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picture1_Money Laundering Regulations 2017 Pdf 95071 | Money Laundering


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File: Money Laundering Regulations 2017 Pdf 95071 | Money Laundering
money laundering regulations 2017 what they mean for social housing providers estate agency business is regulated under the if you do carry out any of these activities you will money ...

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               Money Laundering Regulations 2017:  
               What they mean for social housing providers 
                                                                                        
                                                                                        
               Estate agency business is regulated under the                           If you do carry out any of these activities, you will 
               Money Laundering Regulations 2017 (“MLR”), and                          need to: 
               social housing providers who carry out these                                    comply with the MLR 
               activities must comply with these regulations.                                  register with HMRC, which in most cases 
                                                                                                will be the relevant regulatory body   
               The first question to answer is whether any of the                       
               activities you carry out constitute estate agency                       If you have to comply with the MLR you will need 
               business.                                                               to: 
                                                                                               comply with the legal requirement to report 
               This is defined in detail in the Estate Agents Act                               suspicions of money laundering contained 
               1979, but includes the introduction of anyone                                    in the Proceeds of Crime Act 2002 
               seeking to dispose of or acquire an interest in                                 make sure you have appointed a Money 
               property to a customer.                                                          Laundering Reporting Officer, or MLRO 
                                                                                               for most organisations, appoint an AML 
               If a social housing provider is marketing and                                    Compliance Officer  
               selling units which it owns or has constructed itself                           have appropriate policies, controls and 
               then it will be acting as a principal and not as an                              procedures (PCPs) in place which accord 
               agent.  This sort of sales activity will not constitute                          with the MLR 
               estate agency business, and is not presently                                    where applicable, ensure your PCPs are 
               regulated under the MLR.                                                         applied across your group structure 
                                                                                               ensure you have appropriate internal 
               Letting is also excluded from the scope of the                                   controls and audit systems in place    
               MLR, unless a premium is involved, in which case                                carry out a risk assessment of your 
               the activity will be treated as selling.                                         activities  
                                                                                               make sure you are complying with the new 
               Examples of activities which would constitute                                    rules relating to Customer Due Diligence 
               estate agency business, and which therefore                                      requirements as and when appropriate   
               would be regulated under the MLR, include:                                      carry out appropriate screening and 
                       acting for a flat or house owner in resales                             training of relevant staff and record 
                        transactions                                                            keeping  
                       arranging the sale of a property in a part-                     
                        exchange transaction                                           There are also reporting duties relating to 
                       arranging sales on behalf of another group                     suspicions relating to terrorist financing and 
                        company which owns or has constructed                          terrorist activity generally under the Terrorism Act 
                        the units                                                      2000 which you will need to comply with. 
                       arranging sales on behalf of a joint venture                    
                        partner or other third party                                   If you have PCPs in place already, you will need to 
               It does not matter if these activities are only                         review these to ensure that they comply with the 
               carried out incidentally to the provider’s main                         requirements about PCPs contained in the new 
               business – they will still be regulated.                                MLR which are more detailed than the old rules.   
                
                
               This briefing note is not intended to be an exhaustive statement of the law and should not be relied         Page 1 of 2 
               on as legal advice to be applied to any particular set of circumstances.  Instead, it is intended to act     November 2017 
               as a brief introductory view of some of the legal considerations relevant to the subject in question.        Version 2 
                                                                                                                             
                
               Briefing Note 
                                                                                        
               There are a number of other new features in the                         For further information, please 
               new MLR which were not in the previous 2007                             contact: 
               regulations.  These include a new requirement that 
               anyone carrying out estate agency business must                          
               identify buyers as well as seller clients.  Some of 
               you may already do this as a risk management 
               measure but it is now a statutory requirement to 
               do so in the manner prescribed in the MLR.     
                
               You must familiarise yourself, and ensure that                                                
               your staff are familiar with the guidance produced                       
               by HMRC for estate agency businesses and which                          SIMON LIVESEY 
               is now available on the HMRC section of the 
               government website.                                                     Partner, Institutional Property 
                                                                                       T: 020 7593 5060 
               Even if you don’t carry out any regulated estate                        E: slivesey@wslaw.co.uk 
               agency business and don’t have to register with                          
               HMRC for regulatory supervision purposes, you                            
               must still make sure that you don’t become 
               concerned in any transactions which involve 
               money laundering or terrorist financing.  These are 
               offences which can be committed by anyone, not 
               just those carrying out regulated business. 
                                                                                                             
               Please contact us if you would like to discuss any                       
               of this in more detail or you would like to find out                    JON BALDWIN 
               more about what we can do to help with; 
                                                                                       Partner, Data Protection and Regulatory Law 
                       reviewing your policies, controls and                          T: 020 7593 0384  
                        procedures                                                     E: jbaldwin@wslaw.co.uk 
                     your training needs                                               
                       advice on the MLR and the law relating to                       
                        money laundering and terrorist financing  
                        generally     
                
                
                
                
                
                
                
                
                
                
                
                
                
                
                
                
                
                
               This briefing note is not intended to be an exhaustive statement of the law and should not be relied         Page 2 of 2 
               on as legal advice to be applied to any particular set of circumstances.  Instead, it is intended to act     November 2017 
               as a brief introductory view of some of the legal considerations relevant to the subject in question.        Version 2 
                                                                                                                             
                
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