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TAIEX Technical assistance and Information Exchange instrument

TAIEX Technical assistance and Information Exchange instrument April 2015 Damjan Režek. Persons under obligation. banks; savings banks; payment institutions; post office;

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TAIEX Technical assistance and Information Exchange instrument

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  1. TAIEX TechnicalassistanceandInformation Exchange instrument April 2015 Damjan Režek

  2. Personsunderobligation banks; savings banks; payment institutions; post office; management companies of investment funds, founders and managers of mutual pension funds and pension companies; brokerage companies; insurance companies; electronic money; currency exchange offices; auditing firms and independent auditors; concessionaires organising special gaming in casinos or gaming halls; organisers regularly offering sport wagers; organisers and concessionaires offering games of chance via the Internet or other telecommunications means; pawnbroker shops;

  3. legal entities and natural persons conducting business relating to: granting credits or loans, factoring and financing of commercial transactions, including forfeiting; financial leasing; issuing and management of other payment instruments (for instance, bills and traveller’s cheques),; issuing of guarantees and other commitments; portfolio management services to third parties and related advice; safe custody services; mediation in the conclusion of loan and credit transactions; insurance agency services for the purpose of concluding life insurance contracts; insurance intermediaries in concluding life insurance contracts; accounting services; tax advisory services; trust and company services;trade in precious metals and precious stones and products made from these materials; trade in works of art; organisation or execution of auctions or real property transactions

  4. DUTIES OF THE OBLIGED ENTITIES - Allobligedentitiesshouldreport to the Office on alltransactionssuspected to beconnectedwith ML/TF • ObligedentitiesfromtheArticle 4 of APMLTF (financialinstitutions, accountants, casinos, traderswitharts, real assetsetc.) shouldsend a report to the Office on everycashtransactionexceeding 30.000 EUR (at once or within 3 workingdaysafterthetransactionhasbeenperformed) • Customerduediligence - Customsauthorities are obliged to report to the Office everyimport or exportofcashexceeding 10.000 EUR entering or leaving EU (within 3 days)

  5. Appointment of authorised person and his/her deputy (organisations of fewer than four employees) • Education and professional training • Participation in drawing up the list of indicators

  6. Verificationof the identity of a customer The customer’s identity shall also be determined and/or verified in the following cases: upon the customer’s entry into a casino or gaming hall; each time the customer accesses the safe.

  7. personal name, permanent or temporary address, date and place of birth of the natural person entering the casino or gaming hall the date and time of entering the casino or gaming hall

  8. ROLE OF FIU IN CASE OF THE SUSPICION ON ML/TF • Requestsforadditionaldata, information, documentationfromobligedentitiesthathave to besent in 15 days • Request to a stateauthority or holderofpublicauthorityforthesubmissionofthedata • Reguest to a lawyerandnotaryforthesubmissionofthedata • Monitoringof a customer’s financialtransactions • Suspending a transaction

  9. PROBLEMS - CHALLENGES Involvementofthe “professionalmoneylaunderers” Physicaltransfersofcash Use ofcompanies, whichactivitieshavebeenbased on cash (casinos, lotteries, internet etc.) Use ofoff-shoreterritories Involvementoftransitioncountries Electronicbanking

  10. SUPERVISION Supervision of implementing the provisions of FIU regulations shall be exercised within their competencies by: a) the Office, b) Bank of Slovenia, c) Securities Market Agency of the Republic of Slovenia, d) Insurance Supervision Agency, e) Office of the Republic of Slovenia for Gaming Supervision, f) Tax Administration of the Republic of Slovenia, g) Market Inspectorate of the Republic of Slovenia, h) Slovenian Audit Institute, i) Bar Association of Slovenia, and j) Chamber of Notaries of Slovenia.

  11. The supervisory bodies shall have the right and duty to: 1. order measures to remedy the irregularities and deficiencies within the time limit asspecified by it; 2. carry out proceedings in accordance with the law regulating offences; 3. propose the adoption of appropriate measures to the competent authority; 4. order other measures and perform acts for which it is authorised by law or any other regulation

  12. Casse 1 Suspicioustransactionsreportfrom casino Reasonsfor suspicion of money laundering: Slovenian citizen camein tothe casino at 13:14 and left at 04:16 Heplayed on slot machines that allow payment in cash in the amount of € 2,500 Hepaid a minimum bet of € 5 EUR After a few games, he stopped playing and slot machine had issuedhima certificate for payment

  13. hehadconfirmationthat the received thecash in casino procedure was repeated 41x (casino was provided all the documents relating to the payments), and at the end he had a certificate of winnings in the amount of € 101,393 • at cash deskhegotcash in the amount of 2,500 EUR - app.20 EUR

  14. Activitiesof FIU • we obtained thedata on all his entries in to the casinos in Slovenia • we obtained from the bank data about transactions on his bank account • we sent the notification on suspicious transactionstotheCriminal police

  15. Reasonsfor suspicion of money laundering suspicion that he needed a certificate of winnings to cover the illegal assets derived from crim suspicion that the transactions werecarried out forsomeone else andthatheappeared only as a „straw man“

  16. Casse 2 - Italian citizen is a regular guest in one of Slovenian casinos 2011 – 61x (from 1.7.2011) 2012 – 53 x 2013 – 38x 2014 – 18x (since 17.4.2014) hehas Privilege account in this casino.Heexecuted 510 cashdeposits in the totalamount of € 11.5 million Suspicioustransactionsreportfrom casino

  17. a small part of the funds was spent forgambling, a part waswithdrawn in cash, part wassent todiferentbank accounts: • 200.000 EUR to bank account in Italy • 170.000 EUR to bank account in Romania • 150.000 EUR to bank account in Slovenia • 150.000 EUR to bank account in Austria • 200.000 EUR to another bank account in Slovenia • 350.000 EUR to another bank account in Austria • 200.000 EUR to another bank account in Austria

  18. and not the owner of the account - it is important that as the sender of funds has been statedcasino

  19. Activitiesofthe FIU - we obtained data about transactions on his bank accounts opened in Slovenian banks • hesigned a long-term deposit contracts withthe Bank • we checked the database of cash transactions and found that heexecuted982 cash transactions

  20. Reasonsfor suspicion of money laundering Italian citizen has brought large sums of cash that wasnot spent on gambling withdeposits of cash on Privilegeaccount hecarried out the first stage of money laundering „placement“ an amount of € 1,420,000 was transferred to his bank accounts.Heexecuted the second phase of money laundering „layering“. He tried to hide the realsource of the money We informedon our findingsCriminalpolice and SOVA

  21. Methods of Money Laundering through the Use of Casino Value Instruments: Purchase of chips or credits with subsequent redemption of value by way ofpaymentdocument Purchase of chips or winnings from “clean” players at a higher price Use of chips as currency in illegal transactions

  22. Indicators of Money Laundering Suspicions Related to the Use ofCasinoValueInstruments The following indicators may point out to the possible existence of moneylaundering schemes through the use of casino value instruments: Purchases and cash outs of casino chips with little or no gaming activity; Multiple exchanges of cash for chips and vice versa during the same day; Similar or equal amount of purchased and cashed out chips; Customer purchases chips and leaves casino shortly after; Purchase of chips through third parties; Detection of chips brought by customers into the casino; Customer presents for payout chip purchase vouchers dated prior to date ofredemption;

  23. Customer requests to add cash to casino winnings, and then exchanges thecombined amount for a single cheque or bank draft; Customer purchases chips by depositing multiple cheques or bank drafts intoindividual account, or requests the winnings to be paid out in form of multiplecheques or bank drafts; Customer inserts funds into gaming machines and claims those funds as credits onindividual account with little or no gaming activity; Customer claims gaming machine credit payouts with no jackpot;

  24. Customer frequently inserts substantial amounts of cash in gaming machines thathave high payout percentages and does not play "max bet" to limit chances ofsignificant losses or wins, thereby accumulating gaming credits with minimal play; Customer requests transfer of credits to individual account with another casino; Abrupt changes in wagering or betting pattern; Customer’s intention to win is absent or secondary.

  25. Methods of Money Laundering through the Structuring of Transactions Regulardepositingofcash Use of third parties to undertake transactions Utilizing shift changes to conduct transactions Regularly switching the place of gaming Requesting division of winnings

  26. Indicators of Money Laundering Suspicions Related to the Structuring of Transactions Frequent purchases of value instruments and (or) frequent wagers in cash just below the identification and (or) reporting disclosure thresholds; Purchases of value instruments with cheques issued by different banks with face value just below the identification and (or) reporting disclosure thresholds; Purchases of value instruments with cheques issued on behalf of third parties

  27. A third party is present for all transactions of the customer, but does not participate in the actual transaction; Use of the customer’s individual account by third parties; Cash received from third party for purchasing chips; Cash handed to third party after exchanging chips; Transfer of funds from one individual account to multiple individual accounts; Transfer of funds from multiple individual accounts to one individual account;

  28. Customer waits for changes of casino personnel shift to purchase or exchange chips just below the identification and (or) reporting disclosure thresholds; Customer moves from table to table or room to room or leaves the casino every time before the amounts of transactions reach the identification and (or) reporting disclosure thresholds; Customer requests the winnings to be paid out in form of separate cash amounts, multiple cheques or bank drafts just below the identification and (or) reporting disclosure thresholds.

  29. Methods of Money Laundering through the Refining of Banknotes Refining at the cashier’s desk Refining through “note acceptors” or gaming machines that accept cash Use of individual casino accounts for refining

  30. Indicators of Money Laundering Suspicions Related to the Refining of Banknotes Customer in possession of large amounts of bills or coinage; Attempt to exchange low denomination notes for high denomination ones for various reasoning; Insert low denomination banknotes in “note acceptors” or gaming devices with little or no gaming activity before redeeming the credits for high denomination banknotes; Deposit amounts in low denomination banknotes on individual account with little or no play before redeeming the balance of account for high denomination banknotes.

  31. Methods of Money Laundering through the Use of Individual Accounts and Safe Deposit Boxes Deposits into casino account by various means of payment Deposits into casino accounts by wire transfer Use of foreign individual holding accounts Use of safety deposit boxes

  32. Indicators of Money Laundering Suspicions Related to the Use of Individual Accounts and Safe Deposit Boxes Deposits of cash, cheques, and wire transfers into individual account inconsistent with customer profile; Funds withdrawn from individual account shortly after being deposited; Significant movement of funds through the individual account with little or no gambling activity; Funds credited into an individual account from banks or other individual accounts in high-risk countries, from unknown sources;

  33. Funds debited from an individual account to banks or other individual accounts in high-risk countries, to unknown beneficiaries; Use of intermediaries (authorized representatives) to undertake transactions; Funds transferred to customer’s individual account from a corporate accounts; U-turn transactions occurring with funds being transferred (out of country) and then the same or similar amounts being returned; Third parties regularly make use of the customer’s individual safe deposit box.

  34. Methods of Money Laundering through the Use of False Documents and Means of Payment Use of false identification data Use of forged means of payment

  35. Indicators of Money Laundering Suspicions Related to the Use of False Documents and Means of Payment Customers introducing themselves under a fictitious name or different names; Use of identification document with altered or missing entries; Inconsistent and contradictory identity information presented; Refusal to present any identification document and (or) personal data; Counterfeit banknotes or cheques used for purchasing value instruments or replenishing individual account; Forged non-cash means of payment (e.g. debit, credit or gift cards) used for purchasing value instruments or replenishing individual account.

  36. Methods of Money Laundering through Conspiracy for Fixed Game Fixed game with another customer Fixed game with a casino employee

  37. Indicators of Money Laundering Suspicions Related to Conspiracy for Fixed Game Even-money wagering when conducted by a pair of betters covering both sides of an even bet (e.g., in roulette, baccarat/mini-baccarat); Two or more pairs of customers frequently playing at the same table; Two or more pairs of players frequently wagering against one another (the win of one player is “accompanied” by the loss of the other);

  38. Customer attempting to befriendwith casino employees; Customer prefers to play at the table serviced by a certain dealer; Contacts or connections between customers and casino staff outside of the casino.

  39. Other Transactions inconsistent with customer profile; High volume of transactions within a short period; Abrupt increase in the volume of transactions; Customers pertaining to high-risk groups (e.g. PEPs); Negative information on costumer (e.g. criminal records).

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