The FIC recently announced a new regulation that impacts all insurance providers. In short, it requires you to screen customers against a public sanctions list at various touchpoints. (See Public Compliance Communication 44 published on 20 March 2020, and the FIC's press release published on 1 April.)
As an insurance provider, the new regulation requires a variety of changes to your workflow. Implementing this on your own will add a lot of overhead to your team - at a time when there is immense pressure all around.
To help you stay compliant, we’ve released a new extension on Root that provides you with real-time sanction screening, out of the box. With the flick of a switch, sanction screening becomes fully automated at all the required touchpoints in your insurance operation.
If you want, you can stop reading now and immediately speak to us about enabling this. However, if you’re interested in the full low-down, we’ve got you covered below :)
In South Africa (and most other countries), it is illegal to finance and facilitate terrorist and related activities. As such, doing business with persons or entities who are subject to targeted financial sanctions is prohibited.
As an insurance business, you are directly responsible for scrutinising sufficient customer information to ensure that you do not have a sanctioned person/entity as a customer or potential customer. To do this, you need to screen customer information against the United Nations Security Council (UNSC) consolidated sanctions list. The FIC also provides a copy of this list on their website.
(Important to note: a nominated beneficiary is regarded as a potential customer, who, upon the vesting of a policy, becomes your customer. See Public Compliance Communication 48.)
Should you find that a customer or potential customer is listed on the sanctions list, you are required to proceed with the following steps:
In addition to this, your process for scrutinising client information must be comprehensively documented in your risk management and compliance programme (RMCP).
Although the FIC does not require you to have screening functionality, you will “be in contravention of the targeted financial sanctions” should you have a customer identified as a sanctioned person/entity.
We know that ticking compliance boxes requires a lot of effort, and that this is a never-ending “problem” for insurance providers. We also know that, often, compliance can easily be solved with technology - if you have the right infrastructure for it.
We are committed to making compliance a hassle-free experience - providing you with technological solutions wherever we can.
Here’s how our sanction screening tool works:
Screening against this list automatically occurs at the following touchpoints, in alignment with your customer journey:
The FIC also provides a manual search tool on their website, but it doesn’t have an API for direct integration into your customer journey. Therefore, we’ve also made the screening API available. This allows you to easily use the sanction screening functionality in any other parts of your customer journey.
In addition to sanction screening, Root also takes care of a few other compliance requirements:
We believe that, with the right technology, the heavy lifting of running an insurance business can be taken care of. That’s the part we do, so that you can focus on offering more value and creating better experiences for your customers.
Are you keen to know more? Schedule a chat with us right away.
As with all things compliance, remember to check with your compliance officer about your business’ FICA requirements.
Root is an end-to-end digital insurance platform that enables you to launch new products and digital engagement channels fast. We package all the compliance, regulatory and reporting complexities behind easy-to-use APIs, allowing your team to focus on building great customer experiences.