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Knowing your customer and culture: An integrated approach to USA Patriot Act Compliance

Vincent Manning (Managing Consultant, Venture Financial Systems Group, Ltd., vmanning@venturefsg.com)
Marc Spitzner (Venture Financial Systems Group, LTD., mspitzner@venturefsg.com)
Ralph C. Martin II (Partner, Bingham McCutchen, ralph.martin@bingham.com)
Donald J. Savery (Partner, Bingham McCutchen, don.savery@bingham.com)

Journal of Investment Compliance

ISSN: 1528-5812

Article publication date: 1 January 2003

176

Abstract

The financial markets are still sorting through the lengthy list of compliance measures created by the Sarbanes‐Oxley legislation and other reforms being proposed by the SEC, NASDAQ, state attorneys general, institutional investors, and others. This preoccupation should not derail corporate efforts to comply with the mandates of the USA Patriot Act, an especially important measure that is applicable to companies defined as “financial institutions” by the Act. The Act has several purposes: to better detect and deter incidents of money laundering; prevent financing of terrorist activity; and more severely penalize those who launder money by strengthening, broadening, and clarifying federal money‐laundering laws.

Keywords

Citation

Manning, V., Spitzner, M., Ralph C. Martin II, R.C.M. and Savery, D.J. (2003), "Knowing your customer and culture: An integrated approach to USA Patriot Act Compliance", Journal of Investment Compliance, Vol. 4 No. 1, pp. 42-44. https://doi.org/10.1108/15285810310813004

Publisher

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MCB UP Ltd

Copyright © 2003, MCB UP Limited

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