{"id":8241,"date":"2024-11-08T15:10:16","date_gmt":"2024-11-08T07:10:16","guid":{"rendered":"https:\/\/mpl.hk\/?p=8241"},"modified":"2024-11-18T15:14:36","modified_gmt":"2024-11-18T07:14:36","slug":"hkma-fines-fubon-bank-hk4-million-for-anti-money-laundering-violations-and-transaction-monitoring-failures","status":"publish","type":"post","link":"https:\/\/mpl.hk\/hkma-fines-fubon-bank-hk4-million-for-anti-money-laundering-violations-and-transaction-monitoring-failures\/","title":{"rendered":"HKMA Fines Fubon Bank HK$4 Million for Anti-Money Laundering Violations and Transaction Monitoring Failures"},"content":{"rendered":"

Monetary Authority takes disciplinary action against Fubon Bank (Hong Kong) Limited for contravention of Anti-Money Laundering and Counter-Terrorist Financing Ordinance<\/p>\n

The following is issued on behalf of the Hong Kong Monetary Authority:<\/p>\n

The Hong Kong Monetary Authority (HKMA) announced today (November 8) that it had completed an investigation and related disciplinary proceedings in relation to Fubon Bank (Hong Kong) Limited (FBHK) under the Anti-Money Laundering and Counter-Terrorist Financing Ordinance (Chapter 615 of the Laws of Hong Kong) (AMLO). The Monetary Authority (MA) has imposed a pecuniary penalty of HK$4,000,000 against FBHK for contravention of the AMLO.<\/p>\n

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The disciplinary action (Note) follows FBHK\u2019s self-report of transaction monitoring failures and the HKMA\u2019s investigation into FBHK\u2019s systems and controls for compliance with the AMLO. The HKMA found that, between April 2019 and July 2022, FBHK failed to establish and maintain effective procedures for continuously monitoring business relationships with customers. Specifically, FBHK failed to have in place effective procedures for managing system changes, following up on a substantial decrease in transaction alerts, and regularly reviewing the scope of transactions covered by its transaction monitoring system. FBHK also failed to conduct appropriate scrutiny of transactions carried out for customers, and update customer due diligence reviews upon trigger events.<\/p>\n

In deciding the disciplinary action, the MA has taken into account all relevant circumstances andfactors, including:<\/p>\n