In this episode host Greg is joined by Stephan Scott, a retired RCMP officer with 31 years of experience in organized crime and money laundering investigations. Stephan provides a powerful perspective on the importance of suspicious transaction reporting, explaining how the information gathered by reporting entities like real estate professionals can be crucial in supporting criminal investigations. He shares gripping stories from his career to illustrate how money laundering is deeply connected to serious predicate crimes like drug trafficking and human trafficking. While individual suspicious transaction reports may not directly lead to arrests, Stephan emphasizes that they become part of a larger puzzle that investigators use to uncover criminal activity. He encourages reporting entities to file STRs whenever they have reasonable grounds to suspect suspicious activity, as this information can make a meaningful difference even if the individual impact is not immediately visible. Overall, this episode provides valuable insights into the real-world impact of compliance efforts and the critical role that reporting entities play in supporting law enforcement's fight against organized crime and money laundering
Key Takeaways:
About the guest: Stephen Scott
Company: S Scott (AML) and Security Consulting
Email: stephenscott@sscottamlsconsulting.com
Stephen Scott is a former member of the RCMP and in 2017 through 2021 was an investigations and training consultant to the UNODC GPML in Southern Africa. While in the RCMP, Stephen worked in the Calgary Integrated Proceeds of Crime AML Unit, INSET and the IMET JSIU where he managed and conducted money laundering, asset forfeiture, organized crime and terrorist financing investigations for 24 years. As a member of the RCMP IPOC AML Unit Stephen served as the FINTRAC liaison, CBSA currency interdiction contact and the “gatekeeper” to the Alberta Justice Civil Forfeiture program. He was a designer and facilitator on the RCMP Advanced and Basic Proceeds of Crime / ML courses as well as a facilitator at the Canadian Police College for the National Expert Witness training and Drafting Information to Obtain search warrants courses.
In 2019/20, Stephen Scott served on contract as a sworn member of the Royal Cayman Islands Police Service Bureau of Financial Investigations conducting international money laundering and asset forfeiture investigations.
Currently, Stephen is a licensed Private Investigator in Alberta and is currently contracted to firms that conduct due diligence, background, OSINT and asset recovery investigations.
Connect with Greg and ReallyTrusted at:
https://www.facebook.com/ReallyTrusted/
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Greg, hello and welcome to another episode of
The know your compliance the KYC podcast with me. My name is
Greg. I am your host and with me today. I am super excited we
have Mr. Stephen Scott. Stephen is a retired RCMP officer. He
did 31 years of service in the RCMP, and he's going to come and
today, he works in private security, does some anti money
laundering investigations, and is kind enough to share with us
today some really cool I've had a preview of this, some really
cool stories about his work and the way and importantly, and
what I want to bring to the podcast today and to you as our
audience today, is how important it is for how Steven's stories
will highlight for you exactly how much the information you as
a reporting entity are gathering, how much it can
influence The outcomes of real life, actual criminal
investigations. So Stephen, thank you very much for joining
us today.
Greg, it's an absolute pleasure to be here. I
always enjoy talking about, personally, my career in money
laundering and organized crime, and sort of sharing that
knowledge, if you will, with various reporting entities. In
this case, you know, real estate focused,
yeah, well, so, I mean, I think let me, let me
launch right into it. And I think what I had said to you a
few weeks ago, when we started talking about this, was one of
the questions I frequently get from real estate agents, from
real estate compliance officers, and now starting to see from
from mortgage brokerages, is all of this stuff, all this
paperwork that we need to do, or have been doing, or are going to
be need to doing. Why does it all matter? And you have a
really great way of getting to an answer. So I thought I'd
start with that.
All right, yeah. And if you don't mind, maybe a
bit of a rant, if you will, or the pep talk. I guess to me,
money laundering is more than just sort of that abstract
concept of money being placed, layered, integrated and so on.
And big picture, people like to say it affects the economic
integrity of the country, and it's, it's, it's, it affects the
prices of properties and so on. But really, to me, what's behind
it all are the predicate crimes, the violent crimes, the drug
trafficking, human trafficking, the arms trafficking, any crime
that generates profit, that profit or those earnings need to
be laundered, whether it's to go back into the business, like a
cost of goods sold, to buy more drugs, to pay your employees, to
rent cars, rent stash houses, are leading to the real estate
side, buy properties, even to use to build a meth lab, to have
a marijuana grow, commercial properties from which you want
to wander your money. But to me, the most important thing is, is
people have to remember that it's the violent crimes behind
that. And one of the sayings I have, I'll finish with, is, is
other than crimes of passion and stupidity, it's all about the
money.
Yeah, yeah. I mean, you quite rightly start there. I
think that's a great place to start, because it's so one of
the things I've observed in my work is that money laundering
sounds clean. It sounds I think a lot of people think tax
evasion is what we're actually talking about. And look, tax
evasion is a crime and is it's important when you watch that,
sure, but when you start to talk about drug trafficking and
murder for hire and drug meth labs and all the rest, then that
that like that gets people's attention, generally speaking.
So yeah, no, and I hope it does, because, as I
say, 24 years until the end of my career, has been involved in
organized money laundering. And, you know, I've literally dealt
with killers that we managed undercover operation one year
that involved liquor. Mind you, not, not necessarily real
estate. And the RCMP at the time paid $220,000 cash to buy a
truckload of booze. But the people we bought it from, there
were two of them, and they were hired killers. One guy's record
read manslaughter, stayed murder, withdrawn. Murder stayed
manslaughter, you know, three years. And the other fellows
record was equally as abysmal as violent, violent people. This is
a guy picking up the money on our deal. And you know, to take
that story one step further, we'd done a transaction pages,
$220,000 well, it turns out the agent that was working for us, a
civilian working for the RCMP, and the two bad guys, went up to
a hotel room. They count the money. The money's in bundles,
these $10,000 $5,000 bundles of $20 bills. Well, it turns out
they're $10,000 short. And I'm in the car with the agent
handler, driver, his phone rings, and all of a sudden it's
it's the agent calling, and he says, holy, these guys have a
gun in my head. I'm $10,000 short, man, WTF, in a matter of
words, yeah. And so my guy, and the agent hander, is playing the
role of the truck driver who transacted the deal. Mind you,
he's. As well. Let me pull the truck over. I'll get back in,
you know, we'll figure out what's going on, amongst other
things, we call up the truck driver from there, Bill. It
pulls over. He finds that $10,000 bundle it's hauling out
the bag literally falling out of the he's about 10 kilometers
east of Calgary by that time, and so he turns around, pulls
into the parking lot of the hotel in his big rig, and hands
over the $10,000 to one of these killers. And the guy says,
you're unlucky. You got that money, man. And he shows him a
gun, you know, just under his coat, yeah, which was great for
us with better evidence,
uh, well, also better outcome for great agents, yeah.
And strangely
enough, the bad guys were taking that money
right to one of our storefront money laundering operations to
get that money turned into an investment or into a check. We
had it covered on both ends. Nice that that's the the crime
behind this that you know people don't see every day is, you
know, people are killed to transact, drug transactions,
liquor transactions, human trend, you know, human
trafficking. And again, I just can't stress that enough that
we're not doing we don't have a compliance regime in Canada and
around the world, because it's a financial problem, it's
organized crime problem, it's a transnational organized crime
problem, and that was recognized back in the late 80s, and
something had to be done. That's the creation of FINTRAC
compliance regimes, reporting entities and so
on. That's cool, yeah, no, and that makes sense
to me, and I think it's important to start there again,
because it highlights the importance of why all of this
happens. What would be really helpful is if you could share a
story where the intelligence that FINTRAC is gathering helped
inform, help direct, help advance a criminal
investigation, because that's the other part of things that we
don't have a lot of answers for when people are doing this.
Yeah. And strangely enough, or not,
strange enough, I've had that question since, you know, the
2000s when interact was created and whole regime was created, is
people put a lot of time and effort, money and million
scholars in terms of the big financial institutions into
reporting, whether it's large cash transactions, international
EFTS, and most importantly, suspicious transaction reports,
suspicious activity reports in the state's STRS, they form a
piece of a puzzle of a much larger case, and maybe I'll
backtrack. But again, FINTRAC is an intelligence agency, and they
get data from the reporting entities, realtors, financial
institutions, money services, businesses, casinos. It goes
into their system these days because of the sheer volume and
the millions upon millions of transactions that are that are
input. You know, it's machine driven to begin with, if there
are indications of money laundering, spits out the
information that goes to an analyst who looks at this
personally. They do research, whether it's open source,
internet their secret databases, police databases, corporate
registries and so on, land titles registries to all the
provinces. If that analyst determines that the information
provided by these reporting entities reaches the threshold
of reasonable grounds to suspect that money laundering is
occurring, of course, recognizing there's crimes
behind that, they will send this disclosure product to police.
Now that's an intelligence product, and there's a big
difference between intelligence and evidence and information,
and it's important that people know we don't just get, and I
say we, back in the day, the police don't just get a FINTRAC
disclosure automatically start an investigationally, a charge
thing. Everything that comes from the reporting entity to
begin with, has to be corroborated. It has to be
managed, if you will, triage, determined, even if it's going
to become an investigation. So keeping that mind, we get an
intelligence product from from FINTRAC, based on these STRS,
ltrs and so on.
That's you for one second there, because what you
just said is really important, because one of the pieces of
feedback I frequently get from frontline people in many sectors
is, well, I don't want to rat out my client. I don't want to
rat out this person. And I think what you've just said perfectly
illustrates why that's not actually what's happening. It
might be true that the intelligence that they provide
FINTRAC eventually yields an investigation which eventually
finds that this person was guilty of something, but there's
not a direct line to your client being arrested just because you
filed a suspicious transaction report. It's a pretty involved
process, as you've just outlined, absolutely,
yeah, and I got a bit sidetracked from the
original question to get there, I guess. But yeah,
realistically, it's it goes through a lot of stages. And of
course, even within the firm itself, transactions takes
place, whether it's a frontline, frontline real estate agent to
see something wrong, or the money lendering officer in the
brokerage of the business that says, Yeah, I agree with what
this frontline person says. Or it has to get written. It has to
go to FINTRAC, as I say, it goes through, certainly not AI. It
goes through a computer process where the indicators are picked
out, or there's certain terminologies and. I draw their
attention again to the analyst, in some cases, when you say,
does an STR make a difference? Well, an STR could form a
disclosure package, but there might also be four or five or
six other STRS from other institutions. There might be 10
electronics funds transfers. There might be casino
disbursement reports, because a FINTRAC disclosure doesn't
necessarily consist of one STR that goes to FINTRAC and is
given to police. You know, it goes through that analytical
process first. So that's when I say, it's a piece of the puzzle,
if you will, that your STR might just provide a lead that sends
FINTRAC on another direction, that's in turn, they may send
police on another direction that's going to identify an
asset. So as I say, in building on what you said that that
disclosure comes to police. Well, you know, if there's
several 1000 disclosures given to police over the years, you
know, there's only so many resources that can be devoted to
this, and a certain values are taken into consideration as a
big case. This is a small case, so that STR and everything else
that's included with it in that disclosure report is going to
get triaged by police to say, yeah, we'll work on this. Or no,
we won't. We'll file it for some time in the future, and it may
come up in the future as something important, not another
case on a related case, and so on. But even that STR that
FINTRAC disclosure will only be part of a potentially major
project that, you know, takes a year to investigate, and that
results in, to put it visually, you know, bankers boxes full of
documents that we provide in disclosure, it can almost get
buried, you know, in all the information when the bad guy
does get access to it or the lawyers get access to it. So no,
there isn't a direct correlation between the STR and an arrest.
There's no fear of ratting out bad guys. And you got to
remember, too, if I can go on to send an STR you really just have
reasonable grounds to suspect that something's happening,
basically money laundering, or somebody's involved in terrorist
property. That's a very low threshold. It's below balanced
probabilities, which is 51% it's above, you know, having a spidey
sense that this isn't right, but it's something that is not
normal, you know, based on the person's behavior, based on
their transactions, based on the product, goods and services that
they bring to the table or that they want from you. So, yeah,
getting back to that, it's you're not writing anyone out
when you do that, you're just forwarding information that that
is anonymous, or, you know, an anomaly that's not normal that
you think should be investigated further potentially.
I really like the puzzle visual, the visual of,
you know, maybe I'm the guy who noticed that my client, I don't
know, didn't want to get identified. But by putting that
in, maybe the bank's got five s5 large cash transaction reports
on the same individual, and suddenly you're starting to
build a puzzle of information that actually might become
useful online. And it's, it's, you know, my view of it is so
small that I can't actually see that. When you start to step
back and look at the larger thing, I really
like, oh, that's absolutely huge. Greg, almost
exactly two years ago, I went back to work for the police
briefly, and I was talking to our FINTRAC rep here in Alberta,
and he says, Steve, you know, I'm in the middle of putting
together this disclosure. And what those consist of mind, you
are Excel spreadsheets that will detail the, you know, the sender
of transaction, the beneficiary, the depositor, the anything to
do with transaction, basically, the countries and count numbers
and so on. He was saying he was putting together hundreds of
transactions in these spreadsheets and in these i two
charts to send off to the police. So, you know, there
could very well be, you know, 300 STRS from 50 different
reporting entities, or there could be, you know, two or three
STRS, but all of sudden, there's tons of electronic funds,
transfers of money going out, money going out, money going
out, money coming in, that layering that's going on around
the world. But it's that STR that may push that analyst over
the edge to say, someone thinks this is suspicious, and maybe
these two other people think this is suspicious, that's what
gets the attention of FINTRAC international funds transfers,
$10,000 transactions and electronic funds transfers.
There's billions of dollars transacted every day. They
don't, they don't attract anybody's attention. But that
STR does well,
and the STR compiled with all of that financial data
and the money flows that come with it might actually paint a
wholly different picture than you might have other or that I
don't have otherwise. And
to quickly put that in different terms, I guess
what I was trying to say, because I don't say anything
short, is they may have all this information database that isn't
necessarily suspicious, because you have to report these
transactions to threshold transactions, but all of a
sudden an STR or two or three come in, because the fellow may
be doing or the bad guy may be doing a number of transactions
with a number of different people that may be suspicious.
That is what triggers, effectively, the disclosures, if
anything or there is important or more important than anything
else. Yeah, so
I want to, I want to continue that smile. I just want
to put an asterisk for a second, because what you've just said is
really important for compliance officers to hear, and what I've
observed and where we've seen some. Some small businesses get
into problems with FINTRAC with their compliance regime,
specifically is if some other reporting entity has filed a
suspicious transaction report, or has in some way, shape or
form, identified a transaction that should have been
suspicious, and then a FINTRAC shows up and examines your books
and there's nothing that's when FINTRAC is going to make sure
you have a very bad day. And the reality is, a certain amount of
that might be defensive filing, sure, maybe. But my advice, I
suppose, is, or where I'm trying to get to with this statement,
is, it would be in your best interest as a reporting entity
to file when you think you might have reasonable grounds to
suspect, because if you don't file, you will have a much worse
day than if you file and you're wrong, is what
that's the prevailing thought, actually,
yeah, and it's funny, I see that from both ends. You know, as an
investigator, I want everything. I want more. Give me more. It's
morally right to do this, and for all the other reasons I talk
about, as a person who's worked with with variance, compliance
people as well. Over the years, I see that it's sometimes hard
to do, or it seems like it takes a long time, or there's a cost
to do business, or you don't see the result at the end of the
day. So we ask, why did we do this? But realistically, it
doesn't take that long to fill in one of those reports online.
You know, it's core biographical data, facts, context and
indicators, and along the same lines. You know, every major
police investigation sends in what we call a voluntary
information record to FINTRAC. They're exactly like STRS, and
minimize that. We're working on a money laundering investor or
direct traffic investigation. We've identified assets. We
think this person is laundering money. This is their core
biographical data accounts that we know of. Maybe we've done
some production orders, maybe we've done surveillance,
wiretaps. You put all that in there realistically, and I put
in dozens, it's 10 or 15 minutes, not even 1015 minutes.
And that's all that FINTRAC, you know, really demands that if you
fill out an STR it's not going to take too long. And I think
you're better off doing it than not, because, yeah, they're
coming down. And I still say, hey, talk to people on FINTRAC,
and I see them quite a bit online, and I've seen the amps,
the administrative monetary penalties are coming out.
They're starting to crack down. They've hired more people there.
There's more issues. Money laundering in real estate is
much more out there than it used to be. There's greater awareness
of it. To call them Commission, the Mulroney report. It's in
television. It's at the FATF reports. I was reading something
from 2006 this morning when it was, you know, described as a
problem back then. And now Canada's catching up with that,
I guess because of the the negative press we're getting
around the world, if you will. Yeah, that's problem. So, yeah,
if you think you should do it, there's no harm in doing it,
because, as I say, from an investigator's perspective, and
this, what it's all done for, is to, you know, take that, that
monetary reward, away from these bad guys, and they launder their
money. To do that, to buy assets, to buy toys, to to live
a certain lifestyle, put it in there. It may make a difference.
And it will say to you, the the wrath of FINTRAC, if you will,
here and you just
touched on something, I'm hoping we could go a little
deeper on, which is, could you walk me through how this
information as an investigation, as an investigator, sorry, put
yourself back in your shoes as an investigator. Where those
where that FINTRAC data has been helpful for you in guiding an
investigation, or where maybe it's informed your investigation
or even moved it forward, I suppose,
sure. Um, preface out with as we spoke the other
day, there haven't been a great deal of suspicious transaction
reports submitted from the real estate industry last bunch of
years fully acknowledged. Yeah, I can't say to all of us here
that I've even seen an STR related to real estate in dozens
and dozens and dozens, I'll say several 100 disclosures that
involve that, but that said they exist. And I know there's more
and more, and there's been a lot more since I've retired