Compliance

How to react to the NEW DIRECTIVE 10 of 2026 and others. A brand new session *

The PRACTICAL focus on:

Principal’s and/or FIC Compliance Officers' Responsibility and Accountability towards directives.

One-by-one

·      Directive 1 (2013)

o   Updating registration details

·      Directive 2 (2014)

o   The use of login credentials following registration with the FIC.

·      Directive 3 (2014)

o   Notification of failure to report as required by the FIC.

·      Directive 4 (2016)

o   New registration and reporting system. – Updating info.

·      Directive 5 (2019)

o   Use of an automated transaction monitoring system (ATMS).

·      Directive 6 (2023)

o   Submission of risk and compliance returns.

·      Directive 7 (2023) – Not applicable to Estate Agency

o   Submission of risk and compliance returns

·      Directive 8 (2023)

o   Screening and risk rating of employees.

·      Directive 9 (2024) – Not applicable to Estate Agency

o   “Travel Rule” relating to crypto asset transfers

·      Directive 10 (2026)

o  On information pertaining to geographic locations

·      Directive 11 (2026)

o   Risk and compliance returns – (RCR 2026.)

·      Directive 12 (2026)

o   On the submission of risk management and compliance programmes (RMCP2026).

 

Directives

·      Applicableto whom?

·      Stepsof the process to follow directives.

·      RMCP and other documentation.

 

GoAMLand RMCP company details with the FIC

·      Steps of the process

·      Documentation

·      Online navigation

·      Keeping record

·      Dashboard

 

Submittingyour RMCP and RCR’s as indicated by Directives

·      Who should compile, update and submit.

·      Time frames for redoing RMCP’s and submitting

·       Covered in your most recent RMCP

·       Information required for submitting

·       Corrections.

·       Failingto submit in time.

Repeatingobligation annually.

Commonsubmitting errors.

Keepinga record.