كتاب روابط اجتياز لـ 3.3.1.4. Ongoing Monitoring
3.3.1.4. Ongoing Monitoring
يسري تنفيذه من تاريخ 31/10/2022Under Article 12 of the AML-CFT Decision, insurance operators are required to subject all customers to ongoing monitoring throughout the business relationship. Ongoing monitoring ensures that the operator’s products and services are being used in accordance with the customer profile developed through CDD during onboarding, and that transactions are normal, reasonable, and legitimate.
Insurance operators are required to ensure that the CDD information they hold on all customers is accurate, complete, and up to date. This is particularly crucial in the context of customers that are companies or that engage in business. Operators should update CDD for all customers on a risk-based schedule, with CDD on higher-risk customers being updated more frequently. EDD on all customers should involve more frequent CDD updates.
CDD updates should include a refresh of all elements of initial CDD, and in particular should ascertain that:
• | The customer’s beneficial owners remain the same; | |||
• | The customer continues to have active status with a company registrar; | |||
• | The customer has the same legal form and is domiciled in the same jurisdiction; and | |||
• | The customer is engaged in the same type of business and in the same geographies. |
In addition to a review of the customer’s CDD file, under Article 7 of the AML-CFT Decision, the operator must also review the customer’s transactions to ensure that the transactions conducted are consistent with the information they have about the customer, their type of activity and the risks they pose, including, when necessary, the source of funds. It must determine whether they continue to fit the customer’s profile and business and are consistent with the business the customer is expected to engage in when the business relationship was established. This type of transaction review is distinct from the transaction monitoring discussed in section 3.4 below and its purpose is to complement it by identifying behaviors, trends, or patterns that are not necessarily subject to transaction monitoring rules. The techniques used for transaction review will vary depending on the customer. For lower-risk customers, a review of alerts, if any, is likely to be sufficient. For higher-risk customers, a more intensive review may be necessary. For customers with a large volume of transactions, operators may use data analysis techniques.
If the review finds that the customer’s behavior or information has materially changed, the operator should risk-rate the customer again. New information gained during this process may cause the operator to determine that EDD is necessary or may bring the customer into the category of customers for which EDD is mandatory (i.e., customers that are PEPs, or owned or controlled by PEPs, the direct family members or associates known to be close to the PEPs; customers that are based in high-risk jurisdictions; etc.).
Operators may consider requiring that the customer update them on any changes in its beneficial ownership or business activities. Even if this requirement is in place, however, operators should not rely on the customer to notify it of a change but should still update CDD on a schedule appropriate to the customer’s risk rating.