View original document

The full text on this page is automatically extracted from the file linked above and may contain errors and inconsistencies.

12/15/2023

Remarks by Under Secretary for Terrorism and Financial Intelligence Brian Nelson at Bank Roundtable in Mumbai, Ind…

Remarks by Under Secretary for Terrorism and Financial
Intelligence Brian Nelson at Bank Roundtable in Mumbai, India
December 15, 2023

As Prepared for Delivery

INT RODUCT ION
I am Brian Nelson, the U.S. Treasuryʼs Under Secretary for Terrorism and Financial Intelligence,
or ʻTFIʼ. The o ices I lead, which include the O ice of Foreign Assets Control, known as OFAC,
the O ice of Intelligence and Analysis, or OIA, the O ice of Terrorist Financing and Financial
Crimes, TFFC, the Financial Crimes Enforcement Network, or FinCEN, and the Treasury
Executive O ice for Asset Forfeiture, or TEOAF, are tasked with deploying our financial
intelligence, expertise, and economic authorities to combat terrorist financing, money
laundering, weapons proliferators, corrupt actors, and other national security threats.
I am in India to meet with my government counterparts to discuss the full range of our shared
priorities, such as countering the financing of terrorism and implementing strong AML/CFT
standards to regulate virtual assets and VASPs.
I also value the opportunity to meet with you all and other private sector partners here in
Mumbai as key stakeholders in our fight to combat financial crime. I would like this to be a
frank and open discussion and exchange of perspectives.

RUSSIA
One of Treasuryʼs top priorities, as you might guess, is Russia. I put immense value in hearing
from industry as we continue our e orts to hold Russia accountable for its brutal war in
Ukraine.
Treasuryʼs top priorities are reducing Russian revenue and preventing sanctions evasion to
disrupt Russiaʼs ability to acquire goods that are used on the battlefield in Ukraine. We are
deeply concerned by an increase in Russian procurement from third countries of key inputs
and technologies directly supporting Russiaʼs attempt to build a self-su icient wartime
economy.
https://home.treasury.gov/news/press-releases/jy2000

1/4

12/15/2023

Remarks by Under Secretary for Terrorism and Financial Intelligence Brian Nelson at Bank Roundtable in Mumbai, Ind…

Combatting Russian sanctions evasion and illicit procurement will increasingly implicate
money laundering typologies, sanctions evasion, and the circumvention of export controls
regimes. For financial institutions, addressing this is critical to mitigating regulatory and
reputational risks. Front-line industry compliance is critical to our e orts and critical to you
for protecting your bank from sanctions exposure.
As you may be aware, the U.S. Department of Commerce is working with our partners,
including those in the EU and dozens of others, to maintain a set of high priority-controlled
Harmonized System (HS) codes covering items that are key inputs for Russian military
capabilities.
The Treasury and Commerce Departments have specifically identified items that include key
potential inputs for Russian military capabilities. We have identified a set of forty-five 6-digit
controlled HS codes that cover those items that include these key inputs used by Russia in
missile systems and other equipment used on the battlefield.
These items pose a heightened risk of being diverted illegally to Russia because of their
importance to Russiaʼs war e orts. To assist financial institutions, the U.S. financial
intelligence unit, FinCEN, published an alert with the Department of Commerceʼs Bureau of
Industry and Security in June 2022 and a supplemental alert in May 2023 on potential Russian
export control evasion.
Both alerts are publicly available on the FinCEN website and outline typologies and red flag
indicators for financial institutions to incorporate into their existing risk assessments and
suspicious activity reporting. We have and continue to strongly encourage our financial
institutions to review these alerts and incorporate them into their transaction screening.
Private sector firms make their own risk-based decisions, and Treasury expects all financial
institutions to strictly monitor, and address threats related to sanctions evasion and illicit
procurement.
Russia will continue to adapt its evasive activity and deceptive practices to acquire essential
goods and technologies, so it is imperative that financial institutions also continually reassess
their internal controls particularly with regard to the sectors core to Russiaʼs military
industrial complex.
Earlier this week, the United States designated more than 150 targets as part of our ongoing
e ort to implement the commitments made by G7 Leaders by taking action against Russian

https://home.treasury.gov/news/press-releases/jy2000

2/4

12/15/2023

Remarks by Under Secretary for Terrorism and Financial Intelligence Brian Nelson at Bank Roundtable in Mumbai, Ind…

military procurement networks and those who help Russia acquire machine tools, equipment,
and key inputs.
Treasury will continue to issue more designations of individuals and entities that are
providing support to Russiaʼs military industrial complex and supporting its broader e orts to
evade our existing sanctions.

HAMAS
Turning to Hamas, I want to clearly note that the U.S. Treasury is unequivocal in its
determination to cut o Hamasʼ ability to access the international financial system following
the atrocities perpetrated on October 7.
The United States considers Hamas a terrorist organization, and their attack on innocent
civilians on October 7 certainly qualifies them as such.
Hamas receives significant financial support from Iran and generates revenue through its
secret investment portfolios, with a network of global assets estimated to be worth
hundreds of millions of dollars. The portfolio includes companies operating in Sudan, Algeria,
the United Arab Emirates, and Türkiye, among others.
The companies in Hamasʼs portfolio have operated under the guise of legitimate businesses,
and their representatives have attempted to conceal Hamasʼs control over their assets.
To launder and move their illicit proceeds, the group operates a vast network of shell
companies and take advantage of permissive jurisdictions and facilitation hubs to move these
funds. They also smuggle physical currency and use a regional network of money
transmitters, exchange houses, and a longtime US-designated, Hizballah-a iliated bank, Bayt
Al-Mal, to move funds from Iran into Gaza.
Our job in protecting the international financial system is to look at the activity and ensure we
have strong enough due diligence to guard against suspicious illicit activity.
But to be clear, compliance should not equate to cutting o legitimate humanitarian aid. We
are also concerned by the humanitarian crisis in Gaza. As President Biden has said, too many
Palestinians have died. The U.S. government strongly supports the delivery of humanitarian
assistance to the Palestinian people, and we want to make clear that U.S. sanctions do not
stand in the way of these life-saving e orts.

https://home.treasury.gov/news/press-releases/jy2000

3/4

12/15/2023

Remarks by Under Secretary for Terrorism and Financial Intelligence Brian Nelson at Bank Roundtable in Mumbai, Ind…

I recently held several roundtables with over sixty-five NGO representatives to reinforce this
commitment and will continue to work with the sector to ensure that our sanctions do not
impede legitimate humanitarian aid.
Just last month, Treasury issued a communiqué in response to questions from the NGO
community and the general public on how to provide humanitarian assistance while complying
with OFAC sanctions.
It is in our collective interest to work together to protect the international financial system
and your jurisdiction from exploitation by illicit actors.

REGULATORY AGENDA
I know the Indian government has focused on its AML/CFT regime, as have we.
Top of mind for me is beneficial ownership. For the United States, we will operationalize our
beneficial ownership registry on January 1, 2024, finally addressing one of our greatest
deficiencies in our regime by limiting illicit actorsʼ ability to use shell companies to abuse the
U.S. and international financial systems.
I look forward to hearing your experience in implementing Indiaʼs beneficial ownership
regulations. I know that the ownership threshold has tightened from 25 to 10 percent, so I
am interested to hear your experience with this shi as well.
The purpose of today is also for me to hear from you, so with that, I conclude my prepared
points and happy to hear questions and observations. I look forward to hearing how we can
be good and better partners in e ectively enforcing our sanctions and regulatory priorities
globally.
###

https://home.treasury.gov/news/press-releases/jy2000

4/4