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View All Comment Letters and Position Papers

Pending Comment Letters

Your comments are extremely important to us to provide the best response by WOCCU to these regulatory proposals.

Listed below are all pending regulatory actions for which WOCCU intends to submit a Comment Letter. The listed date is the date by which Comments are due to the respective agency.  All Comment Letters filed by WOCCU can be viewed on the Comments & Position Papers tab. Comments filed by the European Network of Credit Unions can be found here.

Please be sure to provide us with your comments in advance of the Due Date so that we may include them in our Comment Letter.


Agency Pending Comment Letters Due Date
Financial Action Task Force AML/CFT and Financial Inclusion - Proposed Changes to FATF Standards December 6, 2024
 

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WOCCU Applauds FATF Strengthening of Beneficial Ownership Standards

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FATF

The Financial Action Task Force made amendments to FATF Recommendation 24 and its Interpretive Note to strengthen the international standards on beneficial ownership of legal persons to ensure greater transparency about the ultimate ownership and control of legal persons.  This not only will mitigate the risks of their misuse, but will require Countries to have a public authority or body function as a beneficial ownership registry (or alternative mechanism) that can provide efficient access to adequate, accurate and up-to-date beneficial ownership information by competent authorities.

If implemented properly, these changes have the potential to reduce the regulatory burden for credit unions at account opening when performing due diligence for purposes of their AML/CFT requirements.  Obtaining beneficial ownership information often present numerous challenges for credit unions and at times can prevent access to legitimate financial transactions or services.

Further, the rules will address the significant misuses of legal persons for money laundering, terrorist financing, and also for proliferation financing in many jurisdictions. 

WOCCU has consistently called for such a database to be maintained by national authorities that credit unions can rely on when performing their AML/CFT obligations. 

A copy of the release by FATF can be viewed here.



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