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Navigating FINTRAC Compliance in the Mortgage Sector
Episode 96th November 2024 • Know Your Compliance (KYC) • Greg Dent
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As the mortgage sector navigates new FINTRAC regulatory requirements, dive into unique insights from the ReallyTrusted team, with insights from Catagay Sen and Taylor Cameron. With the recent expansion of FINTRAC oversight to mortgage brokers, both professionals share critical observations on challenges faced by designated individuals and principal brokers in implementing compliance measures. Taylor’s experience speaking to new and potential clients’ sheds light on common misconceptions, while Catagay offers a deep dive into the evolving, policy-specific concerns mortgage brokerages encounter. Together, they discuss the ways ReallyTrusted is helping client’s approach FINTRAC compliance with clarity and confidence, helping ensure these new requirements are met effectively.

This episode offers an essential look at the early days of FINTRAC’s regulations in the mortgage sector, uncovering valuable insights for brokerages looking to stay compliant and prepared.

Key Takeaways:

- Many mortgage brokerages face challenges understanding their role under FINTRAC regulations.

- Designated individuals often need help crafting policies tailored to new compliance standards.

- Misunderstandings are common around what data must be recorded and reported.

- Brokerages frequently underestimate the time and resources required for full compliance.

- ReallyTrusted provides tailored programs to help brokerages meet compliance requirements efficiently.

Connect with Greg and Really Trusted at:

https://reallytrusted.com/

https://www.facebook.com/ReallyTrusted/

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Transcripts

Greg Dent:

All right, welcome to another episode of The Know Your

Greg Dent:

Compliance podcast. Thank you so much for joining us. Today. I'm

Greg Dent:

going to be interviewing Cagatay Sen from the really trusted

Greg Dent:

team. He's our FINTRAC Express program lead, and Taylor

Greg Dent:

Cameron, who's our manager of business development. And the

Greg Dent:

topic I wanted to bat around today is something that we

Greg Dent:

actually are uniquely positioned to talk about, and that's

Greg Dent:

specifically how things are going in the mortgage sector in

Greg Dent:

the first three ish weeks now, depending on when you're

Greg Dent:

listening to this of their quote coverage under the fin track,

Greg Dent:

regs. So let me kind of give us give our audience a bit of

Greg Dent:

framing here, Taylor spends most of her day most weeks, chatting

Greg Dent:

with potential clients, people who have realized that they need

Greg Dent:

to know more about FINTRAC. They reporting entities across both

Greg Dent:

the real estate and the mortgage sectors primarily, and develops

Greg Dent:

some interesting insights around their beliefs at that stage,

Greg Dent:

chat. I spends most of his life chatting with brokerages who

Greg Dent:

have chosen to hire us, and gets really granular on their fin

Greg Dent:

track compliance policies. And so what I was hoping to bring to

Greg Dent:

our audience today is the insights that Taylor and Chad I

Greg Dent:

have brought or have gleaned through the last three Well,

Greg Dent:

actually, we've been we launched this kind of mostly about a

Greg Dent:

month ago. Now today's date is November 1, but we launched. So

Greg Dent:

we launched this the big roughly the beginning of October, where

Greg Dent:

we really started talking with a lot of brokerages specific

Greg Dent:

around their policies. So with all of that long intro, let's

Greg Dent:

get into it. Taylor, let's start with you. Can you give me three,

Greg Dent:

four, maybe five, things that you've observed as the feedback

Greg Dent:

that mortgage brokerages, the designated individuals,

Greg Dent:

principal brokers, depending on how you want to call them, what

Greg Dent:

they're seeing as the challenges in their fin track compliance

Greg Dent:

programs?

Taylor Cameron:

Yeah, that's interesting. I mean, I don't

Taylor Cameron:

even know if we can say that they're seeing it, or rather,

Taylor Cameron:

what I'm seeing, because I don't. I think we, I think we've

Taylor Cameron:

got two populations. I think we've got the the population

Taylor Cameron:

that doesn't know what they don't know. And then as as we're

Taylor Cameron:

moving through this, we have the population that knows there's a

Taylor Cameron:

lot they don't know. So I feel like some of the bigger things,

Taylor Cameron:

I think, that I'm seeing just as a general as a whole, is that we

Taylor Cameron:

have a lot of individual brokers going in and finding their own

Taylor Cameron:

IDD software that works for them individually, and they're not

Taylor Cameron:

referencing back to our Di's and our principal brokers to find

Taylor Cameron:

out what is actually indicated as what we're using in our

Taylor Cameron:

policy and procedure manuals. So that's a big piece. I feel like

Taylor Cameron:

a lot of we've got a lot of designated individuals waiting

Taylor Cameron:

for templates to come from associations. And, I mean, we

Taylor Cameron:

can certainly dive into that topic a little more. Yeah, I

Taylor Cameron:

think

Greg Dent:

that's worth coming back to for sure. Yeah, yeah,

Greg Dent:

yeah.

Taylor Cameron:

What are some other things here? And I think

Taylor Cameron:

the other common thread is that we are hearing, I'm a small

Taylor Cameron:

brokerage. All of my clients are repeat. They're all low risk.

Taylor Cameron:

I've dealt with them for years and or that I'm so small that,

Taylor Cameron:

you know what I really, you know, I don't really need to do.

Taylor Cameron:

This is another unique and interesting perspective in the

Taylor Cameron:

industry. So, I mean, those are some of the things that come top

Taylor Cameron:

of mind.

Greg Dent:

Okay, so the overarching things I think are,

Greg Dent:

are generally a lack of, perhaps frontline staff seeing IDV as

Greg Dent:

being the entirety or the bulk of their obligations or and

Greg Dent:

whether that's true or not, as a conversation we'll have in a

Greg Dent:

second, but, but really being focused on that IDV part di is

Greg Dent:

thinking that Maybe templates are going to solve this for

Greg Dent:

them, and then going back to the frontline staff. Well, actually,

Greg Dent:

this is kind of where frontline staff and Di's need to get on

Greg Dent:

the same page. Is what is a low risk individual and what is risk

Greg Dent:

and how is risk identified?

Taylor Cameron:

Okay? And it's not a tech box determination,

Taylor Cameron:

right? Yeah. Okay. Yeah, yeah,

Greg Dent:

yeah, no, and we'll sorry. We'll come back to that.

Greg Dent:

I want to open up the conversation to chat. I see what

Greg Dent:

he's seeing on the other side, people who have chosen to engage

Greg Dent:

with us for either of the two reasons Taylor has identified,

Greg Dent:

maybe they know they have a problem, they need some help, or

Greg Dent:

they don't know they have a problem, but they need some

Greg Dent:

help. What are you seeing in those in those meetings, when

Greg Dent:

you're doing that consult, when you're creating the policy

Greg Dent:

manuals, where are you finding the the real challenges that the

Greg Dent:

eyes and brokerages are facing?

Cagatay Sen:

Right? Yes, so I've had several meetings now, and

Cagatay Sen:

one of the issues. That I've seen pop up regularly is that

Cagatay Sen:

these guys, up until now, have been used to having the lenders

Cagatay Sen:

do all the pretty much, you know, burdensome work of ID

Cagatay Sen:

verification, etc, ensuring that the proper controls were in

Cagatay Sen:

place to properly identify the clients things like that, and

Cagatay Sen:

they never touched based on any client funds, either. They see

Cagatay Sen:

they do not do that. So one of the issues now that with the

Cagatay Sen:

financial competition coming to play as of october 11, is that

Cagatay Sen:

they are a bit nervous as to how they're going to go through this

Cagatay Sen:

process, because they are the front line now to do this, I

Cagatay Sen:

mean, the assurance that I try to give them naturally is that

Cagatay Sen:

we as really trusted, are here to assist them along the way

Cagatay Sen:

from our systems that are going to be in place for the ID

Cagatay Sen:

verification, etc. And that's where Taylor, I agree with you,

Cagatay Sen:

some have already started to, in the past, utilize some IDV third

Cagatay Sen:

party applications, but I always assist them that you know you

Cagatay Sen:

because the question pops up sometimes that they also asked

Cagatay Sen:

whether they need another application for this purpose. I

Cagatay Sen:

said you don't, because when you sign up for our program, you're

Cagatay Sen:

getting full coverage as to the systematic capabilities of the

Cagatay Sen:

app, etc. So all the ID verification, remote ID

Cagatay Sen:

verification applications are going to be in place, and that's

Cagatay Sen:

going to be covered in respect of your sanction is controlled,

Cagatay Sen:

peppers, controls, etc. We're going to ensure that you know

Cagatay Sen:

your database is going to be covered respect your high risk

Cagatay Sen:

of monitoring obligations, your adverse media control, which

Cagatay Sen:

will come into play, which, you know, really gives them a good

Cagatay Sen:

insight into what we can do for them, etc. And the training

Cagatay Sen:

aspect is very exciting for them, I see, especially they

Cagatay Sen:

want to have this as soon as possible training, because they

Cagatay Sen:

want to create that much shift in mindset for their

Cagatay Sen:

underwriters, their you know, associates, etc. We're going to

Cagatay Sen:

be dealing with the client information, the files, etc.

Cagatay Sen:

They want to understand what those indicators are going to

Cagatay Sen:

be. How do you risk great clients? Especially this is

Cagatay Sen:

something that all. I also underline many times that it's

Cagatay Sen:

okay to risking your clients as high as clients, because if you

Cagatay Sen:

don't in the future, and you have a possible field track

Cagatay Sen:

examination coming through, and they identify something, where

Cagatay Sen:

you they go in the field that should have been read as a high

Cagatay Sen:

risk client, then you're going to be in trouble. So I am going,

Cagatay Sen:

I'm reiterating throughout these meetings that risk rating your

Cagatay Sen:

clients is high risk is okay, and it's important for you. And

Cagatay Sen:

I also give them the example that you know, there's some

Cagatay Sen:

perception that if you risk a high risk client, then somehow

Cagatay Sen:

regulator authorities are going to know about this, etc, and

Cagatay Sen:

they're going to flag their clients and actually may pick,

Cagatay Sen:

carry out further orders and things like that. Is not the

Cagatay Sen:

case in terms, of course, but it is to ensure that, you know, you

Cagatay Sen:

have the proper controls in place to keep that business

Cagatay Sen:

relationship, you know, and under taps throughout that time.

Cagatay Sen:

Yeah.

Greg Dent:

No, that's interesting. So if I can unpack

Greg Dent:

what, what I've just heard you say that I think was really

Greg Dent:

interesting is kind of two pieces there. One, a lot of

Greg Dent:

these mortgage entities were already aware of some of the

Greg Dent:

anti money laundering stuff because of their upstream

Greg Dent:

relationships, and had been relying on those upstream

Greg Dent:

relationships. Well, relying is too strong word. Actually, just

Greg Dent:

knew they could ignore that part of the world because of those

Greg Dent:

upstream relationships, and they were right and there. But the

Greg Dent:

result of that, and this is where I'm particularly

Greg Dent:

interested to hear this, is they're now they realize they

Greg Dent:

have these obligations. They're taking them very seriously.

Greg Dent:

Their excitement around training is amazing and awesome, and so

Greg Dent:

wonderful to see is very refreshing, in fact. But they

Greg Dent:

they're not necessarily understanding all of the the

Greg Dent:

specific part around this risk, risk rating clients, and that's

Greg Dent:

something Taylor touched on as well. This this challenge that

Greg Dent:

frontline staff in particular have around appropriately risk

Greg Dent:

rating clients, and realizing that that's not a bad thing, and

Greg Dent:

realizing that that's actually what you want, and and realizing

Greg Dent:

that just because you know them doesn't mean they're low risk,

Greg Dent:

which is something you know, we've been we've been struggling

Greg Dent:

with as a company, with our with our real estate brokerages for

Greg Dent:

years. In fact, it's not an uncommon conversation to be

Greg Dent:

having. In fact, I had this conversation the beginning of

Greg Dent:

this week when I was presenting one of our brokerage partners

Greg Dent:

where that's exactly what the agent said, and I had to walk

Greg Dent:

them through how the flaws in their thinking on that. So no,

Greg Dent:

that's interesting, and really kind of appreciate the feedback

Greg Dent:

on that. So let's pick through. Let's start at the beginning.

Greg Dent:

There's kind of four or five areas there that I've heard

Greg Dent:

everybody kind of talk about. So let's talk about this IDV thing.

Greg Dent:

Taylor, you brought this up as as something that we're seeing

Greg Dent:

kind of a fragmented use of IDV solutions is perhaps the

Greg Dent:

language there and chat. I You brought this up as you know,

Greg Dent:

what other programs are people going to have to use? So what's

Greg Dent:

the like? I mean, obviously I know the answer to this, but I

Greg Dent:

don't want to just battle on Chad. I What is your view?

Greg Dent:

You're the you're the fin track program expert, you guys, you're

Greg Dent:

the one doing the consults. Is it okay to be using various IDV

Greg Dent:

solutions? Do? Is that what we want to encourage? We want to

Greg Dent:

discourage that. What would your view be on that?

Cagatay Sen:

Well, I mean, as really trusted, we're providing

Cagatay Sen:

a, you know, turnkey solution in respect to the establishing the

Cagatay Sen:

compliance program, and which is not necessarily just, you know,

Cagatay Sen:

preparing the documentation and placing in a folder and handing

Cagatay Sen:

it over to the client. We're ensuring that with the

Cagatay Sen:

systematic tools in place as well. Hence the IDV solution

Cagatay Sen:

which we're providing, we're giving a complete program and

Cagatay Sen:

where they're able to utilize the app with the convenience of

Cagatay Sen:

having available on their forms, etc, and ensuring that, you

Cagatay Sen:

know, they trust us in the properly you know, carrying out

Cagatay Sen:

those controls in the background for our systematic databases,

Cagatay Sen:

and also the added the you know, comfort of carrying out the

Cagatay Sen:

sanctions control Purpose controls. Which have we in place

Cagatay Sen:

as well, etc. So I definitely underlie the message when I

Cagatay Sen:

really think, when I received a question like this, is, you

Cagatay Sen:

don't need any other solution. You might have done so in the

Cagatay Sen:

past for any other purpose, just to have the completed some of

Cagatay Sen:

your mortgage loan records. Perhaps, I don't know that would

Cagatay Sen:

have been your own choice at that time, but as you're signing

Cagatay Sen:

with really trusted and you're signing for the fin track

Cagatay Sen:

Express program, you have to be trusting us and ensuring that

Cagatay Sen:

you know we do the proper thing for you guys, which is the

Cagatay Sen:

documentation, the training modules, the whole IRT app

Cagatay Sen:

solution, which we provide and plus, on the other hand, for

Cagatay Sen:

your high risk clients, the address media controls and

Cagatay Sen:

monitoring tools that we provide for you in a monthly basis, etc.

Cagatay Sen:

Plus, I also underlined the fact that, for example, in a possible

Cagatay Sen:

future control examination when, if and when they receive such

Cagatay Sen:

requests for information in the form of an E car, a podcast, a

Cagatay Sen:

subject we covered in the past? Yeah, we are always here to

Cagatay Sen:

assist them as well, so that they are assured that you know

Cagatay Sen:

they're properly discussing those questions, so that Finch

Cagatay Sen:

doesn't necessarily need to go into any further detail, or

Cagatay Sen:

might actually leave it at that at that point.

Greg Dent:

Yeah, so what I'm hearing you say, and I think I'm

Greg Dent:

going to bring Taylor into this in a second, but what I'm

Greg Dent:

hearing you say is that the the importance of having IDV is

Greg Dent:

actually just a small part of that frontline staff, and the

Greg Dent:

real kind of key about what we're offering is, in fact, the

Greg Dent:

integration of all of the thinking into one platform in a

Greg Dent:

meaningful way. Taylor, is that ringing true to the people

Greg Dent:

you're talking with? Is that? Is that what you're hearing, what

Greg Dent:

are the benefits that you're seeing that maybe chat I hasn't

Greg Dent:

touched on and or what are the drawbacks to that approach? I

Greg Dent:

suppose? Yeah, I

Taylor Cameron:

think really important to talk about the

Taylor Cameron:

drawbacks too. So I agree with everything that Chad has said,

Taylor Cameron:

but one of the drawbacks in using multiple streams of an IDV

Taylor Cameron:

is that, how are you then providing consistency in the way

Taylor Cameron:

that we are doing risk determinations? If we're using

Taylor Cameron:

two different programs, they might be, you know, the value

Taylor Cameron:

systems might be different or off. So trying to get a

Taylor Cameron:

continuity across those systems and then being able to document

Taylor Cameron:

it, I think you're going to run into a big challenge when it

Taylor Cameron:

comes to an audit and the questions that are going to be

Taylor Cameron:

asked of you, and how these two different groups, if there's two

Taylor Cameron:

different softwares, how these two different groups are aligned

Taylor Cameron:

in doing those risk determinations. So I'd say

Taylor Cameron:

that's a challenge. And again, I just think it comes back to

Taylor Cameron:

education. I don't think that we are fully grasping yet in the

Taylor Cameron:

mortgage industry, what FINTRAC is really about, and that there

Taylor Cameron:

has to be a continuity across all of your pillars, that

Taylor Cameron:

whatever you have done in terms of risk determinations is how

Taylor Cameron:

and tied into, sorry, you want to, I can see, well, I

Greg Dent:

just want to jump in, because you mentioned pillars,

Greg Dent:

and I some of our pillars, and I some of our audience may or may

Greg Dent:

not be familiar with the concept. So let's just unpack

Greg Dent:

that for a second, if you would just just walk people through

Greg Dent:

that the five what

Taylor Cameron:

we call the five pillars. Yeah, so you know the

Taylor Cameron:

five pillars and what a program should entail as a documented

Taylor Cameron:

compliance officer, kind of easy, but there are some

Taylor Cameron:

specific traits and skills that you. Going to want to see in the

Taylor Cameron:

person that you put forward is that, because there has to be

Taylor Cameron:

enough AML knowledge to be able to properly roll that out and a

Taylor Cameron:

few other things. And we've got a great training program on that

Taylor Cameron:

and webinar that you can join. And don't know when the next

Taylor Cameron:

date is Greg, but sure, we'll roll that out again. You need to

Taylor Cameron:

have a documented policy and procedure segment, documenting

Taylor Cameron:

everything that you say you're going to do, and then procedures

Taylor Cameron:

allocated to each of those two areas. So we have two in our

Taylor Cameron:

program. We have two procedure manuals. One is going to be for

Taylor Cameron:

our front facing licensees. Front facing, I mean client

Taylor Cameron:

facing licensees. And then one we have on the back end, which

Taylor Cameron:

supports all of our compliance or admin staff on the back end,

Taylor Cameron:

any anyone touching administrative documentation for

Taylor Cameron:

vendor Act. The other pillar then becomes training. And then

Taylor Cameron:

we have the effectiveness review, which comes around every

Taylor Cameron:

two years. I think I've hit that right. We've got the compliance

Taylor Cameron:

officer your documented policies, training,

Taylor Cameron:

effectiveness review and risk. No,

Greg Dent:

there you go. Yeah, that's the one you're missing.

Greg Dent:

What you've just walked people through, in fact, is crucial to

Greg Dent:

a business's opera, ability to have a complete compliance

Greg Dent:

program, right? And, and what you've just walked people

Greg Dent:

through, whether, whether, and it's subtle, but so let me kind

Greg Dent:

of delve into this exactly. Touches on this, next two things

Greg Dent:

that you had identified in the opening to this, which was a

Greg Dent:

templates don't really work and or create a bunch of additional

Greg Dent:

challenges. And the the other thing you had talked about was

Greg Dent:

this idea of of risk rating your clients, and the importance of

Greg Dent:

risk rating your clients. And so what you've just highlighted for

Greg Dent:

me is is both of those things, because, on the one hand, it's

Greg Dent:

basically impossible for you to have a consistent risk rating

Greg Dent:

process if you're using several different methods of creating

Greg Dent:

information records, client information records, and now I

Greg Dent:

should put a bit of an asterisk in there. Our view of client

Greg Dent:

information records are that IDV are a small part, or are a part

Greg Dent:

of that client information record, and it's important to do

Greg Dent:

your IDE verification properly, no question. But we've bundled

Greg Dent:

it into the rest of the client information record, because

Greg Dent:

that's generally how people are engaging with their clients. And

Greg Dent:

the beauty of that is, if I can go back to the other thing

Greg Dent:

you've said, which is the templates and the importance of

Greg Dent:

weaving it all together is that when we weave that together

Greg Dent:

operationally, we can then have a very clear answer to what is a

Greg Dent:

low risk client. And you just can't do that. If you're picking

Greg Dent:

somebody else's manual up and using it as your own, it just

Greg Dent:

doesn't work. And I think that's the, that's the crux of one of

Greg Dent:

the things that I've heard, like both of you say that that is

Greg Dent:

the, and we spend a lot of time talking about this as a business

Greg Dent:

with a lot of different people, is the specificity of your

Greg Dent:

compliance program for your business is really, really

Greg Dent:

important. Yeah,

Cagatay Sen:

and Greg, to add to that point, I am very happy that

Cagatay Sen:

we have a lot of buy in from these mortgage brokers and

Cagatay Sen:

companies, etc, in respect of the development of the

Cagatay Sen:

compliance program. Of course, the first step being that when I

Cagatay Sen:

attain the appropriate information regarding their

Cagatay Sen:

business and further insight into the risk, etc. I am

Cagatay Sen:

responsible for the establishment of the

Cagatay Sen:

documentation. And when I share the draft manuals, it's not just

Cagatay Sen:

merely, oh, thank you. Let's move on. Kind of thing they want

Cagatay Sen:

to ensure that you know it properly reflects the ongoing

Cagatay Sen:

business model that they have. Ensure that you know that the

Cagatay Sen:

all the information which is in the documentation is properly

Cagatay Sen:

and easily understood by the staff, we're going to be able to

Cagatay Sen:

revert to that when the time comes, etc. So I'm very happy

Cagatay Sen:

that there, these guys are putting a lot of buy in into the

Cagatay Sen:

development of these documentation just not merely

Cagatay Sen:

accepting them because it's a requirement of the French leg

Cagatay Sen:

obligations kind of thing? Yeah,

Greg Dent:

yeah. No, it is. And that's, that's one of the things

Greg Dent:

I first, my first bit of feedback to you was that you're

Greg Dent:

absolutely right. Like it's been, it's been really nice to

Greg Dent:

see how and I think it comes from being in a business where

Greg Dent:

there was already a culture of compliance. Compliance as a

Greg Dent:

concept isn't new to the mortgage sector. There are

Greg Dent:

there's lots of check boxes and signed forms and things that

Greg Dent:

need to happen for you to be able to process a mortgage deal.

Greg Dent:

And I think that is more true for mortgage entities. Then it

Greg Dent:

historically has been, necessarily, for the real estate

Greg Dent:

sector. And we could, we could talk about that, and that's a

Greg Dent:

whole host of problems on the real estate side of things. So

Greg Dent:

kind of what's got side of the scope of today's conversation.

Greg Dent:

But certainly, and I think what you've just highlighted for me

Greg Dent:

is exactly that, that like these are businesses that really do

Greg Dent:

want to have a good compliance posture on this stuff. They

Greg Dent:

really don't want to be helping criminals launder money for lack

Greg Dent:

of like, if we can go back to the brass acts of what this is

Greg Dent:

all about, they take that obligation seriously, I think is

Greg Dent:

what I'm hearing you say. Is that reflected in the

Greg Dent:

conversations you're having as well? Taylor,

Taylor Cameron:

yeah. I mean, again, going back to one of the

Taylor Cameron:

comments I made earlier, that we have this, this population that

Taylor Cameron:

don't really know what they don't know yet. And then we have

Taylor Cameron:

the ones that know that there are things that they don't know.

Taylor Cameron:

And it's, it's the ones that don't know what they don't know

Taylor Cameron:

that I have the most fear for. You know, not completely

Taylor Cameron:

understanding what it is that we're trying to do, not having

Taylor Cameron:

enough knowledge to be able to understand the complexities of

Taylor Cameron:

it and putting a full and complete program together. And

Taylor Cameron:

then I think once we give them a little education, they go, Oh,

Taylor Cameron:

crap, there's a lot more to this than we actually initially

Taylor Cameron:

realized. And I think that's the place that, that's what we

Taylor Cameron:

should be aiming for right now, is to be able to educate this

Taylor Cameron:

market, or sort of this industry, to really allow them

Taylor Cameron:

to understand what it is that we're doing here and the way

Taylor Cameron:

that we need to be doing it, as well as the wise like, I mean,

Taylor Cameron:

it was, I had a I had a consult just The other day, who said, I

Taylor Cameron:

only do repeat business. Been doing this a long time. Further

Taylor Cameron:

along into the conversation we were talking about I had shared,

Taylor Cameron:

I've been a realtor for 16 years, and shared how once I've

Taylor Cameron:

been with really trusted almost a year now, but coming out of

Taylor Cameron:

the training that we provided, I look back on my career and was

Taylor Cameron:

like, Holy crap. There's at least a half dozen individuals

Taylor Cameron:

or clients that should have been marked as something more than a

Taylor Cameron:

low risk and including a suspicious transaction. And he's

Taylor Cameron:

like, You know what? Now that you say that I did have this one

Taylor Cameron:

incident where somebody, it was a part of a drug cartel,

Taylor Cameron:

somebody was knocked off. And the the remaining partners in

Taylor Cameron:

this business setup came to me and and, and I'm like, did you

Taylor Cameron:

ever like, Did you do anything with that information? He's

Taylor Cameron:

like, No, I was scared. And I you know. But the point is, is

Taylor Cameron:

that this conversation started with, I know all of my clients,

Taylor Cameron:

we are all risk going to they had somebody that was knocked

Taylor Cameron:

off. I'm like, okay, need I say more? So

Greg Dent:

I would suggest to you that there will be a

Greg Dent:

slightly higher level of risk in this transaction, and you became

Greg Dent:

aware of it at some point in time. Whether that was before or

Greg Dent:

after, the deal is somewhat irrelevant. You still had some

Greg Dent:

sort of ongoing obligation here. So,

Taylor Cameron:

yeah, so, I mean, it's been interesting, and

Taylor Cameron:

I think if I can just touch on this, because I have, I've have

Taylor Cameron:

such passion about this, is that we have to remember this is

Taylor Cameron:

called money laundering, for a reason. This is the people that

Taylor Cameron:

we are dealing with. This has gone through several channels.

Taylor Cameron:

We're not dealing with the head of a cartel. We it's gone

Taylor Cameron:

through several channels before. We are front facing with whoever

Taylor Cameron:

it is that individual is. They're there to put down our

Taylor Cameron:

defenses. They're there to be likable and really not want us

Taylor Cameron:

to dive in and want us to believe the best in them. That's

Taylor Cameron:

the whole purpose. So we can't go blindly into this and just

Taylor Cameron:

say, really like them, you know that you know nothing we need to

Taylor Cameron:

do the due diligence. We need to do that little extra bit of

Taylor Cameron:

questioning and looking into this to make sure that we're not

Taylor Cameron:

on, you know, we're not offside on on what they are trying to

Taylor Cameron:

accomplish.

Greg Dent:

Now you've just said we need to do this, and I

Greg Dent:

completely agree with you, but some portion of the audience

Greg Dent:

always says, right? But that's not my job. I'm not a police

Greg Dent:

officer. How? How do each of you I have one response that I hope

Greg Dent:

that somebody would say, but what would your answers be to

Greg Dent:

that? Maybe chat. I do you want to take a crack at that and give

Greg Dent:

us your thoughts on that.

Cagatay Sen:

Well, this is, yeah, indeed, something that has

Cagatay Sen:

come across, perhaps mostly in the real estate council meetings

Cagatay Sen:

I had naturally. But I like to give this as well and just

Cagatay Sen:

basically saying that you may feel that you're doing the work

Cagatay Sen:

of the work of the regulatory authorities, etc. But I was

Cagatay Sen:

telling that you know you are providing basically valuable

Cagatay Sen:

intelligence information, which may be only one piece of the

Cagatay Sen:

puzzle, but when you fulfill your obligation, especially in

Cagatay Sen:

regards to something unusual, especially. Services, and you're

Cagatay Sen:

submitting STR defense, right? That is very valuable

Cagatay Sen:

information, which may, in the end, end up at the hands of the

Cagatay Sen:

law enforcement agencies, etc, and they may bring down the all

Cagatay Sen:

criminal gang, etc, things like that. So everybody has their

Cagatay Sen:

proper role in respect of this process. Yes, it may be a burden

Cagatay Sen:

just doing the additional control here and there, etc. But

Cagatay Sen:

I mean, it is not something that they have to feel like they're

Cagatay Sen:

doing alone, especially with the French work expense program that

Cagatay Sen:

they signed up for. We were trusted. We have a whole support

Cagatay Sen:

test, which is backing up their whole day to day activities.

Cagatay Sen:

They just have to give us a call or send an email, and we always

Cagatay Sen:

available to always provide that legislative guidance,

Cagatay Sen:

elaboration as to what they have to do. They're not alone. It's

Cagatay Sen:

something new for them. They don't necessarily feel like they

Cagatay Sen:

have to do it at first instance, but this is what I said one day,

Cagatay Sen:

that should shift the mindset happens. And that will happen

Cagatay Sen:

with the day to day experiences, the training, awareness, etc.

Cagatay Sen:

Things will be built up, etc. And they will then feel more

Cagatay Sen:

comfortable that they have to be doing this, etc, and they want

Cagatay Sen:

to be doing this, and they will be benefiting the whole system

Cagatay Sen:

in general, in that regard.

Greg Dent:

Lovely. And I completely buy into that part of

Greg Dent:

things. And I think it's really important to call out that good

Greg Dent:

compliance is actually just good business. I mean, as a business,

Greg Dent:

I don't want to be working with a criminal for all sorts of

Greg Dent:

reasons, reputational risk, fraud risk increases. Like they

Greg Dent:

just the effort. And I guess here's the like from a from I

Greg Dent:

think there's, like, some obvious, really good to society

Greg Dent:

parts of things, and you've just kind of really well elaborated

Greg Dent:

on that, in fact. But I think beyond that, just like, Let's go

Greg Dent:

really selfish for a second. I'm running a business. It costs me

Greg Dent:

money when I spend a bunch of time working with somebody who

Greg Dent:

ends up being fraudulent and I therefore don't get paid, or end

Greg Dent:

up getting dragged into a lawsuit, or getting up get out,

Greg Dent:

being investigated by somebody having a production order,

Greg Dent:

having to spend the time to deal with the production order before

Greg Dent:

I even get to the reputational risk of being the guy who gets

Greg Dent:

published in the newspaper as the one who was involved in the

Greg Dent:

drug trafficking ring and all those things. So there's,

Greg Dent:

there's both, I think, a really good to society, part of things

Greg Dent:

that that just, well, look, you have an obligation, and so you

Greg Dent:

might as well. But also, from a good business point of view, it

Greg Dent:

is insane to me that a reporting entity would willfully choose to

Greg Dent:

not put into in place some form of safeguards to protect

Greg Dent:

themselves against all of the elements of fraud that might be

Greg Dent:

perpetrated within their business otherwise. So I think

Greg Dent:

there's kind of the both sides of that, to me, are really

Greg Dent:

powerful. I'm looking at the clock. Taylor, you look like

Greg Dent:

you've got something you want to wrap up. Go ahead. Yeah, and I

Greg Dent:

would

Taylor Cameron:

just wanted to say, you know, we it is like

Taylor Cameron:

chat. I said it is a piece of a puzzle. So when we have, you

Taylor Cameron:

know, the banking system doing a report on somebody, and then,

Taylor Cameron:

you know, the conversations are having with a bank versus the

Taylor Cameron:

conversations clients are having with me as a realtor, when I'm

Taylor Cameron:

showing a property, everything is really relaxed. Their guard

Taylor Cameron:

is down. Is then a different conversation that they're having

Taylor Cameron:

with a mortgage broker, and it is a piece of a puzzle. And I

Taylor Cameron:

think we also have these two thoughts that, you know what,

Taylor Cameron:

when we report something, it goes into a dark void, and we

Taylor Cameron:

never know anything that happens. And then we have the

Taylor Cameron:

other school of thought that is, oh, my God, I'm gonna risk

Taylor Cameron:

somebody as high or assessment as a high risk, and you know,

Taylor Cameron:

they're, you know, CIA is gonna come banging on their door and,

Taylor Cameron:

you know, tear apart their home. And the reality is, is that we

Taylor Cameron:

are not going to know. We're not always going to know the impact

Taylor Cameron:

that we have. You know, Greg and I, you and I have traveled a lot

Taylor Cameron:

in the in September, when we sat at tables and rubbed shoulders

Taylor Cameron:

with a lot of people from chinchak, and their ability to

Taylor Cameron:

disclose a lot of information is also withheld, so similar to, if

Taylor Cameron:

we have witnessed an accident and and we take somebody and

Taylor Cameron:

drop them off at a hospital, we are not privileged to their

Taylor Cameron:

medical well being after we drop them off, but we have to know

Taylor Cameron:

that we had an impact. And so I think that's just, I just wanted

Taylor Cameron:

to end on that note, that we all have a piece of the puzzle to

Taylor Cameron:

create and build and and we should all take it seriously and

Taylor Cameron:

and that we are doing something for the betterment of our, of

Taylor Cameron:

all of us,

Greg Dent:

that's a really positive way to end this. So

Greg Dent:

thank you for that. I love it. That's terrific. All right,

Greg Dent:

guys. Well, thank you very much. Taylor, thank you. Thank you

Greg Dent:

very much. Chant, I really appreciate you both joining me

Greg Dent:

and having this conversation. I do hope that for our listening

Greg Dent:

audience, you'll be able to take away some thoughts as to if

Greg Dent:

you're a mortgage entity listening to this, I hope you've

Greg Dent:

you're considering what we've said from your point of view.

Greg Dent:

Um. Um and and you know, if any of what what we've said rings

Greg Dent:

true as challenges you might be facing, give us a shout. We're

Greg Dent:

happy to help. That's that's certainly what we do. If you're

Greg Dent:

looking at this, if you're not a mortgage entity and you're

Greg Dent:

you've listened this far, well, thank you for joining us. I hope

Greg Dent:

that we've managed to to give you some insight into it, a

Greg Dent:

different sector of the world, and managed to help you

Greg Dent:

understand how other people are grappling with their reporting

Greg Dent:

obligations, as it were. Thank you very much. Folks. Have a

Greg Dent:

wonderful day.

Taylor Cameron:

Thanks everyone.

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