• Home
  • About
    • Fintech Family
  • Authorisations
    • CASP (MiCAR)
    • Buying & Selling
    • Payments & Emoney >
      • Support Material
  • Crowdfunding
  • Services
    • Regulatory Licences
    • Interim Solutions
    • Training
  • Brexit
    • Brexit Updates
  • Blogs & Insights
  • News
  • Team
  • Contact
  • Fintech Ireland
  • Client Login
  • Home
  • About
    • Fintech Family
  • Authorisations
    • CASP (MiCAR)
    • Buying & Selling
    • Payments & Emoney >
      • Support Material
  • Crowdfunding
  • Services
    • Regulatory Licences
    • Interim Solutions
    • Training
  • Brexit
    • Brexit Updates
  • Blogs & Insights
  • News
  • Team
  • Contact
  • Fintech Ireland
  • Client Login
CompliReg
  • Home
  • About
    • Fintech Family
  • Authorisations
    • CASP (MiCAR)
    • Buying & Selling
    • Payments & Emoney >
      • Support Material
  • Crowdfunding
  • Services
    • Regulatory Licences
    • Interim Solutions
    • Training
  • Brexit
    • Brexit Updates
  • Blogs & Insights
  • News
  • Team
  • Contact
  • Fintech Ireland
  • Client Login

Blogs & Insights

    Author

    Peter Oakes is an experienced anti-financial crime, fintech and board director professional.

    He has served in senior roles at central banks (Ireland & Saudi Arabia) and financial regulators (UK and Australia).

    Peter is an experienced board director of regulated finserv & fintech firms and advisor to regtech firms.

    Archives

    January 2025
    December 2024
    July 2024
    May 2024
    April 2024
    February 2024
    October 2023
    July 2023
    June 2023
    May 2023
    March 2023
    February 2023
    January 2023
    December 2022
    November 2022
    October 2022
    September 2022
    August 2022
    July 2022
    June 2022
    May 2022
    April 2022
    March 2022
    December 2021
    November 2021
    September 2021
    July 2021
    June 2021
    May 2021
    April 2021
    February 2021
    December 2020
    November 2020
    October 2020
    September 2020
    August 2020
    July 2020
    June 2020
    May 2020
    February 2020
    January 2020
    December 2019
    June 2019

    Categories

    All
    ACAMS
    AIB
    AML
    Anti Money Laundering
    Anti-money Laundering
    AUSTRAC
    Authorisation
    Bank Of England
    Bank Of Ireland
    Bank Of Lithuania
    BIS Innovation Hub
    Bitcoin
    Blockchain
    Brexit
    Capital Requirements
    CBDC
    Central Bank Of Ireland
    Chambers And Partners
    Compliance
    Consultation
    COVID-19
    Crypto
    CRYPTOASSETS
    Culture
    Cybercrime
    Cyberfraud
    Cyberrisk
    Cyprus
    Data Protection
    Dear CEO Letter
    Digital Assets
    Digital Currencies
    Digital Euro
    EBS
    ECB
    EML
    Emoney
    Enforcement
    Equivalence
    ESMA
    FCA
    Financial Conduct Authority
    Financial Crime
    Finolita Unio
    FinTech
    FintechUK.com
    Fitness & Probity
    FIU Ireland
    FTX
    GDPR
    Individual Accountability
    Insider Dealing
    Insider Trading
    KBC Bank
    Law
    Lithuania
    Map
    MiCA
    MiFID
    Moneycorp
    Money Laundering
    Payments
    Payments System Regulator
    RegTech
    Risk Management
    Sam Bankman-Freid
    Sandbox
    SARs
    SEAR
    Square
    STRs
    Terrorist Financing
    Tracker Mortgage
    Tracker Mortgages
    VASP
    Virtual Assets
    Westpac
    Wirecard

Back to Blog

Number of Suspicious Transaction Reports - Ireland 2000 to 2020

12/5/2021

 
Picture
Source: 11/05/2021 https://fiu-ireland.ie/Home (see screenshots & link to report in blog)
Less than a week ago there was no readily accessible and publicly available data (in one spot) for historic figures on the number of money laundering suspicious transaction reports in Ireland.  To assist my GRC network which ask me regularly about such data, I put out a few posts on Linkedin, including this one - https://bit.ly/3o8JvCt.  I received some responses and comments politely querying the accuracy of my figures.  In reply I posted the underlying sources, being the Garda (Irish Police) / FIU Ireland and Financial Action task force.  At the time, the only available data for 2020 was by journalist Conor Lally, at the Irish Times in his article of  4 May 2021.

Jump forward to today (or perhaps it was yesterday as there is no date), the Financial Intelligence Unit in Ireland published the above image and a three (3) page report providing details on STRs Received (2000-2020).  If you visit that site and the data does not appear, no problem, I have uploaded the file here.
Picture
https://fiu-ireland.ie/Home
Picture
FIU Ireland STR Report 2000-2020
​I am glad to see that my data and that of the FIU matches for the years 2000, 2001, 2003 & 2004. For 2002 I have 4,390 v FIU figure of 4,397 and in for 2005 I have 10,735 v FIU figure of 9,698 (hardly material). Still I find this strange as my figures were sourced from Garda & FATF reports at the time.   When I published the 2020 figure of 28,865, that was based on the above Irish Times article which was published at least 10 days before the FIU publication which reported 29,631 (2.5% difference - or a rounding error!).
Picture
Picture
Thanks to Steven Meighan for his LinkedIN post yesterday (11 May 2021) and previous engagement on money laundering STRs.

A good thing about Linkedin is that it gets people engaged & often leads to great outcomes, like the publishing by the FIU / Garda of such comprehensive data for the first time in one consolidated document and easily accessible.

We all now have an agreed historical set of facts and figures, and given it is published by FIU Ireland, it's official data.
Picture


Other areas of the FIU release which caught my eye are:
  • FIU Ireland is a police-based FIU located within the Garda National Economic Crime Bureau (GNECB). It was put on a statutory footing in 2018 with the enactment of the Criminal Justice (Money Laundering and Terrorist Financing) (Amendment) Act 2018. It is headed by Detective Chief Superintendent, GNECB, and staffed by employees of An Garda Síochána; however, it has its autonomy and operational independence in carrying out its functions, thus enhancing the FIU’s compliance with FATF’s Recommendation 29. 
  • Staff at the FIU contribute to the development of National and European policy and also sit on the Anti-Money Laundering Steering Committee (AMLSC) and represent Ireland at various international fora including the EU, FATF and Egmont Plenaries, EU FIU Platform meetings, etc. FIU Ireland is the central reception point for all Suspicious Transaction Reports (STRs) from ‘Designated Persons’ under Section 42 of the Criminal Justice (Money Laundering and Terrorist Financing) Acts 2010 to 2021. It is important to note that the Revenue Commissioners also receive a copy of every STR submitted as there is a system of dual-reporting in Ireland. 
  • FIU Ireland uses specialised software (GoAML) to meet its data collection, management, analytical, document management, workflow and statistical needs.
0 Comments
Read More
© CompliReg.com   Dublin 2, Ireland  ph +353 1 639 2971 
|  www.complireg.com  |  officeATcomplireg.com [replace AT with @]

Picture
Photo from Got Credit