Steps for Effective Anti Money Laundering in UAE: A Compliance Guide
Combating money laundering and terrorism financing is a top priority for any growing economy in today’s world. In our blog, GoAML UAE Registration and Compliance Requirements, we discussed the measures and procedures adopted by the UAE.
A crucial component of AML regulations is risk assessment. This blog is dedicated to exploring the risk assessment compliance under the AML.
Why is Risk Assessment important?
Risk assessment plays a key role in identifying the exposure of an entity to financial crimes and allocating resources to identify and report such risks. With GoAML, UAE has adopted risk based approach, mandating the entities to identify and prioritize high risk areas in their business operations.
Key benefits of risk assessment include:
- Compliance: It ensures adherence to UAE Federal Law No. 20 of 2018 on AML and combating terrorism financing.
- Decision-making: Risk assessment equips businesses with insights to focus on high-risk transactions or clients.
- Business credibility: It protects institutions from legal penalties, financial losses, and reputational damage.
What is the deadline for completing the risk assessment?
Due to the repeated requests from DNFBPs and considering the volume of participants across various sectors, the Ministry has extended the deadline for submitting risk assessment data collection for FY 2023 to January 31, 2025.
Therefore, the updated due dates are as below:
For 2023 Submission: 31 January 2025
For 2024 Submission: 31 January 2025
How should we submit risk assessment?
Navigate to the website https://amlquestionnaire.moec.gov.ae/#/login and login to access the risk assessment questionnaire. Fill them and submit.
What is the information asked in the risk assessment?
The risk assessment questionnaire contains around 298 questions. These can be broadly categorized into three categories for the purpose of ease. Let us explore these sections and questions to equip you with the basic details to be prepared for this risk assessment.
Section- 1:
The first set of questions contains basic organizational details and the nature of the business. The entities must be prepared with the below details and documents. Further, this information must be double checked, as any inconsistencies may lead to delays in compliance verification.
- Trade license number and expiry date. Also, keep a copy of the trade license ready to attach them.
- Type of business activity (e.g., real estate, accounting, precious metals, or auditing).
- Information on the bank or any financial institution that the entity has dealt with.
- Details and documents on shareholding structure including the beneficial owners.
- Details or trade license copy of affiliates of the entity who are categorized as DNFB (Designated Non-Financial Businesses and Professions).
Learn about UBO compliance and its role in AML measures.
Section- 2:
The second section contains queries on customer due diligence (CDD) to assess how the organization identifies and verifies its customers, including beneficial owners. The entities must be prepared with the below information and documents.
- Details on ownership, employees, branches and authorizations arrangements with clients.
- Details on entity’s transactional activities such as turnover and details on clients.
- Customers or their business that is exposed to proliferation finance (PF)
- Policies and procedures for CDD and Know Your Customer (KYC) checks.
- Processes for verifying customer identities, such as government-issued ID and proof of address.
- Records of Politically Exposed Persons (PEPs) and high-risk customers.
- Records of customers subject to sanctions
- Number of transactions, value of transactions, records of UBO dealing with countries- Iran, North Korea, Myanmar.
- Assets held by the entity on behalf of the customers, products and services offered to non-customers.
- Number of physical cash transactions and its total value.
- Details on how beneficial ownership is identified and documented.
- Details on Virtual Assets.
Section- 3:
The third section is all about the risk assessment, to evaluate how the company assesses Anti Money Laundering (AML)/Counter Financing of Terrorism (CFT) risks associated with its operations. The entities must be prepared with the below information and documents.
- Details about the compliance officer including their qualifications, responsibilities, back up of such officer, their reporting line.
- Nature and description of training to employees, directors, and managers on PF related issues
- Risk rating assigned and internal control pertaining to physical cash transactions according to your business model.
- A clear workflow for identifying and reporting suspicious activities.
- Details on independent audits on the internal controls and policies.
- Evidence of STRs submitted through the GoAML platform.
- Logs of investigations conducted before filing STRs.
- Records of senior management’s approval of AML policies and risk assessments.
- Minutes of meetings discussing AML compliance.
- Appointment letters and job descriptions for the compliance officer and AML team.
Also check – Key steps for transfer pricing and AML compliance in UAE.
Pro- Tips by BCL Globiz:
- Ensure all information is accurate, as inconsistencies may lead to delays in compliance verification.
- Maintain a system to regularly update customer data, especially for high-risk clients.
- Regularly test your transaction monitoring systems for accuracy and efficiency.
- Conduct regular refresher training to keep staff updated on regulatory changes.
- Policies should be reviewed annually or whenever there are significant regulatory changes.
- Conduct periodic audits to ensure compliance with record-keeping requirements.
- Ensure timely reporting of suspicious activities, as delays may result in penalties.
- Demonstrate compliance through active management participation.
We, at BCL Globiz, provide accounting, compliance, and advisory services under one roof at affordable and reasonable pricing. For further inquiries, get in touch with our experts today at punith@bclglobiz.com.