BSA Operations Supervisor

Orange Bank & Trust CompanyCity of Middletown, NY
$72,000 - $82,000Onsite

About The Position

The BSA/AML Operations Supervisor is responsible for overseeing daily AML compliance functions, managing the BSA team to ensure timely filing of SARs/CTRs, adherence to regulations, and high-quality investigation of suspicious activity. They will optimize processes, provide training, and act as a liaison between staff and management.

Requirements

  • Two-year banking, business, or law related degree (or equivalent job-related compliance experience).
  • 5 - 7 years regulatory compliance experience in BSA and OFAC
  • 3 - 5 years’ Management experience
  • Knowledge of banking, the internal structure of a bank, elements of bank operations and services.
  • Understanding of bank secrecy, patriot act, OFAC and privacy laws and regulations.
  • Must be a self-starter with the ability to take initiative and utilize judgment to ensure the efficient and profitable operation of a branch.
  • Possess Leadership, managerial, and business development skills.
  • Demonstrated ability to lead a successful team.
  • Effective communication skills.
  • A high level of confidentiality is required.
  • Position has access to customer’s accounts, credit reports and financial information.
  • Position also has access to certain information that must be kept confidential.
  • This position interacts with a large number of internal and external contacts.

Nice To Haves

  • Bachelor’s degree
  • 8 - 10 years regulatory compliance experience in BSA and OFAC.
  • An understanding of the Verafin software.

Responsibilities

  • Supervise, train, and develop the team, ensuring high performance.
  • Monitor daily AML transaction monitoring, alert investigations, Enhanced Due Diligence (EDD), and Currency Transaction Reports (CTR).
  • Act as backup to BSA Officer in their absence.
  • Monitor, investigate, and answer the BSA/AML Monitoring software alerts to uncover money laundering and other illicit schemes and create cases when necessary.
  • Conduct investigations as a result of accounts identified through analysis or in response to reports of unusual activity.
  • Collaborate with company personnel regarding interactions with customers to aid in investigations.
  • Conduct timely and thorough reviews of potentially suspicious activity through case management.
  • Escalate suspicious activity cases to the attention of the BSA Officer.
  • Review Currency Transaction Reports (CTR’s) for compliance; file on a timely basis; address errors with bank personnel.
  • Conduct Enhanced Due Diligence (EDD) reviews on new and existing High Risk Customers.
  • Ensure that proper risk ratings are assigned to customers and are accurately reflected in the BSA/AML Monitoring Software.
  • Conduct internal audit and regulatory examinations; ensure appropriate documentation is maintained and available and findings are addressed and corrected in a timely manner.
  • Participate in and make recommendations with respect to the decision process for reporting suspicious activity to FinCEN.
  • Coordinate the periodic validation of BSA systems.
  • Update all bank department and trust department employees regarding all BSA regulatory additions and changes affecting daily departmental operations, procedures, and/or programs.
  • Ensure BSA recordkeeping and reporting requirements are processed in accordance with established guidelines and regulation timelines.
  • Ensure appropriate documentation is maintained and available for internal/external audits and legal requests.
  • Inform bank personnel with potential OFAC matches and conduct necessary research to ensure OFAC compliance.
  • Ensure that the OFAC reviews are conducted appropriately and in a timely manner.
  • File the appropriate OFAC Annual Report of Blocked Property when warranted.
  • Investigate possible matches or requests generated by the BSA/AML monitoring software.
  • Provide notice to FinCEN annually that we are participating in 314b information sharing as required.
  • Review all new accounts for proper account opening documents, identification, and anticipated activity.
  • Follow–up and work with Branch managers to resolve any irregularities that come from newly opened accounts identified by CIP review.
  • Update policies and procedures to ensure compliance with BSA OFAC regulations, including customer and enhanced due diligence requirements.
  • Recommend policy changes as necessary to the BSA Officer.
  • Cross train on other department functions to be able to provide support if needed.
  • Perform all duties and projects as assigned by management.
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