Skip to content

Menu

LexBlog, Inc. logo
NetworkSub-MenuBrowse by SubjectBrowse by PublisherJoin the NetworkGet StartedSubscribeSupportContact
Search
Close

CSBS Releases BSA/AML Risk and Controls Self-Assessment Tool

By Kevin D. Leitão on February 21, 2017
Email this postTweet this postLike this postShare this post on LinkedIn

The Conference of State Bank Supervisors (CSBS) has continued its efforts to promote improvements in Bank Secrecy Act/Anti-Money Laundering compliance with the release in January 2017 of a new BSA/AML Self-Assessment Tool for banks. The optional tool is intended to help state-chartered banks enhance their risk assessment process.

The tool, which is provided in Microsoft Excel format, includes a standard methodology for a risk and control self-assessment (RCSA): determination of inherent risks, assessment of the strength of “risk mitigation/controls” and a residual risk rating. The tool is helpful as far as it goes, which is providing a general methodology and identifying common inherent risk areas for banks. The tool does not provide guidance on what constitutes “low,” “moderate” or “high” inherent risks for each category, nor does it provide a list of expected controls or guidance regarding how to rate the strength of controls. The identification and rating of controls is the more challenging part of conducting an RCSA.

State-chartered banks should consider how they might be able to leverage this tool to enhance their current risk assessment process. Given the critical role of risk assessments in building a robust and sustainable BSA/AML compliance program, this tool can help some banks and other companies supervised by state regulators raise the level of their risk assessment. Banks and others will still have to do so some hard thinking as they build out a meaningful RCSA, but the framework provided by the CSBS should prove helpful to many institutions.

If you would like to remain updated on these issues, please click here to subscribe to Money Laundering Watch.

Kevin D. Leitão

Kevin joined Ballard Spahr in 2015 following 15 years of in-house counsel and senior compliance officer experience in regulated industries. He has developed, led, and supported risk-based Bank Secrecy Act (BSA), Anti-Money Laundering (AML), compliance, security, and vendor management programs at leading financial…

Kevin joined Ballard Spahr in 2015 following 15 years of in-house counsel and senior compliance officer experience in regulated industries. He has developed, led, and supported risk-based Bank Secrecy Act (BSA), Anti-Money Laundering (AML), compliance, security, and vendor management programs at leading financial institutions and technology companies.

He advises clients in diverse industries on digital commerce, data security, privacy, compliance, and risk management/governance. Kevin also counsels banks, nonbank lenders, mortgage lenders, insurance companies, gaming companies, money services businesses, prepaid program managers, and precious metals dealers on matters related to BSA, AML, and the Office of Foreign Assets Control.

Read more about Kevin D. LeitãoEmail
Show more Show less
  • Posted in:
    Banking, Finance and Securities
  • Blog:
    Money Laundering Watch
  • Organization:
    Ballard Spahr LLP
  • Article: View Original Source

Call us at 1-800-913-0988 or email sales@lexblog.com.

Facebook LinkedIn Twitter RSS
The Library at LexBlog
  • About LexBlog
  • The Field We Built
  • Library at LexBlog
  • Our Beliefs
  • Our Team
  • Contact LexBlog
  • Disclaimer
  • Editorial Policy
  • Terms of Service
  • Get Started
  • Publishing Solutions
  • Compass
  • Submit a Request
  • Support Center
  • System Status
Copyright © 2026, LexBlog, Inc. All Rights Reserved.
Law blog design & platform by LexBlog LexBlog Logo