Book traversal links for 4.1. Alert Review, Case Investigation, and STR or SAR Decision Making
4.1. Alert Review, Case Investigation, and STR or SAR Decision Making
Effective from 31/8/2022An efficient alert management and dispositioning process is essential to safeguarding the financial integrity of LFIs, assisting law enforcement in the identification and investigation of criminal activity, and satisfying regulatory expectations concerning timely suspicious activity reporting. The alert management and dispositioning process should be adequately staffed and free of bottlenecks and should include a process for the expedited filing of urgent reports in appropriate cases. For purposes of this guidance, “alerts” shall be understood to include automated transaction monitoring alerts, employee referrals, and law enforcement requests. The LFI should apply a risk-based approach to the alert review process by prioritizing alerts based on their risk category. For instance, alerts generated on suspicious transactions of higher-risk customers should be risk-scored higher and prioritized for review.
Alert Review: An LFI’s employees should review an alert and determine whether further investigation is warranted. The underlying basis for the determination should be documented in accordance with an LFI’s investigations procedures. An LFI may choose to have alert review decisions subject to Quality Control (“QC”) review, prior to final dispositioning.
Where the facts available at the alert review stage are or may be sufficient to warrant an STR or SAR filing without further investigation, or where the transaction may otherwise require immediate attention (per criteria set forth below in 4.4 Activity Requiring Immediate Attention), employees should immediately escalate the alerted activity to the designated STR or SAR decision authority for expedited review.
Case Investigation: For any alerted activity determined to require further investigation, employees should conduct and complete (at least preliminarily) an investigation of the alerted activity, document the results of any research or analysis performed, and make a recommendation as to whether an STR or SAR should be filed.
Where a case investigator becomes aware of activity that requires immediate attention (per criteria set forth below in 4.4 Activity Requiring Immediate Attention), employees should immediately escalate the activity to the designated STR or SAR decision authority for expedited review.
If, in the case investigator’s judgment, the facts available at the filing recommendation deadline meet one or more of the UAE regulatory definitions of suspicious activity, the case investigator should submit a recommendation to file an STR or SAR, even if certain aspects of the activity remain unexplained. Unanswered requests for information (RFIs) made in the course of a case investigation should not delay the timely submission of recommendations with respect to an STR or SAR filing. LFIs should define the reasonable RFI timeframe to allow the customer to respond to quires raised during a case investigation as part of the RFI process.
In the event of escalation for expedited review, the Compliance Officer or MLRO should review the activity and make a determination as to whether it is suspicious within 24 hours of the date of escalation. Where appropriate, the Compliance Officer or MLRO also should escalate the activity for potential exit and account closure.