Cross-Border Payments - Overview

Why Cross-Border Payments Pose AML/CFT Risks

Cross-border payments are any financial transactions that occur between two countries, with the sender and recipient located in different jurisdictions. It involves payment networks, multiple banks and intermediaries, allowing criminals to hide the origin of funds.

 

Cross-border payments involve multiple jurisdictions that increase complexity and reduce transparency due to variations in regulatory standards, secrecy obligations, opaque structures, complex investigations and limited visibility. This creates cross-border payment risk due to regulatory gaps, resulting in exposure to sanctions evasion, money laundering and terrorist financing.

Key AML Risks in Cross-Border Payments

The fragmented nature of cross-border payments exposes financial institutions to sanctioned risks and heightened regulatory scrutiny. As every country is governed by its own AML regulations, which create inconsistencies, these gaps are exploited by criminals to engage in financial crime practices.

 

Criminals use practices such as correspondent banking relationships and intermediaries, which create multi-layered payment chains that enable hiding the origin of funds.

 

Further, criminals use opaque ownership, such as shell companies & trusts, and the use of third-party payments to hide true ownership and source of funds while transacting across borders. These structures enable sanctions evasion, tax evasion, and trade-based money laundering.

 

Moreover, high-speed transactions with inconsistent due diligence and limited visibility make cross-border transactions vulnerable to financial crime.

Red Flags and Suspicious Indicators in Cross-Border Payments

Key red flags that indicate suspicious activity in cross-border payments include the following:

 

  • Unnecessary routing transactions through multiple countries or financial institutions, indicating disguise of source, ownership or destination of funds.
  • Inconsistency between foreign payments and the customer’s profile or expected behaviour, signalling potential ML/TF risks.
  • Multiple, small transactions just below the thresholds, indicating techniques such as structuring or smurfing.
  • Use of intermediaries without any clear business rationale or logical business reason, suspecting a deliberate attempt to hide the true beneficial ownership.

Regulatory Expectations for Monitoring Cross-Border Payments

Regulatory authorities require financial institutions and DNFBPs to implement an effective AML/CFT program to identify, prevent and report cross-border suspicious transactions. The expectations include adopting a risk-based approach, performing enhanced due diligence for high-risk customers and using transaction monitoring systems to detect unusual patterns in real time.

 

Regulated entities should also screen individuals, entities and transactions against sanctions watchlists, maintain traceable data for all transactions, and perform investigations for potential matches to report timely to relevant authorities. With this, entities must maintain customer records and an effective audit trail for every activity and escalate anomalies, system failures, and breaches to implement corrective measures.

Managing Cross-Border Payment Risk with Citadel365

Citadel365 provides a centralised platform by integrating KYC, screening, monitoring and risk assessment to combat cross-border financial crime risks. The customer onboarding software identifies and verifies customers before initiating international transfers.

 

The customer risk assessment software analyses business model, geographic exposure and payment behaviour to assign risk scores and develop customer profiles.

 

Further, the name screening software scans customers, transactions and counterparties against the sanctions, PEP database and adverse media sources to avoid dealing with sanctions or develop risk mitigation strategies for high-risk customers.

 

Moreover, the transaction monitoring software evaluates cross-border financial transactions in real time to detect money laundering and sanction evasion typologies and red flags.

 

In addition, the case management software helps manage suspicious international activity investigations. The effective audit trails provide an unalterable log of all actions, enabling transparency and accountability for regulatory inspections and compliance.

Strengthening Controls for Cross-Border Transactions

Regulated entities must strengthen their compliance controls to meet AML regulatory expectations while engaging in cross-border transactions. These include:

 

  • Entities must assess geographic risk linked to individuals/entities before establishing a business relationship as part of customer due diligence.
  • Incorporate factors such as cross-border exposure while assessing the risk of a customer or a specific transaction to develop adequate customer risk profiles.
  • Perform ongoing monitoring to track international payment patterns to detect anomalies such as unexpected high-value transactions, payments to/from unusual geographies.
  • Maintain centralised documentation to support regulatory reviews and enforcement.

Cross-Border Payments FAQs for AML Professionals