
Crédit Agricole CIB specialises in the businesses of capital markets and investment and corporate banking.
Financial security at Crédit Agricole CIB
As part of the legal and regulatory obligations in force, and in application of Crédit Agricole S.A. Group policy, Crédit Agricole CIB has put into place a system dedicated to the prevention of money laundering, the financing of terrorism and corruption, and compliance with embargos and asset freezes. This system applies to both the central entity and affiliated units.
As a financial institution and investment services provider, Crédit Agricole CIB is subject to supervision and control by the Prudential Control Authority (ACP) and the Financial Markets Authority (AMF), the French financial and banking sector regulatory authorities.
The system in place includes, on the one hand, the obligations arising from international rules and recommendations and, on the other, obligations arising under national law.
International obligations
- the 40 recommendations of the Financial Action Task Force (FATF) adopted in February 1990, and adapted and revised in June 2003, aimed at preventing the use of the banking system for purposes of laundering money with criminal origins,
- the nine recommendations of the Financial Action Task Force (FATF) made in November 2001, and updated on October 22, 2004, aimed at preventing the financing of terrorism,
- The European Union directives of October 26, 2005, and August 1, 2006, aimed at harmonising the measures taken by the member states – Eur- Lex website.
National obligations
- the adoption of a risk-based approach and its updating,
- vigilance when entering into a business relationship (identification of clients) and, during the course of a relationship, with regard to transactions that are unusually complex or have no apparent economic justification or legitimate purpose,
- documentation and archiving of information,
- avoidance of relationships or transactions for which the information obtained has not enabled their legitimacy to be established,
- the reporting of suspicions or the systematic reporting of certain transactions to TRACFIN (Financial Intelligence Unit), an organisation created by the decree of May 9, 1990, that reports to the French Ministry of Economy and Finance.
In addition, in France, money laundering is a general offense covering the proceeds of all crimes and offenses.
Commitments to the Financial Security business line
- Know Your Customer (KYC),
- monitoring of payment flows in application of the rules covering embargos (e.g. Fircosoft), asset freezes and the identification of principals ordering fund transfers (SR VII),
- reporting of suspicious operations and transactions to the Financial Intelligence Unit,
- the training of all employees concerned. Crédit Agricole CIB is an active participant in the preparation of AML-FT Market e-Learning programs under the direction of the Training Center for the Banking Profession (CFPB) and with the assistance of the French Banking Federation (FBF),
- verification of compliance with the measures and procedures put in place to meet the abovementioned obligations,
- documentation, archiving and storing of files, and creation of audit trails.
- 431 KOCrédit Agricole S.A. 2009 Sustainable development compendium - Part on Compliance
- 72 KOWolfsberg AML Questionnaire (a duly signed version is available on Bankers Almanac website)
- 1824 KOUS Patriot Act Certification (a duly signed version is available on Bankers Almanac website)
- 864 KOMoney laundering prevention - February 2010 (a duly signed version is available on Bankers Almanac website)



