Banking as a Service
As credit unions expand their products and services, they must ensure that sufficient member due diligence is being performed and the proper framework of policies and procedures is in place. This especially applies to Banking as a Service (BaaS) providers, which are new and complex and could be viewed as an easy way to make money. However, they could also place a considerable burden on BSA compliance departments.
There is not currently much guidance for BaaS, but a framework can be achieved by replicating third-party guidance with a detailed and expanded due diligence checklist. For example, does the member have BSA requirements similar to those of a Money Services Business (MSB)? Maybe they are more similar to a foreign correspondent account. Find guidance addressing risks for businesses most similar to your member, and apply due diligence measures sufficient to monitor for suspicious activity.
Addressing risk in training
There are several critical steps for your credit union's compliance department to take to build a strong training program. First, develop a follow-the-money culture. Resources for financial crime training can be limited. Corporations and businesses are being prosecuted no matter the size, and the institutions are the gatekeepers to stopping and reporting the movement of funds. BSA staff are your credit union's gatekeepers to safeguard the institution and the members, so finding resources and training to keep up with trends and concerns for AML hot topics is imperative.
Even if your regulator has yet to ask for an education plan in an exam, developing and formulating how you will stay on top of trends in your overall BSA risk assessment, policies, and procedures is critical. Educate yourself and find ways to obtain training despite a tight budget. Sign up for every newsletter and email blast from agencies touching BSA compliance. Examples include the Department of Justice, CUNA, various state leagues, NCUA, FFIEC, FinCEN, OFAC, Treasury, FBI, USSS, and Homeland Security. Take advantage of free resources such as this BSA Compliance Training Guidebook.
Avoiding risk from turnover
Another concern for AML programs is turnover and BSA/AML staffing needs. When BSA employees exit, institutional knowledge is often lost. Staffing deficiencies should be communicated to the Board of Directors and executive management so they understand the critical nature of being fully staffed with trained team members. With a lack of trained resources, the quality suffers in AML compliance due to deficiencies in enhanced due diligence reviews, SAR reporting, identifying and mitigating fraud losses, and monitoring and managing alerts and cases. As the compliance officer at the credit unions I previously worked for, I was, in most cases, the only employee in my department. If this is the situation at your credit union, it is essential to cross-train employees and create a BSA contingency plan. Put robust policies and deeply detailed procedures in place in case someone needs to act in your absence.
The pandemic aftermath
Now that we have overcome the challenges brought about by the COVID-19 pandemic, let's discuss what processes your credit union had in place pre-pandemic that you may have stopped doing during the lockdown. Did the compliance department conduct branch or onsite visits to higher-risk business members? How did the pandemic impact your disaster recovery, and more importantly, if you had lessons learned, did you update your disaster recovery plan? Supporting remote working environments as a credit union would have been unheard of five years ago. Ensure your disaster recovery plan matches the policy, procedures, and processes you have added or changed since the pandemic. This will prepare you for any future disasters that interrupt your business processes.