Home / Day: February 28, 2011
Mr. W Rathke, Chief Organiser Ms. K Bisnah, President ACORN International P O Box 3924 New Orleans LA 80177 USA 9 February 2011
Dear Mr. Rathke and Ms Bisnah
Thank you for your letter of 3rd January 2011 addressed to Mr M Geoghegan our former Group Chief Executive Officer enclosing a copy of your report on remittance services. I have been asked to write to you in response given my responsibility for our retail banking services on a global basis.
We have considered your report and its conclusions with interest and fully appreciate the impact that the costs incurred by expatriate workers in making what may often be relatively small remittances from the US and Canada to their home countries. It is not possible for us to comment on the overall conclusions of your report, but I am writing to clarify the following points in relation to our activities in the USA and Canada. These are:-
§ We do not have a large geographical footprint in either country. In the USA we have 482 branches largely located in New York State, New York City and in a small number of major urban centres. This compares to circa 6,000 for the 3 largest banks. Similarly in Canada we operate 145 branches based principally in Vancouver and again in the main urban centres compared to over 1,000 for the top 5 Canadian Banks..
§ We are subject to stringent regulatory requirements, particularly those relating to Anti-Money Laundering; Counter Terrorist Financing and compliance with economic sanctions, including those promulgated by the US Office of Foreign Assets Control. As a consequence, we have decided that it is neither permissible nor appropriate for us to offer services to non-customers. Accordingly we are only able to support customers who maintain an account with us. In our experience this often means that customers who only require occasional remittance services are likely to prefer to use the services of specialist providers. We do believe that any further research you carry out should assess the impact of these regulatory requirements and expectations. Many of the countries you refer to as the destination for remittances are also viewed as carrying high risk for money laundering activity. Remittance services, including products such as stored value card are viewed as carrying potential high risk of money laundering.
§ Given the nature and scale of our Retail Business, we have concluded that developing a large scale remittance business is not a priority for our Group. Indeed it is notable that based on your own research the specialist remittance services providers are able to operate the most cost-effective services from a customer perspective.
We hope the above helps and clarifies some of your report’s findings.
Yours sincerely
Kevin Newman Head of Retail Banking