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4.1.2 Fraud Risk Assessment

No: 44021528 Date(g): 11/10/2022 | Date(h): 16/3/1444

Effective from Oct 11 2022 - Oct 10 2022
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Principle 
 
 
Member Organisations should conduct a Fraud Risk Assessment to identify fraud risks to which they or their customers are subject and assess the effectiveness of controls in place to mitigate the risks. 
 
 
Control Requirements 
 
 
a.A Member Organisation should conduct an enterprise-wide Fraud Risk Assessment as part of its Counter-Fraud Programme.
 
 
b.The Fraud Risk Assessment should be based on a documented Fraud Risk Assessment Methodology.
 
 
c.At a minimum, the Fraud Risk Assessment Methodology should include:
 
 
 1.Identification of the inherent risk of fraud the Member Organisation and its customers are exposed to.
 
 2.An assessment of the likelihood of the inherent risks occurring and the impact on the Member Organisation and its customers if the inherent risks were to occur.
 
 3.Testing of the effectiveness of the controls in place to prevent, detect and respond to the inherent risks identified.
 
 4.Determination of the residual risk of fraud that the Member Organisation remains exposed to following testing of implemented controls.
 
 5.The development of action plans to address residual risk that is outside of risk appetite or could lead to a breach of regulations.
 
 6.The ongoing monitoring of action plans to validate that the risk is brought within appetite.
 
d.Risks identified in the Fraud Risk Assessment should be recorded in a formal centralised register.
 
 
e.Actions to address gaps identified in the Fraud Risk Assessment should be documented in a treatment plan and reviewed for adequacy and effectiveness to reduce risks.
 
 
f.The outcome of the Fraud Risk Assessment should be formally approved by the relevant business owner.
 
 
g.When assessing fraud risks, Member Organisations should consider:
 
 
 1.Both frauds committed by persons outside the organisation (external fraud) and frauds committed by or with the assistance of people employed by the organisation (internal fraud).
 
 2.The output of Intelligence Monitoring and threat assessments.
 
 3.Fraud incidents and loss events.
 
 4.The modelling of potential threats to the organisation through Fraud Scenario Analysis.
 
 5.Product risk - Products and services offered and how they could be used to commit fraud.
 
 6.Customer risk - The customer base of the organisation, including, but not limited to the type of customer (e.g., Retail customer, corporate or regulated entity); the number of customers; the level of fraud awareness; and vulnerability to fraud.
 
 7.Delivery channel risk - Channels that a customer can use to contact the Member Organisation or access their products and services, with particular consideration of the risks of remote interaction as digitalisation of products increases.
 
 8.Transaction risk - The methods of conducting transactions, receiving funds, or transferring value.
 
 9.Jurisdiction risk - The additional risks where products and services can be used in a foreign country.
 
 10.Third Party Risk - The use of third parties to deliver services to the organisation or its customers.
 
 11.Wholesale Payment Endpoint Security Risk - End-to-end wholesale payments risks, including communication (Member Organisation to other Member Organisation, Member Organisation to system); systems (Workstation terminal); people; and processes.
 
h.Member Organisations should ensure that the Fraud Risk Assessment fully considers cyber enabled fraud, including the interaction with the member organisation's Cyber Security risk management model.
 
 
i.The Fraud Risk Assessment should be performed at a minimum on an annual basis.
 
 
j.Member Organisations should additionally update their Fraud Risk Assessment for changes in the internal or external fraud risk environment. These changes include, but are not limited to:
 
 
 1.A new gap or weakness identified in the control environment.
 
 2.New regulatory requirements.
 
 3.New products and services.
 
 4.New channels to market and new digital platforms.
 
 5.New business acquisitions.
 
 6.Sale or disposals of parts of the Member Organisation's business.
 
 7.Changes in the internal environment (e.g., organisational structure).
 
 8.New information obtained in fraud Intelligence Monitoring.