On November 19, 2018, the Executive Board of the International Monetary
Fund (IMF) discussed the staff report: “Review of the Fund’s Strategy on
Anti-Money Laundering and Combating the Financing of Terrorism (AML/CFT).”
The staff report provides an overview of the Fund’s AML/CFT program, since
the last review conducted in 2014 and seeks the endorsement of the
Executive Board to continue on the basis of the directions given in 2014,
with one minor adjustment proposed in relation to Fund-led AML/CFT
assessments.
The staff report takes note of the multipronged approach which has enabled
the Fund to address issues related to money laundering, terrorist
financing, proliferation financing, and broader financial integrity-related
issues, including developing and emerging issues such as those related to
correspondent banking relationships (CBR) and financial technology
(Fintech). It identifies staff’s efforts to increase synergies between the
different workstreams in order to strengthen the efficiency and impact of
the Fund’s AML/CFT work—including in surveillance, Fund-supported programs,
Financial Sector Assessment Programs, and Fund’s capacity development (CD)
activities, including AML/CFT assessments and other related policy work.
The staff report suggests that while the Fund’s AML/CFT program remains
appropriate, in order to expand its reach and maximize the impact of the
Fund’s overall involvement in AML/CFT assessment work, consideration should
be given to shift to fewer Fund-led assessments but increase staff’s
participation in the quality and consistency review of other assessment,
and training efforts. Going forward, the Fund will continue to cooperate in
these areas with the World Bank, the Financial Action Task Force (FATF),
the FATF-Style Regional Bodies (FSRBs), and other stakeholders.
Executive Board Assessment
[1]
Executive Directors welcomed the opportunity to review the Fund’s strategy
on AML/CFT. They agreed that the Fund’s work has significantly contributed
to the international community’s response to money laundering, the
financing of terrorism and of the proliferation of weapons of mass
destruction, and financial integrity concerns more generally. They welcomed
the Fund’s contributions to the global AML/CFT policy agenda and encouraged
continued cooperation with the World Bank, the FATF, the FSRBs, and other
stakeholders.
Directors welcomed the multipronged approach taken in addressing members’
financial integrity issues and agreed that the Fund’s AML/CFT strategy
remains appropriate in addressing the risks and providing tailored advice
to members in all relevant workstreams. They also welcomed staff’s efforts
in increasing the synergies between different workstreams to strengthen the
efficiency and impact of the Fund’s AML/CFT work. Looking ahead, a number
of Directors saw a need to have better data to assess more comprehensively
the effectiveness of the Fund’s work in this area.
Directors noted that deficiencies in a country’s AML/CFT regime can have
important implications for macroeconomic and financial stability. They
supported the direction taken by staff in addressing financial integrity
issues in Article IV consultations and Fund-supported programs. They
encouraged staff to continue its efforts to integrate financial integrity
issues into Fund surveillance in line with the 2012 Guidance Note and the
Integrated Surveillance Decision, and in Fund-supported programs when the
requirements of the Guidelines on Conditionality are met. Directors
emphasized the continued need for evenhandedness in the coverage of these
issues in surveillance and Fund-supported programs, in a complementary
manner with the framework for enhanced Fund engagement on governance, and
paying due regard to countries’ institutional, capacity, and resource
constraints.
Directors reaffirmed that updates on AML/CFT issues are an important part
of the FSAP, and noted the complementarity of staff’s work on financial
integrity issues in the FSAP and Article IV consultations. They welcomed
the flexibility exercised with respect to the scope of the AML/CFT update,
and staff’s efforts to supplement, where necessary, the information derived
from AML/CFT assessment reports. In this regard, a number of Directors
stressed the need to avoid duplication of work and to be mindful of the
resource implications for the Fund and the country involved. Directors
noted that going forward, greater reliance on assessment reports is
expected as more become available.
Directors agreed that AML/CFT assessments are more complex and resource
intensive than originally anticipated, mainly due to the 2013 FATF
methodology for assessing the effectiveness of AML/CFT measures. They noted
that, with the expansion of the FATF and the network of FSRBs in recent
years, the Fund has increasingly drawn upon the FATF/FSRBs’ assessments for
purposes of its own work, in application of the burden-sharing arrangements
between the Fund, the World Bank, and the FATF/FSRBs. Directors welcomed
the steps taken by the FATF/FSRBs to strengthen the review mechanisms and
stressed the continued importance of ensuring the adequate quality and
consistency of assessment reports across the range of assessor bodies. In
this context, they broadly agreed with staff’s proposal to continue the
current approach of conducting a minimum of one to two assessments per year
while maintaining increased participation in global quality and consistency
review mechanisms and in assessment related training. A number of Directors
urged staff to exercise flexibility and undertake additional assessments as
demand warrants, particularly in countries with systemically or regionally
important financial sectors or that face high money laundering or terrorist
financing risks. A number of Directors also felt strongly that Fund staff
should participate, on an exceptional basis, in assessments led by other
AML/CFT assessor bodies.
Directors welcomed the CD activities provided by staff to members’
authorities on AML/CFT issues. They emphasized the importance of ensuring
the efficiency and agility of the Fund’s AML/CFT CD program to meet the
increasing and evolving demand from the membership. They saw a role for CD
in enhancing the effectiveness of implementation of AML/CFT regimes. They
welcomed staff’s efforts to prioritize CD engagement in low capacity
countries, support surveillance and Fund-supported programs through CD
activities, and coordinate with other AML/CFT CD providers to avoid
duplication of work. They also supported staff’s efforts to adapt and
upgrade the CD program to address current and emerging issues, in
particular those related to pressures on CBR and to Fintech. A few
Directors also called for an increase in resources for the Fund’s CD
program for countries facing an imminent risk of withdrawal of CBR due to
weaker AML/CFT frameworks. Directors took note of the need to re-evaluate
the current CD funding model in the medium term to ensure that it remains
appropriate, sustainable, and in line with the Fund’s overall CD strategy.
Directors looked forward to the results of the evaluation of the
effectiveness of Phase II of the Thematic Fund. A few Directors also called
for increased Board engagement in Fund AML/CFT CD to provide strategic
guidance on both internally and externally financed activities.
Directors commended staff on its efforts to address financial integrity
considerations in the context of broader current and emerging policy
issues, such as with regard to CBR, Fintech, and illicit financial flows.
Directors looked forward to greater information on the resource
implications of the increased demand for financial integrity work in all
workstreams, which could require an incremental increase in resources over
the medium term.
Directors noted that the next review of the AML/CFT program would be
expected to be completed within the next five years.