Cyan Regulatory

Cyan Regulatory

Financial Services

St. Helier, Jersey 722 followers

Trusted advisors to the finance industry

About us

Cyan Regulatory is a consultancy firm specialising in assisting regulated financial services businesses. We provide comprehensive, practical and expert advice based on our unrivalled hands-on experience in Jersey’s finance industry. We are part of the Altair Group. We offer a full range of regulatory and fiduciary investment consultancy services, tailored to the needs and circumstances of each client. We pride ourselves on our first-class service, working alongside our clients as trusted advisors and providing them with reliable support. Our blend of extensive experience and sound judgement enables us to formulate and deliver compliant, yet cost-effective, solutions for our clients. We are proud to be part of the Altair Group.

Website
http://www.cyan.je
Industry
Financial Services
Company size
2-10 employees
Headquarters
St. Helier, Jersey
Type
Privately Held
Founded
2014
Specialties
Financial services, Regulation, Compliance, and Risk management

Locations

Employees at Cyan Regulatory

Updates

  • The Jersey Financial Services Commission has published aggregated data from the Supervisory Risk Data Returns submitted each year by industry. The first round of reports cover the banking, investment business, TCB and legal sectors. The reports are detailed, with the findings mapped back to the Data Return questions, and tailored to each sector with sections such as: ▫️ Sector overview ▫️ Customers - residency, risk, PEPs, activities ▫️ Services ▫️ Employees - number, residency, number in risk & compliance ▫️ Reliance and Money Laundering Order exemptions. Usefully, the reports also include some key risk indicators which businesses could use as benchmarking tools. The reports warrant careful review by businesses in the relevant sectors to consider how the business fits with the picture painted of the wider sector and, where there are any discrepancies, to assess the reason(s) for the discrepancy and consider whether any follow-up action is required. The publication of such thorough reports is very welcome as they will enable regulated businesses to better assess and understand their position within their sector and the AML/CFT risks which they face. #JerseyCI #risk

    In 2018, we began collecting annual supervisory risk data from businesses and individuals we supervise to support our risk-based approach to supervision. We have published four reports showing aggregated data for the banking, investment business, legal and trust company business sectors to give you an overview of sector trends and share information on money laundering and terrorist financing risks. Read our industry update for more information: https://bit.ly/3VGXOzZ

    • Jersey Financial Services Commission Logo on a blue geometric patterned background, with text stating "Read our aggregated supervisory risk data".
  • Cyan Regulatory reposted this

    View profile for John Small, graphic

    Associate Director - Innovation Delivery Lead

    A very postive post from GRC industry expert Michael Rasmussen about our software partner Decision Focus. The flexibility of the Decision Focus platform Michael mentions has allowed us to use the Altair Group group expertise to to create our compliance focused solution Beacon (https://lnkd.in/g9gdB8cB) If you wanted to learn more about Beacon or the Decision Focus platform, do get in touch, we would love to hear from you. #GRC #RegTech #Compliance

    View profile for Michael Rasmussen, graphic

    GRC Analyst & Pundit at GRC 20/20 Research, LLC

    Had a productive strategy day with the team at Decision Focus in #London. The session provided an excellent opportunity to provide my insights on the current state and direction of the #GRC (#governance, #riskmanagement, and #compliance) market. I shared perspectives on industry trends, challenges, and opportunities, while the Decision Focus team showcased the latest advancements in their GRC solution. Decision Focus continues to see strong growth and traction, particularly within the financial services sector, with a notable strength in supporting the insurance industry. However, their platform's versatility extends well beyond financial services, offering valuable use cases across multiple industries. A key differentiator for Decision Focus is the simplicity and intuitiveness of their solution. Built within a #nocode environment, it is highly configurable and agile, enabling organizations of varying sizes and industries to tailor the platform to their specific needs. This flexibility is crucial as organizations strive to adapt to evolving regulatory demands and internal operational changes. Their platform offers a suite of capabilities, spanning #risk management, #compliancemanagement, and #audit. This breadth allows organizations to address a wide range of GRC requirements, regardless of complexity or scale. The platform’s ease of use ensures that it supports both seasoned risk professionals and broader organizational stakeholders who may engage with it periodically. I really enjoyed seeing their practical and valuable use of #AI in the product. It’s clear that Decision Focus is positioned to continue supporting organizations in navigating the complex GRC landscape. Their solution’s adaptability, intuitive design, and industry focus make them a valuable player in the market.

  • Sanctions Legislation Update New UK regulations came in to force on 5 December 2024 through the Sanctions and Asset-Freezing (Implementation of External Sanctions) (Jersey) Order 2019. The amendments include: 🛑 Trust services prohibitions – Russia regime The amendments clarify that acting as a nominee shareholder when that involves the use of a trust or similar arrangement, should be considered a prohibited trust service. Acting as a nominee shareholder is clarified as meaning undertaking the following activities as the legal owner of the shares: i. exercising the voting rights of those shares in accordance with the wishes of the beneficial owner of those shares (“O”); or ii. receiving dividends in respect of those shares held on behalf of O, where the activities are undertaken in accordance with an arrangement with O that involves a trust or similar arrangement. 🖥️ Reporting Obligations In line with existing UK requirements, Jersey will introduce the obligation to make an annual report on 30 November each year on funds held as at 30 September that year, this will commence from November 2025. Updated Jersey guidance will be published in due course. The amendments also include updates to certain licencing and exception provisions, these are highlighted in the government announcement which can be accessed from the link below. These amendments will require businesses to consider: 💠 Any impact on the activities undertaken by your business 💠 Identify if acting as a “nominee shareholder” to a person connected with Russia (if required submit the relevant sanctions form to the Minister for External Relations) 💠 Prepare for new reporting requirements 💠 Review and updates to relevant P&Ps 💠 Updating training material https://lnkd.in/eZNt93EP #jerseyci #sanctions

    Government of Jersey

    Government of Jersey

    gov.je

  • JFSC Thematic Examination – NPOs and Diversion Risk & Mitigation The Jersey Financial Services Commission recently presented the findings of their thematic examination of NPOs, conducted on the identification of diversion risks and having relevant mitigation measures in place. They identified the following areas for improvement: 📃 Insufficient information obtained on Associate NPOs (the NPO’s partner organisations) regarding where and/or how the funds were being used after their receipt of funds from the NPO. ⚠️ Understanding by the Boards/Governors of what diversion is and how it may be found within the specific NPO. 📁 Reliance on anecdotal confirmations or limited evidence on how funds were being used such that the NPO could not gain adequate comfort that diversion had not occurred. The JFSC noted the following examples of good practice: ☑️ Controls implemented to ensure funds reach the intended destination. ☑️ NPOs often used a combination of diversion mitigations methods, such as: o  On the ground visits o  In-person meetings and/or video conferencing o  Receipts from spending o  Progress reports o  Photographs o  Avoiding over-reliance on any one method. A combination of methods may offer the best mitigation. ☑️ Documenting what actions had been taken and updating processes where enhancements could be made. The JFSC have invited all NPOs to get in touch directly with any queries/questions and we at Cyan are also happy to assist with your queries and discuss if we can be of assistance. The presentation slides can be accessed here: https://lnkd.in/e6uenQrh #npo #charity #diversion #aml

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  • The National Crime Agency (NCA) has published a really useful briefing on Operation Destabilise - their disruption of a multi billion dollar Russian money laundering network. If you scroll to the bottom of the briefing and click on "Case Studies", number 3 provides more information on the role the States of Jersey Police played re three individuals from Uzbekistan and Mongolia who tried to launder £60,000 in cash in 2022. Well worth a read!

    View organization page for National Crime Agency (NCA), graphic

    352,052 followers

    Operation DESTABILISE: NCA disrupts $multi-billion Russian money laundering networks with links to, drugs, ransomware and espionage, resulting in 84 arrests. An international NCA-led investigation - Operation Destabilise - has exposed and disrupted Russian money laundering networks supporting serious and organised crime around the world: spanning from the streets of the UK, to the Middle East, Russia, and South America. Two Russian-speaking networks collaborating at the heart of the criminal enterprise have been identified; Smart headed up by Ekaterina Zhdanova, who worked closely with Khadzi-Murat Magomedov and Nikita Krasnov to facilitate money laundering, and TGR, run by George Rossi, his second in command Elena Chirkinyan, and Andrejs Bradens. All six have now been sanctioned by OFAC in the US. NCA-coordinated activity has so far led to 84 arrests, with many already serving prison sentences, as well as the seizure of over £20m in cash and cryptocurrency. For the first time, we have been able to map out a link between Russian elites, crypto-rich cyber criminals, and drugs gangs on the streets of the UK. The thread that tied them together – the combined force of Smart and TGR – was invisible until now. The NCA and partners have disrupted this criminal service at every level. We have identified and acted against the Russians pulling the strings at the very top, removing the air of legitimacy that enabled them to weave illicit funds into our economy. We also took out the key coordinators that enabled the cash-based element of their operation in the UK, making it extremely difficult for them to operate here and sending a clear message that this is not a safe haven for money laundering. Read the full story ➡️ https://lnkd.in/eWVVDtEs

  • From January 17th 2025, financial institutions with a presence in the EU or companies providing IT services to EU based financial insitutions will need to comply with the Digital Operational Resilience Act (DORA). The requirements for DORA are quite demanding and companies need to be prepared. Our GRC software partners Decision Focus have a module which is ready to help with ensuring DORA compliance. Get in touch for an introduction or read their white paper here https://bit.ly/4fMFFJf

    Brochure - DORA: Don’t underestimate the Digital Operational Resilience Act

    Brochure - DORA: Don’t underestimate the Digital Operational Resilience Act

    info.decisionfocus.com

  • JFSC POST-MONEYVAL PLAN The Jersey Financial Services Commission has published a plan detailing how it is going to address the recommendations arising from the MONEYVAL report that are solely for it to complete. The Plan seems ambitious with the JFSC targeting to review a number of key areas for regulated businesses. Businesses should therefore review the Plan to ensure they understand any implications for their own operations. Actions for the JFSC include: ◼️ JFSC model and processes: ▫️ A review of the data points used in the JFSC’s institutional risk model for ML/TF risks by the end of 2024 ▫️ A review of internal decision-making policies and guidance re sanctions / penalties to consider further refinements by the end of Q1 2025 ▫️ A review of the JFSC’s supervisory strategy to ensure that the frequency and type of examinations is proportionate to the risks presented by different industry sectors and individual entities, to be completed by the end of Q2 2025 ▫️ A review of how breaches and findings are recorded and categorised to ensure appropriate action is taken, review to commence by the end of 2024 ◼️ Registry: ▫️ A review of supervisory practices re legal persons and arrangements to consider enhancements, review to commence by the end of Q1 2025 ▫️ A review of guidance on control by other means, to commence in Q2 2025 ▫️ A review of the recording and application of sanctions / penalties where breaches are identified, to include supervisory practices and to commence by the end of the year ▫️ Enhancements to the Contact Us form on the website to enable optional reporting of discrepancies in information There are other actions re targeted financial sanctions, criminal background checks, NPOs, PEPs, suspicious activity reporting and more, all detailed in the JFSC’s plan. It seems there may be quite a few changes to JFSC guidance and practices in 2025 as a result of the work the JFSC is to undertake. We'll continue to flag these up and post our thoughts, but you're always welcome to get in touch if you'd like to discuss any matters in detail. #financialservices #JerseyCI

    View organization page for Jersey Financial Services Commission, graphic

    10,840 followers

    We have published our action plan in response to Jersey’s 2024 MONEYVAL Mutual Evaluation Report. This action plan explains how we will address MONEYVAL’s Recommended Actions that are specifically for the JFSC to complete. The plan was created with input from industry bodies, the Government of Jersey’s Financial Services Team, and other agencies. It has been developed to support a smooth and effective implementation of the recommendations. We will keep engaging with our stakeholders as we move forward with this plan. We will also provide updates on our progress.  Read more here: https://bit.ly/3CKZ26S

    • Blue graphic featuring the logo of Jersey Financial Services Commission (JFSC) at the top, with text stating 'JFSC MONEYVAL action plan published'.
  • CONSUMER CREDIT REGIME CONSULTATION After last year’s initial consultation, the Government of Jersey has published a consultation on legislative amendments to protect consumers from abusive lending practices and enable them to make well-informed decisions when using credit providers and other credit services. It is proposed that the following activities will be caught by the regime and supervised by the Jersey Financial Services Commission: 1.     credit broking 2.     debt adjusting 3.     debt counselling 4.     debt administration 5.     advising on regulated agreements and arrangements 6.     entering into regulated agreements and arrangements 7.     exercising, performing or obtaining rights or duties under regulated agreements or arrangements There are a number of exemptions and all lending to small business and micro-enterprise has been removed. In addition, high-net-worth-individuals have been given the option as to whether or not to exclude themselves from the protections of the regime. See link for the full details #JerseyCI #Regulation

    Government of Jersey

    Government of Jersey

    gov.je

  • MANDY BLAKE JOINS CYAN We're delighted to announce that Mandy Blake has joined the Altair Group as a Regulatory Consultant at Cyan Regulatory, further strengthening our depth of expertise in the provision of regulatory support and consultancy. Mandy has over 25 years of experience in financial services, including more than four years at the Jersey Financial Services Commission, and she can now bring her all of her experience and expertise to assist our clients. #FinancialServices #Team

    Appointment of Mandy Blake | Altair

    Appointment of Mandy Blake | Altair

    altair.je

  • Generative AI has opened the door to exciting possibilities in compliance, with chatbots like AskMax.je and Reggie from the JFSC showing how AI can help professionals navigate complex regulations. But while these tools aren't fully integrated into regulatory processes yet, they’re paving the way for smarter, faster decision-making in GRC. In this article, Ali Richomme explores: ✅ How crafting clear, effective prompts is key to getting the best results ✅ The role of AI fine-tuning and data sources in shaping chatbot responses ✅ Practical examples of how chatbots can support compliance professionals Read the full article https://bit.ly/4hWlbz0 #GenAI #RegulatoryChatbots #RegTech

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