Bridging the Gap: Why Police Officers and Bankers Must Speak the Same Language in Investigating Financial Crimes
Thomas R. Alber
Enforcement Agent @ Kansas Racing and Gaming Commission | TRM-ACI | Money Laundering | Human Trafficking | Crypto Crimes | Gaming Related Crimes | TRM-CCS | US Crypto Cop | Kansas Crypto Guy
???? In the fight against financial crimes, effective collaboration between law enforcement and banking professionals
First, enhanced communication between police officers and banking professionals
Moreover, accurate evidence collection is vital in financial crime investigations. The forensic analysis of financial records
Stronger collaborative efforts are also crucial. Financial crime investigations often involve multiple stakeholders, including banks, law enforcement agencies, and sometimes international bodies. Understanding each other’s terminology and procedures fosters better collaboration, enhances information sharing, and improves joint problem-solving. For instance, Section 314(a) of the USA PATRIOT Act allows law enforcement agencies to request information from financial institutions about individuals or entities suspected of terrorism or money laundering, which helps track suspicious activities. On the other hand, Section 314(b) permits financial institutions to share information with each other to prevent money laundering and terrorist financing, aiding in identifying patterns and connections. Law enforcement uses subpoenas to obtain documents and records from financial institutions and warrants to authorize searches or seizures related to financial crimes.
Understanding Know Your Customer (KYC) and Enhanced Due Diligence (EDD) procedures
Finally, prevention and training play a key role. Knowledge of banking practices and investigative techniques helps both sectors recognize potential scams and educate the public. Joint training and workshops
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?For more information on this and other topics, please visit [US Crypto Cop] or contact Agent Thomas R. Alber, AKA the USCryptoCop, at [email protected] to schedule your course. Together, let’s fight organized crime and put a stop to scammers in our communities!
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References for Further Study:
?Alber, T. R. (2023, September 19). Collaborating against scams: Enhancing partnerships between law enforcement and banking. LinkedIn. https://www.dhirubhai.net/pulse/collaborating-against-scams-enhancing-partnerships-between-alber-o8vsc/?trackingId=IIJEAPrjTSmNd623F9Q5xQ%3D%3D
?Alber, T. R. (2023, October 5). Critical partnership: Law enforcement and banking in the fight against financial crimes. LinkedIn. https://www.dhirubhai.net/pulse/critical-partnership-law-enforcement-banking-fight-against-alber-v0ktc/?trackingId=yYgLBHwmTOualWkM1i3Zow%3D%3D
?Association of Certified Financial Crime Specialists (ACFCS). (n.d.). Home. Retrieved July 28, 2024, from https://www.acfcs.org
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?Europol. (n.d.). Home. Retrieved July 28, 2024, from https://www.europol.europa.eu
Federal Bureau of Investigation (FBI). (n.d.). Legal process. Retrieved July 28, 2024, from https://www.fbi.gov/investigate/white-collar-crime/legal-process
?Financial Crimes Enforcement Network (FinCEN). (n.d.-a). Suspicious activity reports (SARs). Retrieved July 28, 2024, from https://www.fincen.gov/resources/statutes-regulations-and-guidance/guidance-notice-suspicious-activity-reports-sars
?Financial Crimes Enforcement Network (FinCEN). (n.d.-b). Currency transaction reports (CTRs). Retrieved July 28, 2024, from https://www.fincen.gov/resources/statutes-regulations-and-guidance/guidance-notice-currency-transaction-reports-ctrs
?Financial Crimes Enforcement Network (FinCEN). (n.d.-c). Bank secrecy act (BSA). Retrieved July 28, 2024, from https://www.fincen.gov/resources/statutes-regulations-and-guidance/guidance-notice-bank-secrecy-act
?Financial Crimes Enforcement Network (FinCEN). (n.d.-d). Section 314(a). Retrieved July 28, 2024, from https://www.fincen.gov/resources/statutes-regulations-and-guidance/guidance-notice-section-314a
?Financial Crimes Enforcement Network (FinCEN). (n.d.-e). Section 314(b). Retrieved July 28, 2024, from https://www.fincen.gov/resources/statutes-regulations-and-guidance/guidance-notice-section-314b
?International Association of Financial Crimes Investigators (IAFCI). (n.d.). Home. Retrieved July 28, 2024, from https://www.iafci.org
?US Crypto Cop. (n.d.). Home. Retrieved July 28, 2024, from https://www.uscryptocop.com
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#USCryptoCop
Deployment Strategist | TRM Labs
8 个月Good stuff, Thomas R. Alber. One of the best ways to bridge this gap is quality face to face interaction. Those interactions quickly build a solid network. In our area we have a couple #financialintelligence meetups that have monthly meetings. At those meetings, FIs and LE come together and share current issues, ongoing fraud tactics, and usually a presentation by either entity…and cookies. The groups also have robust email listserves that keep us all connected daily. The success stories are many and arrests have been made that can be directly attributed to these networks. Get out there in the name of outreach! Today, I will present to a few dozen bank independent community bank executives. They will almost all be from different banks. That is a great bang for your buck. From the LE side, I have to mention self-study and training. Financial industry terms and mechanics are well documented. One has to take it upon themselves to “get smart”. As busy as we all are, it can be hard. But an article here and a podcast there, you can pick a lot up quickly. Or a well-written LinkedIn article like this! I’ll bet someone reading picked something up they did not know.
Tom Brown this is true for Federal, State, and Local law enforcement. Confusion over financial terms is real barrier to investigations and is an impediment to targeted/strategic discovery requests. Even the term "customer" can get confusing when there are sponsor accounts and correspondent banking. As the Treasury works to address the requirements of the Financial Data Transparency Act, thinking about how the harmonization of financial terms can support law enforcement protect the integrity of the financial system would be a really awesome dual usage. When banks are third-party record holders law enforcement needs to be able to speak banker. Toni Gillich Danielle Camner Lindholm
Compliance & Fraud Expert | BSA/AML/CFT/OFAC Specialist | AVP Financial Crimes Risk Mgmt | International Trainer & Consulting
8 个月??