Final report – Guidelines amending the ML/TF risk factors guidelines in relation to NPOs
Amendments to the GLs on ML/TF risk factors: Do you have any comments regarding the proposed annex on NPOs as part of the GLs on ML/TF risk
factors?
Paragraph 9
Several respondents noted that not all information and docu- Paragraph 9 is already clear that ‘not all NPOs are exposed in a similar way None
mentation listed in the paragraph is necessary in all cases and to ML/TF risk’ and that firms should take ‘risk-sensitive measures’ to under-
that the need to obtain them in line with a risk-based ap- stand the NPO’s governance, how it is funded, its activities, where it oper-
proach should be recognised. A suggestion was therefore to ates, and who its beneficiaries are.
change ‘should refer’ mentioned in 9a) to f) into ‘may refer’.
Paragraph 9
Several respondents said that the types of information about The EBA agrees with the comments and has amended the guidelines as fol- Amendment of Par-
the beneficiaries that can be requested by credit and financial lows:
institutions should be clarified. It was indicated that humani-
agraph 1.d. and 1.e.
[paragraph 1.d. of the final version] which categories of beneficiaries ben-
tarian organisations cannot share the list of individual benefi-
ciaries with banks as they operate in accordance with Inter-
national Humanitarian Law, which states that they must pro-
vide assistance based on people’s needs alone, without dis-
tinction. Similar concerns were raised in relation to NPOs’
staff, as the required list of staff may endanger these persons
if they are based in conflict zones for instance. The respond-
ents also felt that sharing such details with banks would raise
data protection concerns.
efit from the customer’s activities (e.g. refugees, legal entities that receive
assistance through the services of the NPO or similar) who the beneficiar-
ies of the customer’s activities are. Documentation gathered for this pur-
pose may include mission statements or campaign-related documents.
1.e. what transactions the NPO is likely to request, based on its objectives
and activity profile, including payment of staff or providers posted abroad,
and the expected frequency, size, and geographical destination of such
transactions. For this purpose, firms should refer to information such as or-
ganisational charts, explanations of the organisational structure of the
NPO, a list of jurisdictions where the staff is paid and the number of em-
ployees to be paid in each of them. staff and beneficiaries for each of its
activities.
The new drafting also alleviates concerns over data protection issues.
Paragraph 10
Several respondents were of the view that the risk factors The EBA is of the view that the risk factors listed in this paragraph are all Amendment of par-
listed in paragraph 10 do not need to be considered in all relevant to establish a risk profile. However, the EBA agrees that the level agraph 2
cases. For instance, to establish the risk profile of newly es- of details to identify each of the risk factors should be determined following
tablished or small NPOs, there may not be a need to assess a risk-based approach. Therefore, to clarify this further, the EBA has
their reputation and obtain evidence of their management amended the guidelines as follows:
capability or annual reports/financial statements. A sugges-
[Paragraph 2 of the final version] When identifying the risk associated with
tion was to redraft the start of paragraph 10 as follows: ‘The
customers that are NPOs, firms should consider at least the following risk
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