Bank of America - Pennington, NJ
posted 3 months ago
At Bank of America, we are guided by a common purpose to help make financial lives better through the power of every connection. Responsible Growth is how we run our company and how we deliver for our clients, teammates, communities, and shareholders every day. One of the keys to driving Responsible Growth is being a great place to work for our teammates around the world. We're devoted to being a diverse and inclusive workplace for everyone. We hire individuals with a broad range of backgrounds and experiences and invest heavily in our teammates and their families by offering competitive benefits to support their physical, emotional, and financial well-being. Bank of America believes both in the importance of working together and offering flexibility to our employees. We use a multi-faceted approach for flexibility, depending on the various roles in our organization. Working at Bank of America will give you a great career with opportunities to learn, grow and make an impact, along with the power to make a difference. Join us! This job is responsible for executing substantive money laundering, economic sanctions, and fraud compliance and operational risk practices. Key responsibilities include working directly or through compliance officers for the Front Line Units (FLUs) and Control Functions (CFs) to complete compliance, policy, operational/fraud risk management requirements. The Global Financial Crimes (GFC) Regulatory Inventory and Change Management Manager with the GFC Program and Policy Oversight team will design, implement and manage the Global Financial Crimes Regulatory Inventory and Change Management program, to include overseeing GFC global execution of and support for the Regulatory Inventory and Regulatory Change Management (RIRCM) process and the identification, assessment, and implementation of financial crimes relevant US and non-US laws, rules, regulations (LRR) and binding guidance requirements. This role will also oversee RIRCM reporting in GFC management routines and governance forums, monitor execution of implementation requirements to meet regulatory expectations in a timely manner, and implement and execute the Red Flag Inventory process, including the identification of financial crimes red flags and related applicability mapping. Additionally, the manager will lead remediation of regulatory findings and issues, manage and execute functional requirements, ensure adherence to internal/external regulations, and monitor program efficiency.