Spotlight on Financial Crime
2022 was a year defined and shaped by sanctions on an unprecedented scale. Look at the prospects for the year ahead.
Download nowOn June 6, 2023, the Office of Foreign Assets Control (OFAC) designated three individuals and one entity in connection with the notorious Jalisco New Generation Cartel (CJNG). Two senior members of the criminal group were sanctioned for arms trafficking and fuel theft, while the third individual was sanctioned for helping the CJNG move illicit funds between the United States and Mexico through a trade-based money laundering (TBML) scheme.
The Mexico-based drug trafficking organization is responsible for a large proportion of the fentanyl that is trafficked into the US. In 2022, overdoses related to fentanyl reached an all-time high in the US, with over 109,000 recorded deaths, according to the Centers for Disease Control and Prevention.
According to OFAC, one of the sanctioned individuals, Mary Cruz Rodriguez Aguirre, operates as a broker for the CJNG using her currency exchange house and a series of US-based businesses. Through the TBML scheme, Aguirre facilitated the collection and laundering of over $6 million between 2020 to 2022.
Following OFAC’s designations, the criminal group made headlines on June 7 when it was discovered that eight people were killed after trying to leave their jobs at a call center operated by the cartel. According to reports, the CJNG operates multiple call centers throughout Jalisco state aimed at defrauding Americans and Canadians through real estate scams. In April 2023, OFAC sanctioned seven individuals and 19 entities in connection with the CJNG’s timeshare fraudulent activities.
In November 2022, the Financial Action Task Force (FATF) issued its inaugural report on ML from fentanyl and synthetic opioids. According to the report, criminal groups specializing in fentanyl and synthetic opioid trafficking often attempt to move their illicit proceeds using various channels and techniques including: :
To mitigate the threat of these ML tactics, the FATF recommends law enforcement and other operational authorities implement the following practices:
Concluding the report, the FATF notes that underlying predicate offenses – such as drug trafficking – can become difficult to ascertain after the placement stage of the ML process. To combat this, the global watchdog encourages compliance staff to ensure they understand the ecosystem’s broader risk indicators to help them identify ML schemes, including:
In the Financial Crimes Enforcement Network’s (FinCEN’s) Advisory on Illicit Financial Methods Related to Synthetic Opioid Trafficking, compliance staff are reminded to conduct risk-based due diligence and implement enhanced policies, procedures, and controls into their compliance programs where necessary. Firms should also ensure risk assessments are regularly undertaken to establish whether their protocols effectively detect and report known or suspected ML activity.
When filing suspicious activity reports (SARs) to indicate a possible connection between suspicious transactions and synthetic opioid trafficking, FinCEN instructs firms to provide all relevant information and reference the key term “FENTANYL FIN-2019-A006” in SAR field 2.
2022 was a year defined and shaped by sanctions on an unprecedented scale. Look at the prospects for the year ahead.
Download nowOriginally published 09 June 2023, updated 09 June 2023
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