09-EA-17: FinCEN: Anti-Money Laundering Program and Suspicious Activity Reporting Requirements for Non-Bank Residential Mortgage Lenders and Originators

FinCEN issued this Advance Notice of Proposed Rulemaking (ANPR) in order to gauge the potential financial crime and money laundering risks that may be posed by non-bank residential mortgage lenders and originators. Assuming that such institutions may pose such a risk, FinCEN is seeking comment on the extent of the risk and the scope of AML regulations which would be appropriate to monitor and safeguard that risk.

Already a member? Log in

Members Get More

This page contains member-only content.

Membership is open to all federally insured credit unions in the United States, both federally and state-chartered. Members enjoy:

  • Hundreds of articles and resources
  • Personalized compliance assistance
  • Discounts on top-rated education opportunities
  • Member-only benefits and savings

Interested? Schedule a Customized Membership Webinar

If you are already logged in and believe you should have access to member-only content, please contact us for assistance at info@americascreditunons.org.