Office of Foreign Assets Control Risk Assessment (OnDemand Webinar)

$149.00

SKU: 411873EAU

Description

Learn effective techniques for managing working capital in your business.On May 2, 2019, the Office of Foreign Assets Control (OFAC) released new guidance stating that holistic sanctions risk assessments must be a part of a company’s Sanctions Compliance Program (SCP) for the SCP to qualify as a mitigating factor in enforcement decisions. These risk assessments require banks and businesses to understand how individual departments and product lines might be exposed to sanctions risk, how to identify highrisk transactions and parties, and which of these risks can be addressed with appropriate controls. Yet, many banks and businesses continue to rely on processes that do not reflect the diverse range of sanctions programs and measures in place today. For example, OFAC now sanctions countrybased embargoes, lists of prohibited parties, sectoral sanctions with transactionspecific restrictions, as well as numerous general licenses that authorize certain activity with a sanctions nexus. This topic helps persons at the CSuite, department management, and transaction review levels understand how to evaluate risks posed by parties, transactions, and entire lines of business. In addition, the material explains how companies can identify measures to mitigate sanctions risk at systemic and transactionspecific levels. Moreover, this topic will cover specific issues concerning financial transactions with a historically high risk of sanctions exposure. As OFAC continues to raise its standards for compliance practices, this information is critical for businesses to ensure that their SCP meets the new requirements and mitigates unnecessary risks across their organizations.

Date: 2024-12-17 Start Time: End Time:

Learning Objectives

Overview: What Is an OFAC Risk Assessment?
• Several Definitions
• Scope of Review

OFAC Risk Assessment Process: How to
• Identify the Parties, Geographic Regions, and Products/Services Involved
• Identify a Potential Sanctions Nexus
• Identify the Relevant Rules (Statutes, Regulations, Guidance, Legal Advice, or Internal Policies)
• Evaluate the Risk Posed by a Sanctions Nexus
• Identify and Implement Possible Controls
• Determine Appropriate Next Steps Based on Risks Posed and Risk Appetite

How to Conduct Risk Assessments of International Funds Transfers
• Commercial Transfers
• Personal Transfers
• Informational Constraints

How to Conduct Risk Assessments for New Customers
• Nonresident Aliens
• International Organizations
• Partner/Customer Intake Forms and Profiles

How to Conduct Risk Assessments for Commercial Letters of Credit
• International Commercial Shipments

How to Conduct Risk Assessments for Overseas Branches and Subsidiaries
• High Enforcement Priority
• Foreign Partner/Customer Affiliates

Case Studies

CLE (Please check the Detailed Credit Information page for states that have already been approved) ,Additional credit may be available upon request. Contact Lorman at 866-352-9540 for further information.

Oliver Krischik-GKG Law, P.C.

Office of Foreign Assets Control Risk Assessment (OnDemand Webinar)

$149.00

SKU: 410553EAU

Description

Learn effective techniques for managing working capital in your business.On May 2, 2019, the Office of Foreign Assets Control (OFAC) released new guidance stating that holistic sanctions risk assessments must be a part of a company’s Sanctions Compliance Program (SCP) for the SCP to qualify as a mitigating factor in enforcement decisions. These risk assessments require banks and businesses to understand how individual departments and product lines might be exposed to sanctions risk, how to identify highrisk transactions and parties, and which of these risks can be addressed with appropriate controls. Yet, many banks and businesses continue to rely on processes that do not reflect the diverse range of sanctions programs and measures in place today. For example, OFAC now sanctions countrybased embargoes, lists of prohibited parties, sectoral sanctions with transactionspecific restrictions, as well as numerous general licenses that authorize certain activity with a sanctions nexus. This topic helps persons at the CSuite, department management, and transaction review levels understand how to evaluate risks posed by parties, transactions, and entire lines of business. In addition, the material explains how companies can identify measures to mitigate sanctions risk at systemic and transactionspecific levels. Moreover, this topic will cover specific issues concerning financial transactions with a historically high risk of sanctions exposure. As OFAC continues to raise its standards for compliance practices, this information is critical for businesses to ensure that their SCP meets the new requirements and mitigates unnecessary risks across their organizations.

Date: 2023-03-16 Start Time: End Time:

Learning Objectives

Overview: What Is an OFAC Risk Assessment?
• Several Definitions
• Scope of Review

OFAC Risk Assessment Process: How to
• Identify the Parties, Geographic Regions, and Products/Services Involved
• Identify a Potential Sanctions Nexus
• Identify the Relevant Rules (Statutes, Regulations, Guidance, Legal Advice, or Internal Policies)
• Evaluate the Risk Posed by a Sanctions Nexus
• Identify and Implement Possible Controls
• Determine Appropriate Next Steps Based on Risks Posed and Risk Appetite

How to Conduct Risk Assessments of International Funds Transfers
• Commercial Transfers
• Personal Transfers
• Informational Constraints

How to Conduct Risk Assessments for New Customers
• Nonresident Aliens
• International Organizations
• Partner/Customer Intake Forms and Profiles

How to Conduct Risk Assessments for Commercial Letters of Credit
• International Commercial Shipments

How to Conduct Risk Assessments for Overseas Branches and Subsidiaries
• High Enforcement Priority
• Foreign Partner/Customer Affiliates

Case Studies

CLE (Please check the Detailed Credit Information page for states that have already been approved) ,Additional credit may be available upon request. Contact Lorman at 866-352-9540 for further information.

Oliver Krischik-GKG Law, P.C.