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Money laundering continues to fuel crime and terrorism globally, with the UN estimating up to $2 trillion moved illegally each year. FICO’s new Anti-Money Laundering (AML) Threat Score and AML Soft-Clustering Misalignment Score, respectively, help large global banks and financial institutions to achieve a 50%+ reduction in alert false positives, and reveal outlier transactions that are highly likely to be money laundering, and otherwise not alerted.

Rules-based Systems Continue to Underperform

Artificial intelligence (AI) and machine learning (ML) technologies have long been effective in fighting financial crime, used more than 30 years for fraud detection. However, the adoption of AI and ML in money laundering detection has been slow due to mandated regulator scenarios that put at odds proof of compliance and, necessarily, an effective program. This has resulted in Compliance organizations being inundated with false positives and, in some cases, detecting only 1-2% of money laundering transactions.

To address this need, FICO brought two machine learning models to the market: the AML Threat Score, a supervised analytic model and the AML Soft-Clustering Misalignment Score, an unsupervised model.

AML Threat Score: Reducing False Positives Amid Defensive SAR Filings

FICO’s AML Threat Score model has been proven effective in reducing false positive alerts by 50% while detecting 100% of known money laundering transactions. We continue to enrich the Threat Score model to detect suspicious transactions across payment channels and bi-directional fund flows, which is particularly important in today’s mobile-first, peer-to-peer (P2P)-heavy payment environment.

In addition to improved detection cross-channel and in newer payment channels, the data science team is working to address defensive suspicious activity report (SAR) filing, which occurs when analysts aren’t fully confident that an alerted activity is suspicious, but still file a SAR “defensively” to protect themselves from future scrutiny.

Defensive SARs obscure the true efficacy of the AML program with a high volume of low-quality outcomes. Because supervised models depend critically on the quality of outcome data, this diminishes the value of these models due to data quality issues on correct identification of SARs.

The Cascading Effect of Defensive SARs

Furthermore, defensive SARs make it hard to quantify false positive reduction, even at 100% SAR detection. This is due to the fact that some of these seemingly “100% detection” SARs are not actual money laundering behaviours, meaning that the supervised model flags more false-positives to capture defensive SARs. Unfortunately there is no reliable way to determine whether a SAR is defensive or not because of a lack of feedback from law enforcement and regulators.

To evaluate a model’s false positive reduction accurately, one needs to look into the quality of SARs, with special attention paid to suspected defensive SARs. Through this lens, FICO’s AML Threat Score model continues to be effective in reducing false positive even amid the “noise’ emitted by defensive SARs.

In a recent custom model build, the AML Threat Score achieved a 62% reduction in alert false positives while identifying 98% known SARs, with the 2% lowest-scoring SARs determined to be defensive.

AML Soft-Clustering Misalignment Score: Scouring for New Threat Vectors

With AML operations in many banks deluged with false positives, it’s no surprise that sophisticated money launders continue to evade detection. FICO’s unsupervised ML approach is designed to be agnostic to the alert system and past outcomes, by characterizing customer transaction behaviour.

Every individual customer’s transaction activity is a mixture of transaction behavioural archetypes. The archetype components define the customer attributes in a behaviour space so the model can identify and quantify abnormalities based on the relative comparison with peers. In the money laundering space, an unsupervised AI model generates the AML Soft-Clustering Misalignment (SCM) score by determining a state of a customer in the behaviour space, signifying whether the customer is in a normal state or in a potentially anomalous state by being aberrant and risky.

AML Soft-Clustering Misalignment Score in action

The predictive capability of the AML Soft-Clustering Misalignment model can be seen in a recent model developed for a major bank. The unsupervised SCM model was built using recent historical non-alerted customer data only, and the SCM model identified a set of outlier non-alerted customers. This set of customers, who were never flagged by the bank’s AML, was presented to the bank for detailed review. According to the bank, FICO’s SCM model effectively detected new SAR typologies that their transaction monitoring systems previously missed.

The Benefits of Superior AML Detection

FICO’s AML Threat Score and AML Soft-Clustering Misalignment Score can provide two strong benefits:

  1. Make detection operations much more efficient, allowing banks to direct their limited resources to rapidly identify and evaluate with precision the risk exposures associated with multiple dimensions of their business.
  2. Detect various money laundering that is currently routinely missed by empirical rules-based system, particularly when subjected to threat vectors.

Money laundering fuels many of the world’s most destructive forces. All of us at FICO are proud to be part of stopping financial crimes.

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