Agency Information Collection and Reporting Activities; Electronic Filing of Bank Secrecy Act (BSA) Reports; Final Notice
| Federal Information & News Dispatch, Inc. |
Final notice.
Citation: "77 FR 12367"
"Notices"
SUMMARY: FinCEN is adopting a requirement that all financial institutions subject to Bank Secrecy Act (BSA) reporting use electronic filing for certain reports beginning no later than
DATES: Effective date is
Inspection of comments received. If a financial institution wishes to review comments received in response to the
FOR FURTHER INFORMATION CONTACT: The FinCEN Regulatory Helpline at 800-949-2732, select option 7.
SUPPLEMENTARY INFORMATION:
Title: Bank Secrecy Act Reporting, (31 CFR chapter X).
Abstract: The statute generally referred to as the "Bank Secrecy Act," Titles I and II of Public Law 91-508, as amended, codified at 12 U.S.C. 1829b, 12 U.S.C. 1951-1959, and 31 U.S.C. 5311-5332, authorizes the Secretary of the Treasury (Secretary), inter alia, to require financial institutions to file reports that are determined to have a high degree of usefulness in criminal, tax, and regulatory matters, or in the conduct of intelligence or counter-intelligence activities to protect against international terrorism, and to implement counter-money laundering programs. /1/ Regulations implementing Title II of the BSA appear at 31 CFR chapter X. The authority of the Secretary to administer the BSA has been delegated to the Director of FinCEN.
FOOTNOTE 1 Language expanding the scope of the BSA to intelligence or counter-intelligence activities to protect against international terrorism was added by Section 358 of the Uniting and Strengthening America by Providing Appropriate Tools Required to Intercept and Obstruct Terrorism Act of 2001 (the
The Secretary was granted authority with the enactment of Title 31 U.S.C., to require financial institutions and other persons to file various BSA reports. The information collected on the reports is required to be provided pursuant to Title 31 U.S.C., as implemented by FinCEN regulations found throughout 31 CFR chapter X. The information collected pursuant to this authority is made available to appropriate agencies and organizations as disclosed in FinCEN's Privacy Act System of Records Notice. /2/
FOOTNOTE 2 FinCEN completed its triennial review of its System of Records Notices. Updated Notices will be published in the
Current Action: In support of Treasury's paperless initiative and efforts to make government operations more efficient, FinCEN has chosen to mandate electronic filing of certain BSA reports effective
This requirement will significantly enhance the quality of FinCEN's electronic data, improve its analytic capabilities in supporting law enforcement requirements, and result in a significant reduction in real costs to the U.S. government and ultimately to U.S. taxpayers. Specifically, this action makes mandatory the electronic submission of all BSA reports excluding the Report of International Transportation of Currency or Monetary Instrument Report (CMIR). /3/ Further, the Report of Cash Payments Over
FOOTNOTE 3 All CMIRs are filed with the
FOOTNOTE 4 See 26 U.S.C. 6011(e)(2); see also 26 CFR 1.6050I-1(e)(3)(i) and 31 CFR 1010.330(e)(1). END FOOTNOTE
Background: Since
BSA E-Filing, which is provided free of charge, offers streamlined BSA information submission; faster routing of information to law enforcement; greater data security and privacy compared with paper forms; long-term cost savings to institutions, individuals, and the government; and ensures compatibility with future versions of BSA reports.
In addition, BSA E-Filing offers the following features not available to paper filers:
* Electronic notification of submissions, receipt of submission, and errors, warnings, and alerts;
* Batch validation;
* Acknowledgement that a batch-filed currency transaction report (CTR) and/or suspicious activity report (SAR) was received;
* Feedback reports to filers;
* Faster acknowledgement to money services businesses of receipt of their registration;
* Ability to send and receive secure messages;
* Use of Adobe forms that allows users to create templates, reducing data entry but still providing for printing paper copies if the filer wants a paper copy for its internal review and approval processes;
* Ability for supervisory users to assign system roles to their staff; and
* Access to training materials.
In 2010, FinCEN initiated a complete redesign and rebuilding of a new system-of-record database that significantly enhanced FinCEN's technical capabilities to receive, process, share, and store BSA data. A significant part of this upgrade was the implementation of state-of-the-art electronic reporting or information collection tools. As of
FOOTNOTE 5 As of
As a result of the 2010 initiative, FinCEN is in the process of fielding a new BSA Collection, Processing, and Analytic system. The new system, which includes significant e-filing improvements, is designed to support the most efficient state-of-the-art electronic filing. The database will accept Extensible Markup Language (XML) based dynamic reports as well as certain other file formats. The XML Schema, and the American Standard Code for
FOOTNOTE 6 Copies of the XML and ACSII file formats may be obtained by contacting the BSA E-Filing Help Desk at 1-866-346-9478 (option 1) or via email at [email protected]. END FOOTNOTE
All filings (batch, computer-to-computer, and discrete) will be initiated through the BSA E-Filing System /7/ using updated registration and log-in procedures that correct several identified limitations noted in the comments received on the
FOOTNOTE 7 More information on filing methods via FinCEN's free Web-based service may be accessed at http://bsaefiling.fincen.treas.gov/main.html. END FOOTNOTE
FOOTNOTE 8 See 76 FR 57799. END FOOTNOTE
FOOTNOTE 9 A series of predetermined questions was designed to establish the type of institution and filing in much the same manner as used in widely accepted income tax filing software. END FOOTNOTE
Today's notice requiring filers to submit certain BSA reports electronically using the free FinCEN BSA E-Filing System will provide a range of benefits. Electronic filing will facilitate the rapid dissemination of financial and suspicious activity information in connection with BSA filings, making information contained in these filings more readily available to--and more easily searchable by--law enforcement, the financial regulatory community, and other users of BSA data. Additionally, the requirement that certain BSA reports be filed electronically will result in a significant reduction in the use of paper, producing a positive environmental impact. Further, the implementation of the requirement to file electronically has the potential to save the government a few million dollars per year through the reduction of expenditures associated with current paper processing, in particular the physical intake and sorting of incoming reports, and the electronic keying of reported information into the database.
Security: Mandatory electronic filing will provide increased security not available with paper filings. At the present time, all paper reports are mailed to the IRS Enterprise Computing Center--Detroit (ECC-D) in
FOOTNOTE 10 A delayed or damaged report becomes more critical if it was reporting suspicious activity--especially when relating to terrorist financing. END FOOTNOTE
Filer Impact Assessment: On
FOOTNOTE 11 See 76 FR 57799,
FOOTNOTE 12 See http://www.fincen.gov/whatsnew/html/20120221.html. END FOOTNOTE
Several commenters noted a time-to-file change in the CTR electronic filing specification for the FinCEN CTR from the current 25 days to 15 days. /13/ FinCEN has consistently maintained a regulatory requirement that CTRs be filed within 15 days. /14/ Notwithstanding this requirement, in connection with its receipt of magnetic media files initiated in late 1987, and ending in
FOOTNOTE 13 The FinCEN CTR filing specifications may be viewed at http://bsaefiling.fincen.treas.gov/news/FinCENCTRElectronicFilingRequirements.pdf. See Appendix D page 49. END FOOTNOTE
FOOTNOTE 14 See 31 CFR 1010.306(a)(1). END FOOTNOTE
FOOTNOTE 15 http://bsaefiling.fincen.treas.gov/FAQs.html. END FOOTNOTE
A few commenters noted specific E-File System/Site technical concerns, such as difficulty with password management or field lengths. Several of the issues noted in these comments will be addressed by planned system enhancements, and others are being evaluated. Several commenters pointed out that their institutions filed very few BSA reports a year and noted that filing paper reports was their preferred method. In response, FinCEN would note that the discrete option of the BSA E-Filing System was specifically designed to accommodate the small volume filers. One commenter requested that FinCEN permit firms to file BSA reports in a hardcopy format as a contingency alternative if material issues arise with their respective e-filing systems or FinCEN's database, which would prevent firms from, among other things, batch filing their reports. As a response, FinCEN would note that it has Continuity of Operations Plans (COOP) and E-filing System back-up contingency plans in place to address such issues should they occur. Additionally, the BSA E-Filing helpdesk is available to assist BSA filers as necessary if technical problems are encountered. Finally, one commenter elected to direct comments to two earlier notices, /16/ which did not address mandatory electronic filing.
FOOTNOTE 16 See 75 FR 63545,
Industry Impact Assessment:
a. Depository institutions: Based on responses and updated information, FinCEN believes this change in filing procedures will have some impact on small institutions, but that the overall impact on this group of filers will be minimal. Most depository institutions are currently required to file quarterly call or thrift financial reports with their regulator electronically /17/ through a Web-based portal provided by the appropriate federal regulator. This same electronic connectivity may be used to file BSA reports with FinCEN by logging in to the BSA E-Filing System Web-based portal. As noted above for those financial institutions unable to meet the proposed electronic filing deadline, FinCEN will consider, based upon certain very limited hardship exceptions, specific requests to file the most current paper forms for up to one year but no later than
FOOTNOTE 17 Several commenters advised that approximately 200 very small financial institutions mail their report to their regulator who in turn posts it to the regulator's database. END FOOTNOTE
FOOTNOTE 18 See supra note 12. END FOOTNOTE
b. Broker-Dealers, Futures Commission Merchants (FCMs), Introducing Brokers in Commodities (IB-Cs), and Mutual Funds: In view of the comments received and the notice extending the deadline to implement the new reports until
FOOTNOTE 19 Currently both the
FOOTNOTE 20 See http://www.sec.gov/info/edgar/regoverview.htm. END FOOTNOTE
FOOTNOTE 21 For financial institutions subject to CFTC oversight, See NFA Electronic Filings at http://www.nfa.futures.org/NFA-electronic-filings/index.HTML. END FOOTNOTE
c. Insurance companies: FinCEN received no comments from this financial sector. In view of this, and an understanding that institutions in this financial sector are highly automated, /22/ FinCEN believes that this change in filing procedures will have minimal impact on these institutions.
FOOTNOTE 22 See the National Insurance Producer Registry (NIPR) at http://www.nipr.com/. NIPR is a unique public-private partnership that supports the work of the states and the
d. Casinos and
FOOTNOTE 23 Casinos and
e. Money Services Businesses (MSBs): FinCEN received comments from two commenters. Both were supportive of moving to electronic filing but noted timing and technical issues that mirrored other commenters. The relief provided by delaying the implementation date of the FinCEN CTR and SAR to
FOOTNOTE 24 See supra note 12. END FOOTNOTE
f. Service Providers: There is a network of third-party service providers with which financial institutions may contract to provide electronic filing services to the BSA E-Filing System. FinCEN believes this group to be highly automated and many are already using the BSA E-Filing System. FinCEN does not anticipate that this requirement will have an impact on this group.
g. Small businesses: /25/ In support of small businesses,
FOOTNOTE 25 See the
FOOTNOTE 26 Supra footnote 12. END FOOTNOTE
h. Individual filers: Effective
FOOTNOTE 27 See Background section. END FOOTNOTE
i. Other Filing Issues: One commenter noted a potential issue with duplicate filings that are currently required by several States. FinCEN will continue to address the duplicate filing issue with the States involved. FinCEN noted this issue in its SAR Confidentiality notice filing. /28/
FOOTNOTE 28 See 75 FR 75598,
j. Report of Cash Payments Over
Paperwork Reduction Act (PRA)
Type of Review: Review of the final notice to mandate the electronic filing of BSA reports. The burden associated with this notice is reflected below.
Affected Public: Businesses or other for-profit and non-profit institutions.
Frequency: As required.
Estimated Burden: Effective with the FinCEN IT Modernization, there will be seven BSA reports. /29/ The burden for electronic filing and recordkeeping of each BSA report is reflected in the OMB approved burden /30/ for each of these reports. The non-reporting recordkeeping burden is reflected separately. /31/
FOOTNOTE 29 FinCEN-SAR, FinCEN-CTR, Designation Of Exempt Person, CMIR, RMSB, Foreign Bank Account Report, and the Report of Cash Payments Over
FOOTNOTE 30 See OMB control numbers 1506-0065, 1506-0064, 1506-0009, 1506-0013, 1506-0014, 1506-0018. END FOOTNOTE
FOOTNOTE 31 See OMB control numbers 1506-0051 through 1506-0059. END FOOTNOTE
Estimated Number of Respondents for all reports = 74,900. /32/
FOOTNOTE 32 All filers subject to BSA reporting requirements excluding CMIR, see supra note 3. END FOOTNOTE
Estimated Total Annual Responses for all reports = 16,172,770.
Estimated Total Annual Burden Hours = 20,874,761. /33/
FOOTNOTE 33 Includes all reporting and recordkeeping burden associated with filing BSA reports. END FOOTNOTE
An agency may not conduct or sponsor, and a person is not required to respond to, a collection of information unless the collection of information displays a valid OMB control number. Records required to be retained pursuant to the BSA must be retained for five years.
Dated:
Director,
[FR Doc. 2012-4756 Filed 2-28-12;
BILLING CODE 4810-02-P
| Copyright: | (c) 2012 Federal Information & News Dispatch, Inc. |
| Wordcount: | 3880 |



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