban companies shouldn't be allowed to transfer money from one French bank to another French
bank, because of U.S. law. That struck BNP's bankers as a dumb rule, to be
avoided with dumb methods.”
Not getting caught is clearly aimed at reducing the
regulatory risk, but the real issues are in an organisations' reputational risk and the core
AML/CFT risks. In the case of BNP a violation of US law.
It is about – what Bloomberg calls – “moral bite”. Staff
throughout the organisation need to understand why sanctions exist and why
AML/CFT regulations are in place. All staff need to have an innate drive to strive
for integrity and doing the right thing.
Only then will a company be truly
compliant.
ROlf
e: rolf@i-kyc.com
w: www.i-kyc.com
ROlf
e: rolf@i-kyc.com
w: www.i-kyc.com
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