2025-02-28
Issued jointly by the Bank of Ghana and the Financial Intelligence Centre, these 2024 guidelines mandate Foreign Exchange Bureaux to implement risk-based Anti-Money Laundering, Combating the Financing of Terrorism and Proliferation (AML/CFT&P) compliance programmes. The regulations require bureaux to appoint an Anti-Money Laundering Reporting Officer, conduct rigorous Customer Due Diligence using verified identification documents, and screen customers against domestic and international sanctions lists. Furthermore, the guidelines establish mandatory reporting thresholds for suspicious and cash transactions, enforce a five-year record-keeping period, and prescribe administrative penalties for non-compliance to mitigate financial crime risks.
PUBLIC PUBLIC NOTICE NO. BG/GOV/SEC/2025/04 AML/CFT&P GUIDELINES FOR FOREIGN EXCHANGE BUREAUX 2024 Page | i
PUBLIC PUBLIC BANK OF GHANA AND FINANCIAL INTELLIGENCE CENTRE ANTI-MONEY LAUNDERING/COMBATING THE FINANCING OF TERRORISM & THE PROLIFERATION OF WEAPONS OF MASS DESTRUCTION (AML/CFT&P) GUIDELINES FOR FOREIGN EXCHANGE BUREAUX SEPTEMBER 2024 Page | ii
PUBLIC PUBLIC TABLE OF CONTENTS LIST OF ABBREVIATIONS ....................................................................................................................... v INTRODUCTION........................................................................................................................................ vi APPLICABILITY ....................................................................................................................................... vii SCOPE OF UNLAWFUL ACTIVITIES .................................................................................................... vii PART A.........................................................................................................................................................1 1.0 OBLIGATIONS AND CO-OPERATION AMONG COMPETENT AUTHORITIES......................1 1.1 AML/CFT&P OBLIGATIONS OF BANK OF GHANA ...........................................................1 1.2 CO-OPERATION AND INFORMATION SHARING...............................................................1 1.2.1 BANK OF GHANA AND OTHER COMPETENT AUTHORITIES OR SUPERVISORY BODIES................................................................................................................1 1.2.2 FOREIGN EXCHANGE BUREAUX AND OTHER COMPETENT AUTHORITIES ................................................................................................................................2 PART B.........................................................................................................................................................3 2.0 ELEMENTS OF EFFECTIVE AML/CFT&P PROGRAMME..........................................................3 2.1 AML/CFT&P POLICY.................................................................................................................3 2.2 AML/CFT&P GOVERNANCE FRAMEWORK........................................................................3 2.2.1 CULTURE OF COMPLIANCE..................................................................................3 2.2.2 APPOINTMENT OF DIRECTORS ...........................................................................3 2.2.3 ROLE OF THE DIRECTORS / MANAGEMENT....................................................3 2.2.4 ROLE AND DUTIES OF ANTI – MONEY LAUNDERING REPORTING OFFICER (AMLRO)........................................................................................................................4 2.2.5 OUTSOURCING OF FUNCTION..............................................................................5 2.2.6 INTERNAL CONTROLS............................................................................................5 2.2.7 TESTING FOR THE ADEQUACY OF THE AML/CFT&P PROGRAMME.......5 PART C.........................................................................................................................................................7 3.0 CUSTOMER DUE DILIGENCE (CDD) PROCEDURE...................................................................7 3.1 IDENTIFICATION........................................................................................................................7 3.2 VERIFICATION............................................................................................................................7 3.3 FAILURE TO COMPLETE CDD................................................................................................8 3.4 TRANSACTION MONITORING................................................................................................8 Page | iii 3.5 SUSPICIOUS ACTIVITY/TRANSACTION RED FLAGS.......................................................8
PUBLIC PUBLIC 3.6 SUSPICIOUS ACTIVITY/TRANSACTION REPORT.............................................................8 3.7 CASH TRANSACTION REPORT (CTR)...................................................................................9 3.8 TIPPING OFF................................................................................................................................9 3.9 SANCTIONED CUSTOMERS.....................................................................................................9 3.10 KNOW YOUR EMPLOYEE (KYE)........................................................................................9 3.11 EMPLOYEE TRAINING PROGRAMME...........................................................................10 3.12 RECORD KEEPING...............................................................................................................12 3.12.1 MAINTENANCE OF RECORDS ON TRANSACTIONS...................................................12 3.13 SANCTIONS FOR NON-COMPLIANCE............................................................................12 3.14 EFFECTIVE DATE.................................................................................................................12 APPENDIX A - INTERPRETATION ........................................................................................................13 APPENDIX C - MONEY LAUNDERING, TERRORIST FINANCING AND PROLIFERATION FINANCING RED FLAGS.........................................................................................................................18 APPENDIX D – EXPLANATORY NOTES ..............................................................................................21 APPENDIX E - STATUTORY RETURNS................................................................................................30 REFERENCES............................................................................................................................................32 Page | iv
PUBLIC PUBLIC LIST OF ABBREVIATIONS AI - Accountable Institution (Foreign Exchange Bureaux) AML - Anti-Money Laundering AML/CFT&P - Anti-Money Laundering, Combating the Financing of Terrorism and the Proliferation of Weapons of Mass Destruction AMLRO - Anti-Money Laundering Reporting Officer BOG - Bank of Ghana CDD - Customer Due Diligence CFT - Combating the Financing of Terrorism CTR - Cash Transaction Report ECOWAS - Economic Community of West African States FATF - Financial Action Task Force FIC - Financial Intelligence Centre KYC - Know Your Customer KYE - Know Your Employee ML - Money Laundering ML/TF&PF - Money Laundering, Terrorism Financing and Proliferation Financing NGO - Non-Governmental Organisation NIA - National Identification Authority OFAC - Office of Foreign Assets Control PF - Proliferation Financing SAR - Suspicious Activity Report STR - Suspicious Transaction Report TF - Terrorism Financing UN - United Nations UNSCRs - United Nations Security Council Resolutions Page | v
PUBLIC PUBLIC INTRODUCTION ML/TF&PF are global phenomena that have gained recognition in recent times, and indeed welldocumented evidence indicate that ML/TF&PF pose major threats to international peace and security which could seriously undermine Ghana’s development and financial stability. Consequently, Ghana has made concerted efforts to address ML/TF&PF risks. The enactment of the Anti-Money Laundering Act, 2008 (Act 749); Anti-Money Laundering (Amendment) Act, 2014 (Act 874); Anti-Terrorism Act, 2008 (Act 762); Anti-Terrorism (Amendment Act), 2012 (Act 842); Anti-Terrorism (Amendment Act), 2014 (Act 875); Anti-Money Laundering Regulations, 2011 (L.I.1987) and the subsequent passage of the Anti-Money Laundering Act, 2020 (Act 1044) has intensified Ghana’s efforts towards the fight against Money Laundering, Terrorism Financing and Proliferation Financing (ML/TF&PF). However, Foreign Exchange Bureaux, in particular, have come under sustained regulatory scrutiny to improve their monitoring and surveillance systems with a view to detecting, preventing, and mitigating ML/TF&PF risks. This Guidelines covers among others the following key areas of any AML/CFT&P programme: i. Anti-Money Laundering Reporting Officer designation and responsibilities; ii. Co-operation with the Supervisory Authority; iii. Customer Due Diligence; iv. Risk assessment; v. Monitoring and reporting of suspicious transactions; vi. Regulatory reporting requirements; vii. Recordkeeping; and viii. AML/CFT&P employee training programmes. Foreign Exchange Bureaux are exposed to varying ML/TF&PF risks through unlawful activities with serious financial and reputational damages if they fail to manage these risks adequately. Diligent implementation of the provisions of this Guidelines will not only minimise the risks faced by Foreign Exchange Bureaux of being used to launder the proceeds of crime but also provide Page | vi
PUBLIC PUBLIC protection against economic and organised crime, reputational and financial risks. In this regard, Foreign Exchange Bureaux are required to adopt a risk-based approach in the identification and management of ML/TF&PF risks. Foreign Exchange Bureaux shall ensure that AML/CFT&P policies governing their operations do not only prescribe money laundering and predicate offences but also prescribe sanctions for non-compliance with the relevant AML/CFT&P requirements. It is, therefore, in the best interest of the Foreign Exchange Bureaux to entrench a culture of compliance which would be facilitated by these Guidelines. APPLICABILITY This Guidelines shall apply to Bank of Ghana licenced Foreign Exchange Bureaux. OBJECTIVES These Guidelines is issued pursuant to section 52 (e) (i) of Act 1044 and intended to assist Foreign Exchange Bureaux to:
PUBLIC PUBLIC ii. terrorism, including terrorist financing; iii. trafficking in human beings and migrant smuggling; iv. sexual exploitation, including sexual exploitation of children; v. illicit trafficking in narcotic drugs and psychotropic substances; vi. illicit arms trafficking; vii. illicit trafficking in stolen and other goods; viii. corruption and bribery; ix. fraud (use of forged document, forgery, falsification, defrauding by false pretences, fictitious transactions, etc.); x. counterfeiting currency; xi. illegal cross-border transfer of foreign currency; xii. counterfeiting and piracy of products; xiii. environmental crime; xiv. murder, grievous bodily injury; xv. kidnapping, illegal restraint and hostage-taking; xvi. robbery; xvii. stealing (theft); xviii. smuggling; xix. tax Evasion; xx. extortion; xxi. piracy; xxii. insider trading and market manipulation; and xxiii. any other predicate offence under Act 1044, Act 762 as amended and Act 29 as amended. Page | viii
PUBLIC PUBLIC PART A 1.0 OBLIGATIONS AND CO-OPERATION AMONG COMPETENT AUTHORITIES 1.1 AML/CFT&P OBLIGATIONS OF BANK OF GHANA
PUBLIC PUBLIC 1.2.2 FOREIGN EXCHANGE BUREAUX AND OTHER COMPETENT AUTHORITIES
PUBLIC PUBLIC PART B 2.0 ELEMENTS OF EFFECTIVE AML/CFT&P PROGRAMME 2.1 AML/CFT&P POLICY
PUBLIC PUBLIC v. ensuring that the directors/management and employees receive the requisite training on AML/CFT&P annually; vi. ensuring remedial action plans are put in place to address independent audit and regulatory reports findings regarding assessment of the Foreign Exchange Bureaux; vii. complying with all relevant AML/CFT&P laws, regulations, Notices, Directives and Guidelines; viii. ensuring there is a succession plan for the AMLRO function; ix. ensuring the AMLRO receives appropriate training on an ongoing basis to effectively perform his/her duties; and x. ensuring the AMLRO and Internal Audit functions are resourced adequately in terms of personnel, IT systems and budget to implement, administer and monitor the AML/CFT&P programme effectively. 2.2.4 ROLE AND DUTIES OF ANTI – MONEY LAUNDERING REPORTING OFFICER (AMLRO) The functions of the AMLRO shall include: i. Reporting to the directors/management; ii. developing AML/CFT&P policies and procedures that are kept up to date and approved by the directors/management; iii. having oversight of the AML/CFT&P programmmes of Foreign Exchange Bureaux; iv. conducting regular risk assessments of the inherent ML/TF&PF risks in relation to the Foreign Exchange Bureau sector; v. filing Suspicious Activity/Transaction Report and Cash Transaction Reports to the FIC; vi. submitting regulatory reports to the BOG and FIC (Refer to Appendix D); vii. ensuring that ongoing training programmes on ML/TF&PF are current and relevant and are carried out for all employees of the Bureaux; viii. serving as a liaison officer between the BOG and FIC on issues relating to ML/TF&PF; Page | 4
PUBLIC PUBLIC ix. having timely access to customer identification data, CDD information, transaction records and other relevant information; and x. submitting copies of the approved policies/manual to the FIC via email or hard copy. 2.2.5 OUTSOURCING OF FUNCTION Foreign Exchange Bureaux shall not outsource an AML/CFT&P function to any third-party without prior approval of Bank of Ghana. 2.2.6 INTERNAL CONTROLS Foreign Exchange Bureaux shall establish and maintain internal controls to mitigate ML/TF&PF risks by performing the following: i. identifying and verifying customers using the Ghana Card; ii. using counterfeit machines to detect counterfeit currencies; iii. mandatory issuing of electronic receipt; iv. conducting customer due diligence; v. keeping records of all transactions of customers for a minimum of five years; vi. filing of STRs and CTRs; vii. training of employees, directors/management; viii. monitoring of transactions; and ix. submitting of regulatory reports/returns. 2.2.7 TESTING FOR THE ADEQUACY OF THE AML/CFT&P PROGRAMME
PUBLIC PUBLIC 4. Any identified weaknesses or inadequacies should be promptly addressed by the Foreign Exchange Bureaux and BOG / FIC informed. Page | 6
PUBLIC PUBLIC PART C 3.0 CUSTOMER DUE DILIGENCE (CDD) PROCEDURE 3.1 IDENTIFICATION Foreign Exchange Bureaux shall display prominently and legibly in the customer’s lobby a notice to the effect that customers shall always present an identification document and insist on electronic receipts before leaving the counter. Customers Due Diligence procedures shall be applied prior to the commencement of a transaction and appropriate documentation used to establish a customer’s identity. Foreign Exchange Bureaux shall ensure that customers provide the following proof of identification for the sale and purchase of foreign currencies: i. ECOWAS Identity Card (Ghana Card) for Ghanaians; ii. Non-Citizen ECOWAS Identity Card (Non-Citizen Card) for resident foreign nationals; iii. ECOWAS identity card or passport for ECOWAS nationals iv. Passport for Non-resident foreign nationals and shall record the number, date and place/country of issue and dates of issue and expiry; and v. any other form of national identification as the Bank of Ghana may determine. Foreign Exchange Bureaux shall require; i. the residential address for Ghanaians, and ii. for foreign nationals current address in Ghana. Where a customer is acting on behalf of another person, the Foreign Exchange Bureaux shall take reasonable measures to establish the true identity of the ultimate beneficiary. 3.2 VERIFICATION
PUBLIC PUBLIC i. enquire about the purpose of the transaction; and ii. enquire about the source of funds. 3.3 FAILURE TO COMPLETE CDD Where a Foreign Exchange Bureau fails to perform CDD procedures due to customer nonco-operation, the Foreign Exchange Bureau shall file a Suspicious Activity Report (SAR)/Suspicious Transaction Report (STR) with the Financial Intelligence Centre (FIC) within twenty-four hours. 3.4 TRANSACTION MONITORING
PUBLIC PUBLIC 2. Where the staff is not the AMLRO, the suspicious activity/transaction shall be reported to the AMLRO. 3. Where the staff is the AMLRO, the suspicious activity/transaction shall be filed with the FIC within twenty-four hours. 3.7 CASH TRANSACTION REPORT (CTR) Foreign Exchange Bureaux shall report to the FIC through a prescribed medium all sales and purchases of foreign currencies with a threshold of Twenty Thousand Ghana Cedis (GHS20,000.00) or its foreign currency equivalent or amounts as determined by the FIC. 3.8 TIPPING OFF Foreign Exchange Bureaux, their directors/management and employees (permanent and temporary) are prohibited from disclosing that a report has been filed with the FIC. 3.9 SANCTIONED CUSTOMERS
PUBLIC PUBLIC ii. conducting due diligence on the prospective employees and during the course of their employment; iii. verifying the identity and background of the prospective employee (personal information, employment history, authenticity of educational certificates, references, credit history, police check, integrity checks against BoG engaged and disengaged database among others); iv. documenting and keeping evidence of the above processes; v. maintaining records of the names, date of birth, addresses, position, titles and other official information pertaining to employees appointed or recruited; vi. establishing and maintaining procedures to ensure high standards of integrity among employees; and vii. developing a code of conduct to include standards for: a. acceptance of gifts from customers; b. social liaisons with customers; c. disclosure of information about customers who may be engaged in unlawful activities; d. confidentiality; e. detection of any unusual growth in employees’ wealth; f. deterring employees from engaging in unlawful activities; and g. protecting whistleblowers. 2. Foreign Exchange Bureaux shall conduct appraisal of employees’ performance and their compliance with AML/CFT&P requirements. 3. Foreign Exchange Bureaux shall develop and implement disciplinary procedures in the event of breaches of this Guidelines. 3.11 EMPLOYEE TRAINING PROGRAMME
PUBLIC PUBLIC 2. The timing, coverage and content of the employee training programme shall be tailored to meet the needs of the Foreign Exchange Bureaux. 3. Foreign Exchange Bureaux are required to submit their annual AML/CFT&P employee training programme for the ensuing year to the BOG and FIC not later than December 31 every financial year. 4. Foreign Exchange Bureaux shall develop an appropriately tailored training and awareness programme consistent with the Foreign Exchange Bureau’s size and complexities to sensitise employees on emerging risks associated with ML/TF&PF. 5. The employee training programme shall include: i. AML/CFT&P laws, regulations, Directives, Notices, Guidelines; ii. the Nature of ML/TF&PF risks; iii. Money Laundering red flags and suspicious transactions/activities; iv. reporting requirements; v. Customer Due Diligence; vi. Risk-Based approach to AML/CFT&P programme; vii. record keeping and retention policy; and viii. any other AML/CFT&P typologies/trends. 6. Foreign Exchange Bureaux are also required to maintain records of employee training which shall include: i. details of the content of the training programmes provided; ii. the names of employees who have received the training; iii. the date on which the training was delivered; and iv. the results of any testing carried out to measure employees understanding of the ML/TF&PF training. 7. Foreign Exchange Bureaux shall submit an annual report on their level of compliance to the BOG and FIC by January 15 of the following year. 8. Foreign Exchange Bureaux shall fully participate in all AML/CFT&P programmes organised by BOG and/or FIC. Failure to attend shall attract administrative sanctions. 9. The results of any testing carried out to measure employees understanding of the ML/TF&PF training shall be part of employees’ annual performance appraisal. Page | 11
PUBLIC PUBLIC 3.12 RECORD KEEPING Foreign Exchange Bureaux shall keep books and records with respect to customers and transactions for a minimum of five years as set out in section 32 of Act 1044. 3.12.1 MAINTENANCE OF RECORDS ON TRANSACTIONS
PUBLIC PUBLIC APPENDIX A - INTERPRETATION For the proper understanding of this Guidelines, certain terms used within are interpreted as follows: Terms Interpretation Accountable Institution All Bank of Ghana licensed institutions Business Relationship Business relationship is any arrangement between the Foreign Exchange Bureaux and the customer for the purpose of sale and purchase of foreign currencies. FATF Recommendations The Financial Action Task Force (FATF) Recommendations refers to the internationally endorsed global standards against ML/TF&PF. Ghana Card Refers to ECOWAS Identity Card issued by the National Identification Authority of Ghana. ML Money Laundering (ML) means the process where a person attempts to conceal the illegal origin and / or illegitimate ownership of property that are proceeds of their unlawful activities. It is, thus, a derivative crime. PF Proliferation Financing (PF) refers to the act of providing funds or financial services which are used, in whole or in part, for the manufacture, acquisition, possession, development, export, transshipment, brokering, transport, transfer, stockpiling or use of nuclear, chemical or biological weapons and their means of delivery and related materials (including both technologies and dual use goods used for non-legitimate purposes), in contravention of national laws or, where applicable, international obligations. Proceeds Proceeds refers to any property or economic advantage derived from or obtained, directly or indirectly, through unlawful activities and includes economic gains from the property converted or transformed in full or in part into other property. commission of an offence. Page | 13
PUBLIC PUBLIC TF Terrorism Financing (TF) refers to the collection or provision or attempted collection or provision by any means directly or indirectly of funds or other assets with the intention that they should be used or in the knowledge that they are to be used in whole or in part to carry out a terrorist act. Red Flags Red Flags refer to indicators suggesting the likelihood of unlawful ML/TF&PF activities/transactions occurring. Risk Risk refers to the risk of money laundering and/or terrorist financing. Shell bank Shell bank means a bank that has no physical presence in the country in which it is incorporated and licensed, and which is unaffiliated with a regulated financial services group that is subject to effective Source of Funds Source of funds is the origin of funds used for transactions or activities that occur within the business relationship or occasional transaction. In establishing the source of funds, one must understand not only where the funds are coming from but the activities that were involved in generating those funds. Terrorist It refers to any natural person who: i. commits, or attempts to commit, terrorist acts by any means, directly or indirectly, unlawfully and willfully; ii. participates as an accomplice in terrorist acts; iii. organises or directs others to commit terrorist acts; or iv. contributes to the commission of terrorist acts by a group of persons acting with a common purpose where the contribution is made intentionally and with the aim of furthering the terrorist act or with the knowledge of the intention of the group to commit a terrorist act. Page | 14
PUBLIC PUBLIC Terrorist act A terrorist act refers to: an act which constitutes an offence within the scope of, and as defined in one of the following treaties: Convention for the Suppression of Unlawful Seizure of Aircraft (1970), Convention for the Suppression of Unlawful Acts against the Safety of Civil Aviation (1971), Convention on the Prevention and Punishment of Crimes against Internationally Protected Persons, including Diplomatic Agents (1973), International Convention against the Taking of Hostages (1979), Convention on the Physical Protection of Nuclear Material (1980), Protocol for the Suppression of Unlawful Acts of Violence at Airports Serving International Civil Aviation, supplementary to the Convention for the Suppression of Unlawful Acts against the Safety of Civil Aviation (1988), Convention for the Suppression of Unlawful Acts against the Safety of Maritime Navigation (1988), Protocol for the Suppression of Unlawful Acts against the Safety of Fixed Platforms located on the Continental Shelf (1988), and the International Convention for the Suppression of Terrorist Bombings (1997), successor Resolution and other relevant Resolution; and any other act intended to cause death or serious bodily injury to a civilian, or to any other person not taking an active part in the hostilities in a situation of armed conflict, when the purpose of such act, by its nature or context, is to intimidate a population, or to compel a government or an international organization to do or to abstain from doing any act. Page | 15
PUBLIC PUBLIC Terrorist organization Refers to any group of terrorists that: • commits, or attempts to commit, terrorist acts by any means, directly or indirectly, unlawfully and willfully; • participates as an accomplice in terrorist acts; • organises or directs others to commit terrorist acts; or • contributes to the commission of terrorist acts by a group of persons acting with a common purpose where the contribution is made intentionally and with the aim of furthering the terrorist act or with the knowledge of the intention of the group to commit a terrorist act. Transaction Sales and purchases of foreign currency Page | 16
PUBLIC PUBLIC APPENDIX B – SUPERVISORY GUIDANCE NOTE ON THE USE OF THE GHANA CARD For the complete guidance note on the use of the Ghana Card, please refer to Supervisory Guidance Note on the Use of the Ghana Card for Accountable Institutions issued by the Bank of Ghana in June, 2022 and available on the Bank of Ghana Website. Page | 17
PUBLIC PUBLIC APPENDIX C - MONEY LAUNDERING, TERRORIST FINANCING AND PROLIFERATION FINANCING RED FLAGS Monitoring and reporting of suspicious transactions is key to AML/CFT&P effectiveness and compliance. Foreign Exchange Bureaux are, therefore, required to put in place effective and efficient transaction monitoring programmes to facilitate the process. Although the types of transactions which could be used for ML/TF&PF risks are numerous, it is possible to identify certain basic features which tend to give reasonable cause for suspicion of ML/TF&PF risks. This appendix, which lists various transactions and activities that indicate potential ML/TF&PF risks, is not exhaustive. It does reflect the ways in which ML/TF&PF have been known to operate. Transactions or activities highlighted in thislist are not necessarily indicative of actual ML/TF&PF risks if they are consistent with a customer’s legitimate business. Identification of any of the types of activities/transactions listed here shall assist F o r e i g n Exchange Bureaux in the process of determining if an activity/transaction is suspicious. Stages of Money Laundering Money laundering process is accomplished in three stages as follows: (a) Placement – the physical disposal of the initial proceeds derived from illegal activity. (b) Layering – separating illicit proceeds from their source by creating complex layers of financial transactions designed to disguise the audit trail and provide anonymity. (c) Integration – the provision of apparent legitimacy to criminally derived wealth. If the layering process has succeeded, an integration scheme places the laundered proceeds back into the economy in such a way that they re-enter the financial system appearing as normal business funds. The three basic steps may occur as separate or distinct phases. Alternatively, they may occur simultaneously or, more commonly, they may overlap. How the basic steps are used depends on the available laundering mechanisms and the requirements of the criminal organisation Page | 18
PUBLIC PUBLIC MONEY LAUNDERING RED FLAGS a. Activities/transactions involving high-risk countries / jurisdictions vulnerable to ML/TF&PF risks. b. Activities/transactions involving shell banks/companies. c. Activities/transactions with customers that have been identified as high-risk. d. Activities/transactions involving amounts that are just below the stipulated reporting threshold by the Bank of Ghana or enquiries that appear to test an institution’s controls. e. Minimal, vague or fictitious information on the activity/transaction provided by a customer; f. The nature, amount and type of currencies involved; g. Customer is reluctant to provide details of identification document; h. Large sales and purchases of foreign currencies; i. Size and frequency of sales and purchases of foreign currencies; j. Change in the pattern of sale and purchases of foreign currencies; k. Significant increases in foreign exchange sales and purchases by customers without apparent cause; l. Customers conducting numerous relatively small sales and purchases of foreign currencies which consequently amount to a significantly large amount; m. Customers whose foreign currencies sales and purchases contain counterfeit currency notes; n. Customers who request to exchange large quantities of low denomination of foreign currencies for those of higher denominations; TERRORIST FINANCING RED FLAGS a. Persons involved in foreign currencies sales and purchases who share a common address and/ or number, particularly when the address and/ or number is not the known address and/or number of the individuals involved in the transaction. b. Foreign currencies sales and purchases by a non-profit or charitable organization, for which there appears to be no logical economic purpose or for which there appears to be no alignment between the stated activity of the organisation and other parties in the transaction; c. The stated occupation of the customer is inconsistent with the type and level of sales and Page | 19
PUBLIC PUBLIC purchases of foreign currencies. OTHER RED FLAGS a. Employee exhibits a lavish lifestyle that cannot be justified by his/her economic circumstances. b. Employee fails to comply with operating guidelines. c. Employee is reluctant to take a vacation. Page | 20
PUBLIC PUBLIC APPENDIX D – EXPLANATORY NOTES EXPLANATORY NOTES ON THE AML/CFT&P GUIDELINE FOR FOREIGN EXCHANGE BUREAUX SEPTEMBER 2024 Page | 21
PUBLIC PUBLIC Introduction
PUBLIC PUBLIC Objective
PUBLIC PUBLIC EXPLANATORY NOTE ON ROLE AND DUTIES OF ANTI-MONEY LAUNDERING REPORTING OFFICER (AMRLO)
PUBLIC PUBLIC or selling foreign currencies should be kept. The foreign exchange bureaux are required to keep records either manually or electronically. In the case, where there is a third party providing a system for recording transactions and/or receipts such as the current nationwide trading platform, the foreign exchange bureau should ensure the third party service provider keep records and make it available upon request as prescribed in section 32 of Act 1044. 2. The foreign exchange bureau and their its third party service providers should ensure that records are kept for five (5) years as required in section 32 of Act 1044. EXPLANATORY NOTE ON EMPLOYEE TRAINING PROGRAMME
PUBLIC PUBLIC EXPLANATORY NOTE ON CUSTOMER DUE DILIGENCE PROCEDURES
PUBLIC PUBLIC 7. For purchase/sale to a company/firm/ legal person/arrangement/business entity, the foreign exchange bureau shall: I. verify the identity of the person or employee that have been authorized to act on behalf of such a company/firm/legal person/arrangement. II. obtain a TIN number or Business Certificate number, address and contact number of company/firm/legal person/arrangement. EXPLANATORY NOTE ON FAILURE TO CONDUCT CUSTOMER DUE DILIGENCE
PUBLIC PUBLIC EXPLANATORY NOTE ON RECOGNITION AND REPORTING OF SUSPICIOUS TRANSACTIONS
PUBLIC PUBLIC EXPLANATORY NOTE ON “RED FLAGS” OF SUSPICIOUS TRANSACTION
PUBLIC PUBLIC APPENDIX E - STATUTORY RETURNS TYPE OF REPORT RECEPIENT BODY CHANNEL FREQUENCY
PUBLIC PUBLIC AML/CFT&P Internal Audit report BOG & FIC Submit to BOG via Email: info.aml@bog.gov.gh Submit to FIC: via hardcopy or E-mail: compliancemails@fic.gov.gh YEARLY (not later than the 15th day of the month after the end of the year) Employee Training Programme BOG & FIC Submit to BOG via Email: info.aml@bog.gov.gh Submit to FIC: via hardcopy or E-mail: compliancemails@fic.gov.gh YEARLY (not later than 31st December of every financial year) Annual AML/CFT&P Self Risk Assessment Questionnaire BOG ORASS YEARLY (not later than the 15th day of the month after the end of the year) Quarterly AML/CFT&P Returns (Data Capture) BOG ORASS QUARTERLY (not later than the 15th day of the month after the end of the quarter) Fraud and Defalcation Report BOG ORASS As and When Disengaged Staff BOG ORASS As and When Engaged Staff BOG Submit to BOG via Email: info.aml@bog.gov.gh As and When Page | 31
PUBLIC PUBLIC REFERENCES