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This paper attempts to examine the practical condition of implementing risk‐based approach (RBA) in Chinese financial sectors.
Abstract
Purpose
This paper attempts to examine the practical condition of implementing risk‐based approach (RBA) in Chinese financial sectors.
Design/methodology/approach
This paper compares the differences between rule‐based approach and risk‐based approach (RBA), and provides different options to financial institutions considering their own circumstances.
Findings
This paper finds that capacity constraint is an issue for directly transplanting the RBA performed by developed countries to Chinese financial institutions.
Originality/value
This paper creatively proposes a rule‐based but risk‐oriented AML approach or partial RBA that fits Chinese financial institutions' reality underpinned by Chinese culture, and correspondingly, different assessment methods are presented as well.
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Taisiia I. Krishtaleva, Elena A. Gureeva, Liliya A. Kripakova, Inna N. Rykova and Yuriy A. Krupnov
The purpose of the paper is to develop a risk-oriented approach to managing the social market economy.
Abstract
Purpose
The purpose of the paper is to develop a risk-oriented approach to managing the social market economy.
Design/methodology/approach
The first task is to determine the differences in susceptibility to the risk of the social market economy as compared to “pure” market economy. The authors use comparative analysis, variation analysis and correlation analysis for determining the dependence between quality of life in 2020 and variation of quality of life in 2012–2020, as well as variation of gross domestic product per capita in 2012–2020. The second task is to determine the perspectives of risk management of the social market economy in view of the specifics of the risk component of its functioning and development. Regression analysis is used for determining the dependence of quality of life in top ten countries with the social market economy in 2020 in the key risk factors that are peculiar for market economy and that lead to its destabilization: globalization, innovations and digitization.
Findings
It is substantiated that the unique economic and social environment predetermines the specific influence of the factors that are peculiar for the modern market economy. It is proved – by the example of top ten social market economies in 2020 – that social factors are more important for provision of stability of the social market economy than economic factors.
Originality/value
A risk-oriented approach to managing the social market economy is developed; it takes into account the specifics of the risk component of its functioning and development. The offered approach showed that the social market economy requires indirect regulation of risks through correction of institutions.
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Georg Josef Loscher and Stephan Kaiser
This study aims to explore how commercial and professional management instruments are combined in accounting firms.
Abstract
Purpose
This study aims to explore how commercial and professional management instruments are combined in accounting firms.
Design/methodology/approach
The authors conducted a qualitative study based on 30 semi-structured interviews with partners from 30 different accounting firms (sole practitioners to Big Four) in Germany. The study mainly draws from the literature on the management of accounting firms.
Findings
The findings of this study indicate that professional and commercial management instruments structure the use of time by accountants. In these management instruments, professional and commercial goals are interwoven by three mechanisms revealed in this study and named as ambivalence, assimilation and integration. The authors further identify the managerial aspects of professional instruments.
Originality/value
This paper offers three mechanisms that combine commercial and professional goals in the management of accounting firms. The authors thereby contribute to the literature on the management of accounting firms by analysing these mechanisms that enable the pursuit of both goals simultaneously. Further, the authors argue that the minimum organisation, defined by regulators, of accounting firms is an essential infrastructure for the commercialisation of accounting.
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Lishan Ai, John Broome and Hao Yan
The purpose of this paper is to explain the rule‐based and risk‐based anti‐money‐laundering (AML) approach, to demonstrate the implementation problems in carrying out a risk‐based…
Abstract
Purpose
The purpose of this paper is to explain the rule‐based and risk‐based anti‐money‐laundering (AML) approach, to demonstrate the implementation problems in carrying out a risk‐based approach (RBA) to AML and finally propose in what way the RBA should be conducted in China.
Design/methodology/approach
This paper analyzes the practice of money‐laundering risk management in Chinese AML programs, compares the rule‐based AML approach and the risk‐based AML approach, and discusses the practical condition of carrying out the risk‐based AML approach in China.
Findings
Although China has made significant progress on combating money laundering, the practice of money‐laundering risk management in Chinese AML programs is still weak, and the pre‐conditions for fully implementing the RBA in China are yet to be met.
Originality/value
This paper highlights the practical issues preventing Chinese authorities from fully implementing a risk‐based AML approach, and proposes a “rule‐based but risk‐oriented” AML approach (a partial RBA) in the context of Chinese realities.
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Simona Cosma, Salvatore Principale and Andrea Venturelli
The purposes of this paper are: firstly, to assess the disclosure related to climate change (CC) by major European banks to understand if the banks have grasped the most…
Abstract
Purpose
The purposes of this paper are: firstly, to assess the disclosure related to climate change (CC) by major European banks to understand if the banks have grasped the most substantive aspects of the Task Force on Climate-related Financial Disclosures (TCFD) recommendations and secondly, to evaluate the contribution of a non-traditional committee (i.e. corporate social responsibility (CSR) committee) to TCFD-compliant disclosure.
Design/methodology/approach
Using content analysis and ordinary least squares regressions on a sample of 101 European banks, this study sought to investigate completeness, tone and forward-looking orientation of CC disclosure and explore the relationships between CSR committee and previous disclosure aspects.
Findings
This study shows that European banks have been able to reach an intermediate level of adequacy of compliance in terms of completeness of information but forward-looking orientation seems to be the aspect that needs the most improvement. The existence of a CSR committee dedicated to sustainability issues seems to constitute the difference between the banks in terms of disclosure. The results highlight vulnerabilities in disclosure and board characteristics relevant for improving CC disclosure.
Practical implications
Firms interested in strengthening stakeholder engagement and capturing strategic opportunities involved in CC should be encouraged to establish a CSR committee and appoint female directors in financial companies. This paper should be of interest to policymakers, governance bodies and boards of directors considering the initiative of corporate sustainable governance complementary to Directive 2014/95/EU on non-financial reporting by the European Commission.
Originality/value
To the best of the authors’ knowledge, no prior study has investigated the relationship between the CSR committee and the application of the TCFD’s recommendations in the European banking industry.
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On 9th July 2002, the Swiss Federal Banking Commission (SFBC) published for consultation a proposal for a new SFBC Money Laundering Regulation. The draft regulation proposes…
Abstract
On 9th July 2002, the Swiss Federal Banking Commission (SFBC) published for consultation a proposal for a new SFBC Money Laundering Regulation. The draft regulation proposes stricter rules for banks and securities dealers to prevent money laundering and financing of terrorism and details specific due diligence requirements with respect to business relationships with politically exposed persons. The draft incorporates the lessons drawn from money laundering cases in Switzerland as well as international developments.
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Laura F. Spira and Michael Page
The publication of the Turnbull guidance represented a radical redefinition of the nature of internal control as a feature of corporate governance in the UK, explicitly aligning…
Abstract
The publication of the Turnbull guidance represented a radical redefinition of the nature of internal control as a feature of corporate governance in the UK, explicitly aligning internal control with risk management. This paper explores this change, using sociological perspectives on risk and its conceptualisation to frame the debate about internal control and risk management within the UK corporate governance arena – the most recent manifestation of an ongoing competition for the control of economic and social resources. The paper demonstrates that developments in corporate governance reporting requirements offer opportunities for the appropriation of risk and its management by groups wishing to advance their own interests. This is illustrated by a review of recent changes in internal audit.
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Recent alterations to the Key Stage 1 and 2 National Curriculum in England have located health education as a strand within a non‐statutory framework of Personal, Social, Health…
Abstract
Recent alterations to the Key Stage 1 and 2 National Curriculum in England have located health education as a strand within a non‐statutory framework of Personal, Social, Health education and Citizenship. Starting from the premise that health education should adopt a health‐oriented approach, this paper finds the aforementioned health component lacking as a basis on which to operationalise primary school health education. Using medicines education as an example, a disease/risk factor‐oriented programme is critiqued and an alternative, health‐oriented perspective proposed. This alternative demonstrates how basing health education around every component of the personal, social and health education and citizenship framework can engender a health‐oriented approach to health education at Key Stages 1 and 2. Finally, two cautionary notes are made concerning the adoption of this approach.
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To implement a risk-based regulatory approach, this paper aims to make an assessment on customers' money laundering risk and conducts some applications.
Abstract
Purpose
To implement a risk-based regulatory approach, this paper aims to make an assessment on customers' money laundering risk and conducts some applications.
Design/methodology/approach
During the transition of a regulatory approach from “rule-based” to “risk-based”, this paper considers that the area of a customer, types of business and the industries to which the customer belongs are the main indicators to judge money laundering risk of a customer. Based on the statistical analysis of 221 typical money laundering cases, first-class index weights are given by using the entropy weight method and then by combining with the membership function, this paper determines a customer’s money laundering risk levels. On the basis of the entropy weight method, this paper uses the C5.0 algorithm to construct a decision tree model and then carries out application research on customer money laundering risk assessment to verify the effectiveness of the entropy weight method and the decision tree model.
Findings
This empirical research found the weights of three key money laundering indicators: customer areas, business types and corresponding industries.
Originality/value
Asserting that current money laundering risk assessments of customers are marginal at best, this paper contends from the perspective of practice, and applies the entropy weight method and the decision tree model for money laundering risk assessment of customers.
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Phyllis B. Judd and C. Paul Nathanail
There have been many positive recent developments in the groundwater legislation and policies of the 15 European Community member States (excluding Luxembourg), as the States…
Abstract
There have been many positive recent developments in the groundwater legislation and policies of the 15 European Community member States (excluding Luxembourg), as the States recognise the importance of implementing the EC Groundwater Directive, The Integrated Pollution Prevention Control Directive and other relevant EC directives. All member States recognise the importance of protecting groundwater and most have enacted legislation and/or established policies to do so. However, there are significant variations in their approaches; these variations are reflected in their approaches to site registration and classification schemes. Similarly, some member States do not yet have policies that specify explicit risk assessment procedures, while others have formal risk assessment procedures in place for registering, classifying and prioritising sites.
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