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Alternative Remittance Systems HAWALA Presented by: Muhammad Baasiri US-MENA PSD Chairman SIC Secretary Financial Operations of Money Laundering Organized by EUROMED Amman - Jordan July 17-20, 2006 History of Hawala Hawala originated in India. It was born before the spread of Western banking in the 19th and 20th centuries. It has developed based on specific ethnic, cultural or historical factors. Definition of Hawala Involves the transfer of values between countries, outside of the legitimate banking system, an called “underground”, “parallel” or “shadow” banking. Refers to mechanisms or networks of people facilitating the transfer of funds or value outside the regulated financial channels. Hawala Terms Hawala = Urdi word meaning “reference” , it is based on trust. The Arabic “transfer”. root “Hawaladar” operator. refers h-w-l to means hawala How Does Hawala Work? One-way stream: Sender provides money in cash. Funds remitted to the Hawaladar counterpart through the Hawaladar’s bank account(s). Hawaldar in the recipient country receives and disburses funds to the beneficiary How Does Hawala Work? Two-way stream: The sender visits a local Hawaladar and provides the money in cash. The local Hawaladar contacts his counterpart in the beneficiary’s country with instructions to handover the amount to the beneficiary. The two brokers rely on “netting” to settle their balances (reciprocal payments,physical movement of money, invoice manipulation, etc…) Reasons for Existence Lack of access to formal banking system (high costs, lack of experience with institutions outside cultural traditions). Repatriation of immigrant income. Circumvent restrictive exchange controls and regulations. Why Do people Use Hawala? Cultural,political,social reasons. Quick service & lower fees. Favorable exchange rate. Avoid taxes. High degree of anonymity Why is Hawala attractive? Hawala is attractive for ML/TF because it: Leaves no paper trail which impedes law enforcement investigations. Is not subject to external auditing, control, or supervision by regulatory authorities. Transfers chain money outside the formal INTERNATIONAL INITIATIVES Reason of Concern Hawala has been exploited by drug traffickers, smugglers and illicit arm dealers. Indications that Hawala have had a role in moving terrorist related funds. FATF Response (SR VI) Requires countries to take measures to ensure that persons or legal entities that provide a service for the transmission of money through an informal value transfer system are licensed and subject to all the FATF Recommendations that apply to banks and non-bank financial institutions. FATF GUIDELINES Registration: Declare business existence to competent authorities. Licensing: Obtain permission from competent authorities to legally operate. N.B: Requirements enabling regulatory and competent authorities to be aware of the existence of the Hawaladar FATF GUIDELINES cont. Customer Identification. Record Keeping Requirement. Suspicious Transaction Reporting. Compliance Monitoring: Register or License Maintain list of agents Comply with FATF rec. Sanctions For Non-Compliance REGIONAL INITIATIVES MENAFATF Committee on Hawala Convened in Jordan on Sep 11, 2005. Participants countries were: Algeria and Egypt. Jordan, UAE, Issued a working paper that includes risks associated with Hawala and recommended best practices for regulating it. Paper adopted by MENAFATF member countries during the 2nd plenary held in Beirut on Sep 26-27, 2005. Best Practices Licensing or registration of businesses providing a service of money or value transfer system. Conduct educational and compliance oriented programs in order to advise these businesses of the necessity of licensing, registration and reporting requirements. Provide the public with a list of registered/licensed businesses providing money transfer services Best Practices Inform law enforcement authorities of the risks associated with the informal value transfer system. Target informal transfer service businesses through mass media in order to inform them of the necessity of licensing and registration. Countries are recommended not impose restrictive procedures encourage licensing/registration money service providers. to to of Best Practices Subject money service providers effective AML requirements: Customer due diligence. Record-keeping. Reporting suspicious transactions. Compliance monitoring. to THANK YOU