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#2015038 - 05/19/15 07:29 PM CTR Question
BC78a Offline
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BC78a
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New York
Bank A has a customer in need of $150,000.00 in cash. Bank A contact it correspondent for the cash (Bank B).

Bank B, not having significant cash on-hand contacts it correspondent (Bank C).

Customer sends an Armored Car to Bank C to pick up the cash and it is delivered to the customer.

Who files the CTR? My understanding would be Bank C, since they turned the cash over to the agent of the customer.

AM I correct?

Thank you,

BC78a
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#2015059 - 05/19/15 08:26 PM Re: CTR Question BC78a
edAudit Offline
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edAudit
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Phase I CTR Exemptions (31 CFR 1020.315(b)(1)-(5))

FinCEN’s rule identifies five categories of Phase I exempt persons:
•A bank, to the extent of its domestic operations.


http://www.ffiec.gov/bsa_aml_infobase/pages_manual/OLM_019.htm
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#2015061 - 05/19/15 08:31 PM Re: CTR Question BC78a
BC78a Offline
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BC78a
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New York
This is not a phase 1 exemption case, in the end, a non bank gets the cash (customer of Bank A gets the cash from Bank C)
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#2015066 - 05/19/15 08:40 PM Re: CTR Question BC78a
edAudit Offline
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edAudit
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Sorry miss the customer part.
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#2015067 - 05/19/15 08:47 PM Re: CTR Question BC78a
KeepCalm Offline
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I would say that you are correct in thinking that Bank C should be filing the CTR. They are the location which physically conducted the transaction, therefore they are responsible.
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#2015111 - 05/20/15 12:33 PM Re: CTR Question KeepCalm
BSA Aficionado Offline
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It is my understanding that Bank A should file the CTR for its customer. I would not rely on a correspondent bank to file unless you have an agreement with them that explicitly states they will do so.

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#2015485 - 05/21/15 05:02 PM Re: CTR Question BC78a
BC78a Offline
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BC78a
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New York
Thank you all
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