Anti-Money Laundering and Countering the Financing of Terrorism Programs
Details
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- Title
- Anti-Money Laundering and Countering the Financing of Terrorism Programs
- Posted
- Apr 10, 2026
- Comment period
- Apr 10, 2026 – Jun 10, 2026
- FR Doc
- 2026-07033
- CFR
- 31 CFR Parts 1010 1020 1021 1022 1023 1024 1025
Overview
What the public is saying — stance, who's commenting, and the issues they raise.
Stance breakdown
Who commented
Breakdown by commenter type.
Comments over time
Weekly arrivals, stacked by stance.
Support × commenter type
How each type splits across stance.
Issues raised
The docket's canonical issues. Select one to browse its comments.
Position map
Who stands where on each issue?
Every non-silent position is backed by an excerpt from the comment.
Issues shown
Uncheck an issue to choose another.
| Organization | Effectiveness-based standards | Guidance on effectiveness standards | Clarification of significant failure | Redundant ctr reporting requirements | Biometric technology recognition |
|---|---|---|---|---|---|
Airbnb Payments, Inc. BusinessSupport Airbnb Payments, Inc. | · | · | · | · | |
America's Credit Unions AdvocacySupport America’s Credit Unions supports FinCEN’s proposed modernization of AML/CFT programs, specifically praising the shift to | · | · | |||
American Gaming Association AdvocacySupport The American Gaming Association (AGA) supports the proposed AML/CFT program rule revisions, welcoming the focus on innov | · | · | · | ||
Conference of State Bank Supervisors (CSBS) Trade associationSupport The Conference of State Bank Supervisors (CSBS), a nationwide organization of state banking and financial regulators, su | · | · | · | · | |
Cooperative Credit Union Association AdvocacySupport The Cooperative Credit Union Association, Inc., a state trade association representing approximately 200 credit unions, | · | · | · | · | |
Crypto Council for Innovation AdvocacySupport The Crypto Council for Innovation (CCI), a global alliance of digital asset companies, supports the proposed rule to mod | · | · | |||
Defense Credit Union Council AdvocacySupport The Defense Credit Union Council (DCUC) supports the proposed rule's emphasis on risk-based supervision, program effecti | · | · | · | ||
Elliptic Inc. BusinessSupport Elliptic Inc., a blockchain analytics provider, supports the proposed shift toward an effectiveness-based AML/CFT framew | · | · | |||
Foundation for Defense of Democracies AdvocacySupport The Foundation for Defense of Democracies (FDD) supports the proposed rule's shift toward an effectiveness-based AML/CFT | · | · | |||
GFIA (Global Federation of Insurance Associations) Trade associationSupport The Global Federation of Insurance Associations (GFIA) supports the proposed reforms to the Bank Secrecy Act, specifical | · | · | · | · | |
HSBC BusinessSupport HSBC, a global financial institution, supports the proposed AML/CFT program rules and applauds the efforts to align them | · | · | · | · | |
iKinetiq Innovation Solutions, LLC BusinessSupport Stuart Brock, President of iKinetiq Innovation Solutions, supports the proposed rules' shift toward an effectiveness-bas | · | · | · | ||
Illinois Credit Union League Trade associationSupport The Illinois Credit Union League (ICUL), a trade association representing Illinois credit unions, supports the proposed | · | · | |||
Independent Community Bankers of America (ICBA ) Trade associationSupport The Independent Community Bankers of America (ICBA) supports the proposed modernization of AML/CFT programs, particularl | · | · | |||
Institute of International Bankers Trade associationSupport The Institute of International Bankers (IIB) supports the proposed rule to modernize the Bank Secrecy Act framework, pra | · | · | |||
Investment Company Institute Trade associationSupport The Investment Company Institute (ICI), an association representing the asset management industry, supports FinCEN's eff | · | · | |||
Kharon BusinessSupport Kharon, a risk intelligence company, supports the proposed AML/CFT rule because it allows financial institutions to shif | · | · | · | · | |
Main Street Foundation Center for Regulatory Analysis and Engagement AdvocacySupport The Main Street Foundation’s Center for Regulatory Analysis and Engagement (CRAE) supports the modernization of AML/CFT | · | · | |||
Moody's BusinessSupport Moody’s Corporation, a provider of data and analytical tools for financial institutions, supports FinCEN’s proposal to m | · | · | · | ||
Nasdaq Verafin BusinessSupport Nasdaq Verafin, a global technology company providing financial crime management solutions, supports the proposed rule's | · | · | |||
NICE Actimize BusinessSupport Ted Sausen, representing NICE Actimize, supports the proposed AML/CFT program reforms as a welcome shift toward an effec | · | · | · | · | |
Ocean Systems Inc. BusinessSupport Ocean Systems, Inc., a financial technology company providing BSA/AML compliance software, supports the proposed rule's | · | · | · | ||
OTC Markets Group BusinessSupport OTC Markets Group supports the modernization of AML/CFT programs but requests that FinCEN clarify that "utility ATSs" sh | · | · | · | · | · |
Proof.com BusinessSupport Proof, a digital identity and transaction security platform, supports the proposed rule and encourages FinCEN to explici | · | · | · | · | · |
Section 2, Inc. BusinessSupport Section 2 Inc., a financial crime intelligence firm, supports the proposed transition to an "outcome-driven standard of | · | · | · | · | |
Stripe BusinessSupport Stripe, a money service business and licensed money transmitter, strongly supports the proposed rule's shift toward an o | · | · | |||
The Wolfsberg Group AdvocacySupport The Wolfsberg Group supports the proposed rule as a critical step toward modernizing the U.S. | · | · | · | ||
Third Party Payment Processors Association (TPPPA) AdvocacySupport The Third Party Payment Processors Association (TPPPA) supports the proposed updates to the BSA and AML/CFT programs, sp | · | · | · | · | · |
Tokenpods BusinessSupport Tokenpods, Inc., a compliance technology company, expresses strong support for the proposed shift toward an outcomes-bas | · | · | · | ||
Value Technology Foundation AdvocacySupport The Value Technology Foundation, a non-profit organization, supports the modernization of AML/CFT programs and recommend | · | · | · | · |
4 organization-typed comments could not be identified.
Explorer
Every mirrored comment — filter by stance, campaign, or issue.
- Jun 9, 2026Third Party Payment Processors Association (TPPPA)SupportAdvocacy📎 Attachment
The Third Party Payment Processors Association (TPPPA) supports the proposed updates to the BSA and AML/CFT programs, specifically advocating for the inclusion of specific guidance regarding third-party AML risks. They argue that FinCEN should provide clear requirements for risk-based due diligence, ongoing monitoring, and independent program reviews to address compliance gaps in the rapidly evolving digital payments industry.
Read comment → - Jun 9, 2026GFIA (Global Federation of Insurance Associations)SupportTrade association📎 Attachment
The Global Federation of Insurance Associations (GFIA) supports the proposed reforms to the Bank Secrecy Act, specifically praising the shift toward a risk-based, outcome-focused AML/CFT framework. They advocate for ensuring that the rules reflect the lower risk profile of many insurance products while requesting further clarification on the roles of offshore AML/CFT support functions.
Read comment → - Jun 8, 2026Transparency International U.S.SupportAdvocacy📎 Attachment
Transparency International U.S. supports the proposed rule to bring stablecoin issuers under the Bank Secrecy Act but argues that the rule must be strengthened to address specific risks. They advocate for ecosystem-wide monitoring, lower suspicious activity reporting thresholds, stricter customer due diligence on wallet addresses, and explicit requirements to address corruption and illicit finance risks.
Read comment → - Jun 5, 2026Coalition for Financial Ecosystem StandardsSupportAdvocacy📎 Attachment
The Coalition for Financial Ecosystem Standards (CFES), an organization representing fintechs, digital asset entities, and community banks, supports the proposed rule's shift toward effectiveness-based AML/CFT programs. They argue for the formal recognition of industry-led standards and credentialed third-party assessors to provide objective, scalable, and cost-effective compliance benchmarks.
Read comment → - Jun 4, 2026Ocean Systems Inc.SupportBusiness📎 Attachment
Ocean Systems, Inc., a financial technology company providing BSA/AML compliance software, supports the proposed rule's shift toward an outcomes-based effectiveness standard and its inclusion of an innovation safe harbor for AI. The company requests specific implementation guidance regarding risk-proportionate standards for community banks, AI explainability, and tiered model governance to ensure smaller institutions can adopt new technologies without undue burden.
Read comment → - Jun 5, 2026Anonymous AnonymousSupportIndividual📎 Attachment
The commenter is an independent AML compliance consultant for the gaming industry who supports the proposed rule's shift toward risk-based AML programs. They suggest specific refinements to ensure the rule accounts for tribal casino governance, allows for certain types of independent testing, updates outdated risk assessment guidance, and integrates responsible gaming insights.
Read comment →
