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Standard Guidelines Anti-Money Laundering and Counter Financing ...

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STANDARD GUIDELINES ON AML/CFTUPW/GP1those enforcing the controls. In line with this, the Board ofDirectors should ensure the:compliance officer at Head Office <strong>and</strong> at each branch orsubsidiary is appointed; <strong>and</strong>effectiveness of internal audit in assessing <strong>and</strong> evaluatingthe controls to prevent money laundering <strong>and</strong> the financing ofterrorism.10.1.6. The Board of Directors should review <strong>and</strong> assess the AML/CFTpolicies <strong>and</strong> procedures in line with changes <strong>and</strong> developments inthe reporting institution’s products <strong>and</strong> services, technology aswell as trends in money laundering <strong>and</strong> the financing of terrorism.The Senior Management is responsible to implement thenecessary changes to the AML/CFT policies <strong>and</strong> procedures withthe approval of the Board of Directors in ensuring that the currentpolicies are sound <strong>and</strong> appropriate.10.1.7. The Board of Directors <strong>and</strong> the Senior Management should ensurethat there is adequate AML/CFT training provided for itsemployees, including promoting employees’ awareness of theirAML/CFT obligations.10.2. Staff Integrity10.2.1. The Senior Management must ensure the integrity of the reportinginstitution’s employees at all times by establishing an appropriateemployee assessment system (commensurate with the size ofoperations <strong>and</strong> risk exposure of the reporting institution to moneylaundering <strong>and</strong> financing of terrorism), that is approved by theBoard of Directors to adequately screen its employees.10.2.2. The employee assessment system should include evaluation of anemployee’s personal information, including criminal records,employment <strong>and</strong> financial history as part of the recruitmentprocess.10.3. Compliance Officer10.3.1. The Senior Management is responsible to appoint the complianceofficer at Senior Management level who is “fit <strong>and</strong> proper” to carryout his AML/CFT responsibilities <strong>and</strong> can effectively discharge it.In general, the compliance officer acts as the reference point forthe AML/CFT matters, including employees training <strong>and</strong> reportingof suspicious transactions.10.3.2. The reporting institution should inform, in writing, the FinancialIntelligence Unit in Bank Negara Malaysia on the appointment orchange in the appointment of the compliance officer, includingsuch details as his name, designation, office address, office16

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