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JVC Offers to Support Anti-Money Laundering Program Development

October 27, 05 by IDEX Online Staff Reporter

Jewelers Vigilance Committee (JVC) announced today it is providing targeted anti-money laundering (AML) compliance services to owners of JVC’s USA PATRIOT Act Compliance Kit (PACK) and JVC members.

 

Services are available immediately and will remain available after January 1, 2006, the deadline to comply with AML regulations. Cecilia L. Gardner, JVC’s president, CEO and general counsel and author of JVC’s PACK, provides all AML services. 

 

Earlier this year, FinCEN (Financial Crimes Enforcement Network) issued final rules requiring “dealers in precious metals, precious stones, jewels and covered goods” to implement an anti-money laundering (AML) program. Dealers who buy these products in an amount in excess of $50,000 in one year and receive more than $50,000 in gross proceeds from the sale of precious metals, stones and jewels during the same period, must comply by January 1, 2006.)

 

JVC’s programs address specific AML requirements. Contact services include:

 

•           Anti-Money Laundering Program and Policy Development -- Companies are required to assess their level of risk; JVC will assess the risks associated with a business or company and develop the company’s written AML program and AML policy.

 

•           Employee-Training Program Pertaining to Money Laundering - Companies are required to develop and implement employee-training based on the AML program.  JVC will develop a written employee-training program and train employee to recognize and deal with money-laundering attempts within the scope of their employment. And, JVC will provide a record stating the implementation of the employee-training program.

 

•           Testing of Anti-Money Laundering Programs -- The USA PATRIOT Act requires independent periodic testing of AML programs to monitor and maintain an adequate program.  JVC will test your company’s AML program to monitor and evaluate the functioning of the program and deliver a “Results Letter” on the subject of the adequate functioning of a company’s AML program and policy.

 

Said Cecilia Gardner, ”My previous experience with FinCEN and Treasury and as a former federal AML prosecutor for 13 years insure that JVC’s PACK and complementing AML support services is the definitive package to cover all compliance obligations.”

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