Anti-Money Laundering and Countering the Financing of Terrorism Programs
Details
The document's own metadata, straight from the source system.
- 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, 2026Defense Credit Union CouncilSupportAdvocacy📎 Attachment
The Defense Credit Union Council (DCUC) supports the proposed rule's emphasis on risk-based supervision, program effectiveness, and interagency coordination. They advocate for maintaining flexibility for credit unions, ensuring compliance obligations are proportionate to institutional size and risk, and requesting a meaningful implementation period of at least 18-24 months.
Read comment → - Jun 4, 2026Casgrain & Company (USA) LimitedOpposeBusiness📎 Attachment
Casgrain & Company (USA) Limited, a Canadian broker-dealer, opposes the requirement for a U.S.-based BSA/AML officer for firms without a U.S. office. They argue that a remote U.S. officer would be less effective for their Montreal-based operations and would impose disproportionate costs, requesting a conditional exemption instead.
Read comment → - Jun 9, 2026Zach ZukowskiSupportBusiness📎 Attachment
Tokenization Systems, a business entity, supports the proposed rule's focus on the effective position of the AML/CFT officer rather than just their formal title. They provide empirical evidence from a study on token-governed systems to argue that nominal designations often diverge significantly from actual control, necessitating an explicit requirement for effective supervisory control.
Read comment →
