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Acams Exam CAMS Topic 1 Question 90 Discussion

Actual exam question for Acams's CAMS exam
Question #: 90
Topic #: 1
[All CAMS Questions]

Findings from a regulatory examination report states that the job descriptions of personnel outside of the

compliance department do not include references to anti-money laundering responsibilities.

Which action should the firm take?

Show Suggested Answer Hide Answer
Suggested Answer: A

According to the ACAMS Study Guide, one of the essential elements of an effective anti-money laundering (AML) program is to assign clear roles and responsibilities to all staff members, regardless of their position or department1. This ensures that everyone is aware of their obligations and expectations in relation to AML compliance, and that they receive appropriate training and guidance. Therefore, the firm should update all job descriptions to include references to AML responsibilities, such as identifying and reporting suspicious activity, conducting customer due diligence, and adhering to AML policies and procedures.

The other options are not sufficient or correct, because:

B .Responding that only compliance personnel have AML responsibilities is incorrect, because AML compliance is not only the responsibility of the compliance department, but of the entire organization1. All staff members should be involved in the AML program and contribute to its effectiveness.

C . Sending an email to all staff stating that personnel must observe the AML policy is not sufficient, because it does not specify what the AML policy entails, or how it applies to different roles and functions. An email is also not a permanent or formal way of communicating AML responsibilities, and it may not reach all staff members or be taken seriously.

D . Replying that a description of AML responsibilities is included in the annual training is not sufficient, because it does not address the issue of the job descriptions, which should reflect the AML responsibilities of each position. Moreover, annual training may not be frequent or comprehensive enough to cover all aspects of AML compliance, and it may not be tailored to the specific needs and risks of each role or department.


1: ACAMS Study Guide, 6th Edition, Chapter 2: Developing an Effective Anti-Money Laundering Program, page 49.

Contribute your Thoughts:

Vivan
11 days ago
I think sending an email to all staff stating the policy would also be a good idea to ensure everyone is informed.
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Eun
14 days ago
I agree with Derrick, it's important for all staff to be aware of their anti-money laundering responsibilities.
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Eun
15 days ago
Option B? Seriously? As if only the compliance folks need to care about money laundering. Nice try.
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Derrick
17 days ago
We should update all job descriptions to include anti-money laundering responsibilities.
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Omer
18 days ago
Haha, imagine sending an email to everyone about AML - like they'll actually read it, right?
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Tarra
19 days ago
D sounds like the easy way out. We can't just rely on annual training, gotta make it part of everyone's job description.
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Keith
20 days ago
I agree, Option A is the best choice. Clearly defining AML duties for all personnel is essential.
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Helene
2 days ago
Option A is definitely the way to go. Updating job descriptions is crucial.
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Galen
25 days ago
Option A is the way to go. Updating all job descriptions to include AML responsibilities is crucial for compliance.
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Carma
1 days ago
Updating job descriptions will ensure everyone knows what is expected of them.
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Willodean
4 days ago
Yes, I agree. It's important for all staff to be aware of their AML responsibilities.
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Veronika
11 days ago
Option A is the way to go. Updating all job descriptions to include AML responsibilities is crucial for compliance.
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