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Members of the media may email inquiries or interview requests to press@fincen.gov.

If you are not a member of the media, please visit the FinCEN contact page.

Important Reminder: Revised CTR Form for Casinos and Card Clubs Effective September 1, 2008.

Effective September 1, 2008, casinos and card clubs are required to file Currency Transaction Reports using a revised form. FinCEN announced in April that it was revising FinCEN Form 103, the Currency Transaction Report for Casinos and Card…

FinCEN issues notification of FY 2008 SAR Activity Review Survey

Dear Colleague:

The United States Department of the Treasury’s Financial Crimes Enforcement Network (FinCEN) has commissioned the CFI Group, an independent research organization, to conduct a survey to assess the value of our products:…

Recognizing Suspicious Activity - Red Flags for Casinos and Card Clubs

This guidance is intended to assist casinos and card clubs1 with the reporting of suspected money laundering, terrorist financing and related financial crimes. This guidance contains examples of circumstances or "red flags" - based on actual reports, the observations of examiners and…

FinCEN Announces Details on Intended Retirement of BSA Magnetic Media Filing Program

VIENNA, Va. - In keeping with its efforts to make Bank Secrecy Act (BSA) filing requirements more secure, efficient, and effective, the Financial Crimes Enforcement Network (FinCEN) today announced its intention to retire the BSA Magnetic Media Filing Program. Current Magnetic…

FinCEN Reminds Public to be Aware of Financial Scams

VIENNA, Va. - The Financial Crimes Enforcement Network (FinCEN) is reminding the public to be alert to ongoing financial scams that attempt to solicit funds from unsuspecting victims.

In some of these scams, individuals misrepresent themselves as FinCEN officials and try…

Proposed Amendments to the Bank Secrecy Act Regulations--Exemptions From the Requirement To Report Transactions in Currency
Bank Secrecy Act Obligations of a U.S. Clearing Broker-Dealer Establishing a Fully Disclosed Clearing Relationship with a Foreign Financial Institution


FIN-2008-R008Issued: June 3, 2008Subject: Bank Secrecy Act Obligations of a U.S. Clearing Broker-Dealer Establishing a Fully Disclosed Clearing Relationship with a Foreign Financial Institution

Dear [ ]:

I am responding to your letter of April 15, 2008 to the Financial…

Whether a Certain Operation Protecting On-line Personal Financial Information is a Money Transmitter

I am responding to your request for an administrative ruling, dated June 12, 2007, on behalf of [ ] (the "Company") to the Financial Crimes Enforcement Network ("FinCEN"). You have requested a ruling regarding whether the Company is a money services business, as that term is defined in our…

Whether an Authorized Agent for the Receipt of Utility Payments is a Money Transmitter

I am responding to your letters dated September 14, 2005, and March 21 and May 3, 2006, requesting an administrative ruling as to whether [ ], which serves as an authorized agent for the receipt of utility payments, is a money services business as that term is defined in our regulations.1…

Clarification of Amended CTRC reports

You may access the corrected document at https://www.fincen.gov/resources/financial-institutions/casinos then click on the "HTML Only" link under "Important Information for Casinos"