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FinCEN Issues Guidance on Suspicious Activity Reporting Requirements for Mutual Funds

The Financial Crimes Enforcement Network today issued guidance designed to assist mutual funds in complying with their suspicious transaction reporting requirement. Under a final rule, mutual funds must file reports with FinCEN that identify and describe transactions that raise suspicions of…

Joint Advance Notice of Proposed Rulemaking - Threshold for the Requirement to Collect, Retain, and Transmit Information on Funds Transfers and Transmittals of Funds (RIN 1506-AA86 - 71 FR 35564-35567)
Frequently Asked Questions Conducting Independent Reviews of Money Services Business Anti-Money Laundering Programs

We are issuing this guidance to assist money services businesses in understanding the regulatory requirements regarding conducting independent reviews of their anti-money laundering programs.

The Bank Secrecy Act requires money services businesses to establish anti-money laundering…

FinCEN Names Edward J. Dorris as Chief Information Officer and Associate Director for Information and Technology

Robert W. Werner, Director of the Financial Crimes Enforcement Network (FinCEN), announced today the selection of Edward J. Dorris as Chief Information Officer (CIO) and the Associate Director of FinCEN's Information and Technology Division. Mr. Dorris will oversee the technical infrastructure…

STATEMENT OF ROBERT W. WERNER, DIRECTOR, FINANCIAL CRIMES ENFORCEMENT NETWORK, UNITED STATES DEPARTMENT OF THE TREASURY

Chairman Shelby, Senator Sarbanes and distinguished members of the Committee, I appreciate the opportunity to appear before you today to discuss the Financial Crimes Enforcement Network’s (FinCEN) ongoing initiatives and efforts to combat money laundering and terrorist financing in the post 9/11…

Brian L. Ferrell Departing the Financial Crimes Enforcement Network

Brian Ferrell, Chief Counsel of the Financial Crimes Enforcement Network, will be departing the agency at the end of August to become Assistant Vice President and Assistant General Counsel within the compliance group at The Hartford Financial Services Group, Inc., a financial services and…

Corporate Credit Unions’ Currency Transaction Reporting Obligations

Dear [ ]: I am writing in response to your letter of June 7, 2006 to the U.S. Department of the Treasury, in which you request an administrative ruling on behalf of [ ] that addresses whether the Bank Secrecy Act and its implementing regulations require corporate credit unions to file Currency…

Proposed Collection Currency Transaction Report by Casinos-Nevada FinCEN Form 103-N
Proposed Extension without change Currency Transaction Report FinCEN form 104 (71 FR 42719-42720)
SEC No-Action Letter Permitting Securities Broker-Dealers to Rely on Investment Advisers for Purposes of the Joint FinCEN/SEC Customer Identification Rule