COVID-19-related Money Laundering and Terrorist Financing Risks and Policy Responses

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FATF General

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Financial Inclusion

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Methods and Trends

COVID-19-RELATED ML/TF RISKS AND POTENTIAL POLICY RESPONSES

COVID-19-related Money Laundering and Terrorist Financing Risks and Policy Responses

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COVID-19-related Money Laundering and Terrorist Financing Risks and Policy Responses

Paris, 4 May 2020 - The COVID-19 pandemic has led to unprecedented global challenges, human suffering and economic disruption. It has also led to an increase in COVID-19-related crimes, including fraud, cybercrime, misdirection or exploitation of government funds or international financial assistance, which is creating new sources of proceeds for illicit actors.  Using information provided to the members of the FATF Global Network on 7 and 23 April, COVID-19-related Money Laundering and Terrorist Financing Risks and Policy Responses

As the world is focusing on responding to the COVID-19 pandemic, it is impacting on the ability of government and the private sector to implement anti-money laundering and counter terrorist financing (AML/CFT) obligations in areas including supervision, regulation and policy reform, suspicious transaction reporting and international cooperation. This could lead to emerging risks and vulnerabilities that could result in criminals finding ways to:  

  • Bypass customer due diligence measures;
  • Increase misuse of online financial services and virtual assets to move and conceal illicit funds;
  • Exploit economic stimulus measures and insolvency schemes as a means for natural and legal persons to conceal and launder illicit proceeds;
  • Increase use of the unregulated financial sector, creating additional opportunities for criminals to launder illicit funds;
  • Misuse and misappropriation of domestic and international financial aid and emergency funding;
  • Exploit COVID-19 and the associated economic downturn to move into new cash-intensive and high-liquidity lines of business in developing countries.

AML/CFT policy responses can help support the swift and effective implementation of measures to respond to COVID-19, while managing new risks and vulnerabilities. This paper provides examples of such responses, which include:

  • Domestic coordination to assess the impact of COVID-19 on AML/CFT risks and systems;
  • Strengthened communication with the private sector;
  • Encouraging the full use of a risk-based approach to customer due diligence; 
  • Supporting electronic and digital payment options.  

FATF Webinar on COVID-19-related Money Laundering and Terrorist Financing - Risks and Policy Responses

Statement by the FATF President: COVID-19 and measures to combat illicit financing

 
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Also available in:
Spanish - translation provided by GAFILAT with the support of Mexico: GAFILAT Spanish Translation - COVID-19-related Money Laundering and Terrorist Financing Risks and Policy Responses
GAFILAT Spanish Translation - COVID-19-related Money Laundering and Terrorist Financing Risks and Policy Responses
Eurasian Group (EAG)GAFILAT Spanish Translation - COVID-19-related Money Laundering and Terrorist Financing Risks and Policy ResponsesGAFILAT Spanish Translation - COVID-19-related Money Laundering and Terrorist Financing Risks and Policy ResponsesEAG Russian Translation - COVID-19-related Money Laundering and Terrorist Financing Risks and Policy Responses