Case File
efta-01372673DOJ Data Set 10OtherEFTA01372673
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efta-01372673
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EFTA DisclosureText extracted via OCR from the original document. May contain errors from the scanning process.
Director
Deutsche Bank Wealth Management
ITUSI
A.1214.11(25
345 Park Astouo. New York. NY let fi-t
Ml:
Mobile:
tleutschcwealtlt.com
Seurrities: offered through Deutsche Bank So:unix-4 Inc.
From: Armen Brash
Sent: Wednesda Ma 09, 2018 9:30 PM
To:
Cc: Janice Franklin
; Kshitij Golani
Canter <
>; Olivier
Poncet <
>; Barry H Morris <
>; Wayne Salit
Yoonsun Chung <a>.;
Prashant Mahendru
zia Memon
<Elle>;
Anil Tewani
Mary C Keaveney e;
Derek St-
Hilaire <II
IMIS=>
Subject: Important Update New Regulation: FinCen CDD Rule Procedures (I)
Classification: For Internal use only
Hello Everyone,
Apologies in advance for the very long email, and the even shorter turnaround time to the go live date of the
regulation...but this email contains a lot of important information regarding a new US regulation that all of DB must comply
with.
As you probably know, the FinCEN CDD Rule goes into effect on Friday, May 11, 2018. In short, the rule requires
financial institutions to obtain a certification of beneficial ownership ("CDD Form") from certain legal entity clients. Trusts
and Estates are the most common type of exclusion we will see in WM—if you believe your account holder may be
excluded, please reach out to AFC (Janice, Yoonsun, KG, or Wayne) for confirmation. The attached training presentation
contains multiple slides on excluded entity types.
The CDD Form must be completed by the client, and cannot be pre-filled by anyone at Deutsche Bank. Beginning on
May 111h, the completed and signed CDD Form must be included with all KYC Cases and all Account Opening Requests
for review and validation.
For Clients who are within scope for the rule, no account may be opened without the form. There will be no exceptions.
For all eligible clients, the CDD Form must be provided with all required KYC documentation during the the KYC New
Client Adoption process, as well as during the Regular Review and Event Driven Review processes.
After the first account is opened using a newly obtained CDD Form, it must be verified (in writing) with the person who
signed it, to be current, prior to each subsequent account opening. Alternatively, a new form may be obtained. The CDD
Form expires after a period of 5 years, even if there have been no ownership or control changes, and must be refreshed
during the next regular review.
At this time, all in flight KYC cases for eligible legal entity account holders which have not been approved before close of
business on Thursday, May 10Th require the CDD Form. ABR and AFC will maintain the KYCs in the queue, and you will
be given a list of all eligible legal entity KYCs in flight so you may begin client outreach.
The full text of the rule, as well as a training presentation, and frequently asked questions document are all attached to
this email.
The CDD Form has been posted to the WM portal, under KYC Forms. The direct link is:
;
titc,,:WM189666 MRG 026819 Certilication Regarding Beneficial Ownors
I izioal Entity Custorneis 050318 ink:tatty& Rl.pcil
CONFIDENTIAL - PURSUANT TO FED. R. CRIM. P. 6(e)
DB-SDNY-0066476
CONFIDENTIAL
SDNY_GM_00212660
EFTA01372673
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