FIN-2021-NTC4 November 18, 2021
FinCEN Calls Attention to Environmental Crimes and Related Financial Activity
The Financial Crimes Enforcement Network (FinCEN) is issuing this Notice to call attention to an upward trend in environmental crimes and associated illicit financial activity.
FinCEN is highlighting this trend because of: (1) its strong association with corruption and transnational criminal organizations, two of FinCEN’s national anti-money laundering and countering the financing of terrorism (AML/CFT) priorities;1 (2) a need to enhance reporting and analysis of related illicit financial flows;2 and (3) environmental crimes’ contribution to the climate crisis, including threatening ecosystems, decreasing biodiversity, and increasing carbon dioxide in the atmosphere.3 This Notice provides financial institutions with specific suspicious activity report (SAR) filing instructions and highlights the likelihood of illicit financial activity related to several types of environmental crimes.
Environmental Crimes
Global environmental crimes are estimated by some international organizations to generate hundreds of billions in illicit proceeds annually and now rank as the third largest illicit activity in the world following the trafficking of drugs and counterfeit goods.4 The international police organization Interpol estimates that total proceeds from environmental crimes are growing at a rate of at least 5% per year.5 Furthermore, there is reporting that in conflict zones, environmental crimes, including illegal exploitation and theft of oil, provide an estimated 38% of illicit income to armed groups, more than any other illicit activity, including drug trafficking.6
Environmental crimes encompass illegal activity that harm human health, and harm nature and natural resources by damaging environmental quality, including increasing carbon dioxide levels in the atmosphere, driving biodiversity loss, and causing the overexploitation of natural resources.7 This category of crimes includes (i) wildlife trafficking, (ii) illegal logging, (iii) illegal fishing, (iv) illegal mining, and (v) waste and hazardous substances trafficking.8 These crimes are relatively low risk activities with high rewards because enforcement efforts are limited, demand for the products and services generated by these crimes is high, and criminal penalties are not as severe as for other illicit activities. Environmental crimes frequently involve transnational organized crime and corruption and are often associated with a variety of other crimes including money laundering, bribery, theft, forgery, tax evasion, fraud, human trafficking, and drug trafficking. See appendix for additional information on each type of illicit activity.
Suspicious Activity Report Filing Instructions
Financial institutions’
SAR fillings, in conjunction with effective implementation of their Bank Secrecy Act (BSA) compliance requirements, are crucial to identifying and stopping environmental crimes and related money laundering.
• FinCEN requests that financial institutions reference only this notice in SAR field 2 (Filing Institution Note to FinCEN) using keyword “FIN-2021-NTC4;” this keyword should also be referenced in the narrative portion of the SAR to indicate a connection between the suspicious activity being reported and the activities highlighted in this notice.9
• Financial institutions should also select SAR field 38(z) (Other Suspicious Activities - other) as the associated suspicious activity type to indicate a connection between the suspicious activity being reported and environmental crimes and use the most relevant keyword for suspicious activity such as “wildlife trafficking,” “illegal logging,” “illegal fishing,” “illegal mining,” or “waste trafficking.” If the suspicious activity involves multiple potential offenses, FinCEN also requests that filers include all relevant keywords in the narrative.
• Financial institutions may consider sharing information on suspected environmental crimes offenses under Section 314(b) for the purposes of identifying and reporting money laundering activity.10
SAR Narrative: FinCEN also requests that filers further detail how the suspicious activity relates to environmental crimes. Filers should provide any available details concerning how the illicit product, plant, or waste was solicited, acquired, stored, transported, financed, and paid for. Filers also should provide all available details (such as names, identifiers, and contact information— including Internet Protocol (IP) and email addresses and phone numbers) regarding: (i) any actual purchasers or sellers of the illicit product, plant, waste or waste disposal services, and their intermediaries or agents; (ii) the volume and dollar amount of the transactions involving an entity that is—or may be functioning as—a supplier of illicit products, plants, waste or waste services; and (iii) any beneficial owner(s) of involved entities (such as shell companies). In the case of illicit waste, filers should provide all available details and specific descriptions of the waste product and any known details about its origin, transport, and destination. If known, filers should provide information about the place(s) where the reported individuals or entities are operating.
For Further Information
Additional illicit finance information, including advisories and notices, can be found on FinCEN’s website at https://www.fincen.gov, which also contains information on how to register for FinCEN Updates. Questions or comments regarding the contents of this notice should be addressed to the FinCEN Regulatory Support Section at
[email protected].
Appendix: Environmental Crimes and Descriptions
[SEE PDF]
* *
1. FinCEN, National
AML/CFT Priorities News Release, June 30, 2021 (containing links to the national priorities and two guidance documents), https://www.fincen.gov/news/news-releases/fincen-issues-first-national-amlcft-priorities-and- accompanying-statements.
2. Financial Action Task Force (FATF), Money Laundering from Environmental Crime, July 2021, at pp. 5-6 (recognizing the need to better understand financial flows related to environmental crimes and citing similar recognitions by United Nations, G7, and G20), https://www.fatf-gafi.org/publications/environmentalcrime/documents/money-laundering- from-environmental-crime.pdf;
FATF, Money Laundering and the Illegal Wildlife Trade, June 2020, at pp. 5-7 (indicating that the financial trail is “rarely” investigated in illegal wildlife trafficking), https://www.fatf-gafi.org/media/fatf/ documents/Money-laundering-and-illegal-wildlife-trade.pdf; ECOFEL, Financial Investigations into Wildlife Crime, January 2021, at p. 6 (“Historically, there have been few financial investigations into wildlife crime around the world.”), https://egmontgroup.org/sites/default/files/filedepot/external/ECOFEL Financial Investigations into Wildlife Crime Report Final .pdf.
3. FATF, Money Laundering from Environment al Crime, supra at p. 5; FATF, Money Laundering and the Illegal Wildlife Trade, supra at p. 7; see also, UK Department for Environment, Food & Rural Affairs and the Rt Hon. Lord Goldsmith, UK Commits Additional £7.2 Million to Tackling Illegal Wildlife Trade, October 1, 2021 (referring to illegal wildlife trafficking resulting in the depletion of carbon sequestering abilities), https://www.gov.uk/government/news/uk-commits- additional-72-million-to-tackling-illegal-wildlife-trade.
4. FATF, Money Laundering from Environmental Crime, supra at p. 11 (“Estimates of the scale of financial flows from environmental crimes vary considerably but evidence suggests that proceeds account for hundreds of billions of dollars annually impacting all regions.”); Interpol, RHIPTO, and the Global Initiative Against Transnational Crime, World Atlas of Illicit Flows, 2018, at p. 15 (including illegal exploitation and theft of oil and acknowledging that these figures represent the best estimates from the best available sources which are limited at this time), https://globalinitiative.net/ wp-content/uploads/2018/09/Atlas-Illicit-Flows-Second-Edition-EN-WEB.pdf.
5. Id.; Interpol Website, accessed on October 1, 2021, https://www.interpol.int/News-and-Events/News/2020/INTERPOL- marks-a-decade-of-tackling-serious-organized-environmental-crime.
6. Interpol, et. al, World Atlas of Illicit Flows, supra at p. 15 (noting that drugs trafficking, the second highest source of illicit funds to armed groups in conflict zones accounts for 28% of income).
7. Some sources refer to “conservation crimes,” a subset of environmental crimes that encompasses illegal activities that harm or threaten nature and natural resources.
8. For a more in depth examination of wildlife trafficking, see FATF, Money Laundering and the Illegal Wildlife Trade, supra, and ECOFEL, Financial Investigations into Wildlife Crime, supra. For a general overview of illegal logging, illegal mining, and waste trafficking, see FATF, Money Laundering From Environmental Crime Handout, July 2021, https:// www.fatf-gafi.org/media/fatf/documents/reports/Money-laundering-from-environmental-crime-handout.pdf, and FATF, Money Laundering from Environmental Crime, supra. For a discussion of illegal fishing, see National Oceanic and Atmospheric Administration (NOAA) website, accessed October 1, 2021, https://www.fisheries.noaa.gov/insight/ understanding-illegal-unreported-and-unregulated-fishing.
9. In the narrative, filers must describe the reported suspicious activity consistent with applicable SAR reporting requirements.\
10. FinCEN,
Section 314(b) Fact Sheet, December 2020, https://www.fincen.gov/sites/default/files/shared/314bfactsheet. pdf, which states that the safe harbor from liability set forth in section 314(b) of the USA PATRIOT Act may apply in certain situations to the sharing of cyber-related information, such as IP addresses.
11. United Nations Office on Drugs and Crime (UNODC), World Wildlife Report Summary and Overview, 2020, at p. 11, https://www.unodc.org/documents/data-and-analysis/wildlife/2020/World_Wildlife_Report_2020_9July.pdf.
12. Pursuant to The Eliminate, Neutralize, and Disrupt (END) Wildlife Trafficking Act of 2016, https://www.congress. gov/bill/114th-congress/house-bill/2494, the U.S. Department of State published the 2021 END Wildlife Trafficking Report and identified 28 countries of focus based on the conclusion that they were a “major source of wildlife trafficking products or their derivatives, a major transit point of wildlife trafficking products or their derivatives, or a major consumer of wildlife trafficking products” and six countries as countries of concern based on evidence their “governments actively engaged in or knowingly profited from the trafficking of endangered or threatened species.” U.S. Department of State, 2021 END Wildlife Trafficking Report, November 4, 2021, https://www.state.gov/2021-end- wildlife-trafficking-report/.
13. Congressional Research Service (CRS), Wildlife Trade, COVID-19, and Other Zoonotic Diseases, Updated February 19, 2021, at p. 1, https://crsreports.congress.gov/product/pdf/IF/IF11494; FATF, Money Laundering and the Illegal Wildlife Trade, supra at p. 7.
14. FATF, Money Laundering and the Illegal Wildlife Trade, supra at p. 13, citing UNEP-Interpol 2014, and Daan P, Van Uhm, The Illegal Wildlife Trade Inside the World of Poachers, Smugglers and Traders, 2016, https://www.springer.com/gp/ book/9783319421285.
15. UNODC, World Wildlife Report, supra at p. 14 and Chapters 2-7.
16. Id. at p. 26.
17. U.S. Department of the Interior, Ten Things Poachers Don’t Want You to Know About Wildlife Trafficking, September 9, 2020, https://www.doi.gov/blog/10-things-poachers-dont-want-you-know-about-wildlife-trafficking.
18. World Bank, Illegal Logging, Fishing, and Wildlife Trade: The Costs and How to Combat It, 2019, at p. 10, https://openknowledge.worldbank.org/handle/10986/32806.
19. Id. at p. 15, (referencing United Nations Environment Programme - Interpol data from 2016).
20. FATF, Money Laundering from Environmental Crime, supra at p. 13.
21. World Bank, Illegal Logging, Fishing, and Wildlife Trade, supra at pp. 17-18.
22. FATF, Money Laundering from Environmental Crime, supra at p. 13.
23. Interpol, Forestry Crime: Tackling the Most Lucrative of Environmental Crimes, December 14, 2020, accessed October 1, 2021, https://www.interpol.int/en/News-and-Events/News/2020/Forestry-crime-targeting-the-most-lucrative-of- environmental-crimes.
24. FATF, Money Laundering from Environmental Crime, supra at p. 13.
25. Id. at p. 12.
26. Congressional Research Service, International Illegal Logging: Background and Issues, February 26, 2019, at p.1, https://sgp.fas.org/crs/misc/IF11114.pdf.
27. U.S. Customs and Border Protection, The True Cost of Timber, July 19, 2021, at p. 2, citing sources, https://www.cbp.gov/frontline/cbp-stops-illegal-logging.
28. See NOAA website, Understanding Illegal, Unreported, and Unregulated Fishing, supra.
29. See United States Coast Guard (U.S.C.G.), Illegal, Unreported, and Unregulated Fishing Pilot Program, December 6, 2019, at p. 2, https://www.dhs.gov/sites/default/files/publications/uscg_-_illegal_unreported_and_unregulated_fishing_-_ pilot_program.pdf; Interpol, Fighting Illegal Unreported, and Unregulated Fishing, December 7, 2020, Fighting illegal, unreported and unregulated fishing (interpol.int); U.S. State Department, Report on Human Trafficking in Fishing in International Waters, January 2021, Task Force on Human Trafficking in Fishing in International Waters Report to Congress | January 2021 (justice.gov);
30. Interpol, et. al, World Atlas of Illicit Flows, supra, at p. 15.
31. NOAA website, Understanding Illegal, Unreported, and Unregulated Fishing, supra.
32. U.S.C.G., Illegal, Unreported, and Unregulated Fishing Strategic Outlook, accessed October 21, 2021, United States Coast Guard Illegal, Unreported, and Unregulated Fishing Strategic Outlook (uscg.mil).
33. United States International Trade Commission (USITC), IUU Accounts For More Than $2 Billion of U.S. Seafood Imports, March 18, 2021, at p. 2, https://www.usitc.gov/press_room/news_release/2021/er0318ll1740.htm, citing USITC, Seafood Obtained Via IUU: U.S. Imports and Economic Impact on U.S. Commercial Fisheries, February 2021.
34. U.S.C.G., Illegal, Unreported, and Unregulated Fishing Strategic Outlook, supra.
35. FATF, Money Laundering from Environmental Crime, supra, at p. 8.
36. See, e.g., National Money Laundering Risk Assessment, 2018, at pp. 32 and 40, https://home.treasury.gov/system/ files/136/2018NMLRA_12-18.pdf.
37. Interpol, et. al, World Atlas of Illicit Flows, supra at p. 15.
38. Testimony of Regina Thompson, Deputy Assistant Director, Criminal Investigative Division, Federal Bureau of Investigation, Statement for the Record, Senate Foreign Relations Committee, Subcommittee on Western Hemisphere, Transnational Crime, Civilian Security, Democracy, Human Rights and Global Women’s Issues, hearing on Illicit Mining: Threats to U.S. National Security and Threats to Human Rights, December 5, 2019, at pp. 2-3, https://www.fbi. gov/news/testimony/illicit-mining-threats-to-us-national-security-and-international-human-rights-120519.
39. FATF, Money Laundering from Environmental Crime, supra at pp. 14 and 16.
40. Id. at pp. 14 and 19.
41. Id. at p. 12.
42. Testimony of Regina Thompson, hearing on Illicit Mining: Threats to U.S. National Security and Threats to Human Rights, supra at pp. 2-3.
43. FATF, Money Laundering from Environmental Crime, supra at p. 8.
44. United States Environmental Protection Agency website, Criminal Investigations – Violation Types and Examples, accessed October 1, 2021, https://www.epa.gov/enforcement/criminal-investigations-violation-types-and-examples.
45. FATF, Money Laundering from Environmental Crime, supra at p. 16.
FinCEN Calls Attention to Environmental Crimes and Related Financial Activity
The Financial Crimes Enforcement Network (FinCEN) is issuing this Notice to call attention to an upward trend in environmental crimes and associated illicit financial activity. FinCEN is highlighting this trend because of: (1) its strong association with corruption and transnational criminal organizations, two of FinCEN’s national anti-money laundering and countering the financing of terrorism (AML/CFT) priorities;1 (2) a need to enhance reporting and analysis of related illicit financial flows;2 and (3) environmental crimes’ contribution to the climate crisis, including threatening ecosystems, decreasing biodiversity, and increasing carbon dioxide in the atmosphere.3 This Notice provides financial institutions with specific suspicious activity report (SAR) filing instructions and highlights the likelihood of illicit financial activity related to several types of environmental crimes.
Environmental Crimes
Global environmental crimes are estimated by some international organizations to generate hundreds of billions in illicit proceeds annually and now rank as the third largest illicit activity in the world following the trafficking of drugs and counterfeit goods.4 The international police organization Interpol estimates that total proceeds from environmental crimes are growing at a rate of at least 5% per year.5 Furthermore, there is reporting that in conflict zones, environmental crimes, including illegal exploitation and theft of oil, provide an estimated 38% of illicit income to armed groups, more than any other illicit activity, including drug trafficking.6
Environmental crimes encompass illegal activity that harm human health, and harm nature and natural resources by damaging environmental quality, including increasing carbon dioxide levels in the atmosphere, driving biodiversity loss, and causing the overexploitation of natural resources.7 This category of crimes includes (i) wildlife trafficking, (ii) illegal logging, (iii) illegal fishing, (iv) illegal mining, and (v) waste and hazardous substances trafficking.8 These crimes are relatively low risk activities with high rewards because enforcement efforts are limited, demand for the products and services generated by these crimes is high, and criminal penalties are not as severe as for other illicit activities. Environmental crimes frequently involve transnational organized crime and corruption and are often associated with a variety of other crimes including money laundering, bribery, theft, forgery, tax evasion, fraud, human trafficking, and drug trafficking. See appendix for additional information on each type of illicit activity.
Suspicious Activity Report Filing Instructions
Financial institutions’ SAR fillings, in conjunction with effective implementation of their Bank Secrecy Act (BSA) compliance requirements, are crucial to identifying and stopping environmental crimes and related money laundering.
• FinCEN requests that financial institutions reference only this notice in SAR field 2 (Filing Institution Note to FinCEN) using keyword “FIN-2021-NTC4;” this keyword should also be referenced in the narrative portion of the SAR to indicate a connection between the suspicious activity being reported and the activities highlighted in this notice.9
• Financial institutions should also select SAR field 38(z) (Other Suspicious Activities - other) as the associated suspicious activity type to indicate a connection between the suspicious activity being reported and environmental crimes and use the most relevant keyword for suspicious activity such as “wildlife trafficking,” “illegal logging,” “illegal fishing,” “illegal mining,” or “waste trafficking.” If the suspicious activity involves multiple potential offenses, FinCEN also requests that filers include all relevant keywords in the narrative.
• Financial institutions may consider sharing information on suspected environmental crimes offenses under Section 314(b) for the purposes of identifying and reporting money laundering activity.10
SAR Narrative: FinCEN also requests that filers further detail how the suspicious activity relates to environmental crimes. Filers should provide any available details concerning how the illicit product, plant, or waste was solicited, acquired, stored, transported, financed, and paid for. Filers also should provide all available details (such as names, identifiers, and contact information— including Internet Protocol (IP) and email addresses and phone numbers) regarding: (i) any actual purchasers or sellers of the illicit product, plant, waste or waste disposal services, and their intermediaries or agents; (ii) the volume and dollar amount of the transactions involving an entity that is—or may be functioning as—a supplier of illicit products, plants, waste or waste services; and (iii) any beneficial owner(s) of involved entities (such as shell companies). In the case of illicit waste, filers should provide all available details and specific descriptions of the waste product and any known details about its origin, transport, and destination. If known, filers should provide information about the place(s) where the reported individuals or entities are operating.
For Further Information
Additional illicit finance information, including advisories and notices, can be found on FinCEN’s website at https://www.fincen.gov, which also contains information on how to register for FinCEN Updates. Questions or comments regarding the contents of this notice should be addressed to the FinCEN Regulatory Support Section at [email protected].
Appendix: Environmental Crimes and Descriptions
[SEE PDF]
* *
1. FinCEN, National AML/CFT Priorities News Release, June 30, 2021 (containing links to the national priorities and two guidance documents), https://www.fincen.gov/news/news-releases/fincen-issues-first-national-amlcft-priorities-and- accompanying-statements.
2. Financial Action Task Force (FATF), Money Laundering from Environmental Crime, July 2021, at pp. 5-6 (recognizing the need to better understand financial flows related to environmental crimes and citing similar recognitions by United Nations, G7, and G20), https://www.fatf-gafi.org/publications/environmentalcrime/documents/money-laundering- from-environmental-crime.pdf; FATF, Money Laundering and the Illegal Wildlife Trade, June 2020, at pp. 5-7 (indicating that the financial trail is “rarely” investigated in illegal wildlife trafficking), https://www.fatf-gafi.org/media/fatf/ documents/Money-laundering-and-illegal-wildlife-trade.pdf; ECOFEL, Financial Investigations into Wildlife Crime, January 2021, at p. 6 (“Historically, there have been few financial investigations into wildlife crime around the world.”), https://egmontgroup.org/sites/default/files/filedepot/external/ECOFEL Financial Investigations into Wildlife Crime Report Final .pdf.
3. FATF, Money Laundering from Environment al Crime, supra at p. 5; FATF, Money Laundering and the Illegal Wildlife Trade, supra at p. 7; see also, UK Department for Environment, Food & Rural Affairs and the Rt Hon. Lord Goldsmith, UK Commits Additional £7.2 Million to Tackling Illegal Wildlife Trade, October 1, 2021 (referring to illegal wildlife trafficking resulting in the depletion of carbon sequestering abilities), https://www.gov.uk/government/news/uk-commits- additional-72-million-to-tackling-illegal-wildlife-trade.
4. FATF, Money Laundering from Environmental Crime, supra at p. 11 (“Estimates of the scale of financial flows from environmental crimes vary considerably but evidence suggests that proceeds account for hundreds of billions of dollars annually impacting all regions.”); Interpol, RHIPTO, and the Global Initiative Against Transnational Crime, World Atlas of Illicit Flows, 2018, at p. 15 (including illegal exploitation and theft of oil and acknowledging that these figures represent the best estimates from the best available sources which are limited at this time), https://globalinitiative.net/ wp-content/uploads/2018/09/Atlas-Illicit-Flows-Second-Edition-EN-WEB.pdf.
5. Id.; Interpol Website, accessed on October 1, 2021, https://www.interpol.int/News-and-Events/News/2020/INTERPOL- marks-a-decade-of-tackling-serious-organized-environmental-crime.
6. Interpol, et. al, World Atlas of Illicit Flows, supra at p. 15 (noting that drugs trafficking, the second highest source of illicit funds to armed groups in conflict zones accounts for 28% of income).
7. Some sources refer to “conservation crimes,” a subset of environmental crimes that encompasses illegal activities that harm or threaten nature and natural resources.
8. For a more in depth examination of wildlife trafficking, see FATF, Money Laundering and the Illegal Wildlife Trade, supra, and ECOFEL, Financial Investigations into Wildlife Crime, supra. For a general overview of illegal logging, illegal mining, and waste trafficking, see FATF, Money Laundering From Environmental Crime Handout, July 2021, https:// www.fatf-gafi.org/media/fatf/documents/reports/Money-laundering-from-environmental-crime-handout.pdf, and FATF, Money Laundering from Environmental Crime, supra. For a discussion of illegal fishing, see National Oceanic and Atmospheric Administration (NOAA) website, accessed October 1, 2021, https://www.fisheries.noaa.gov/insight/ understanding-illegal-unreported-and-unregulated-fishing.
9. In the narrative, filers must describe the reported suspicious activity consistent with applicable SAR reporting requirements.\
10. FinCEN, Section 314(b) Fact Sheet, December 2020, https://www.fincen.gov/sites/default/files/shared/314bfactsheet. pdf, which states that the safe harbor from liability set forth in section 314(b) of the USA PATRIOT Act may apply in certain situations to the sharing of cyber-related information, such as IP addresses.
11. United Nations Office on Drugs and Crime (UNODC), World Wildlife Report Summary and Overview, 2020, at p. 11, https://www.unodc.org/documents/data-and-analysis/wildlife/2020/World_Wildlife_Report_2020_9July.pdf.
12. Pursuant to The Eliminate, Neutralize, and Disrupt (END) Wildlife Trafficking Act of 2016, https://www.congress. gov/bill/114th-congress/house-bill/2494, the U.S. Department of State published the 2021 END Wildlife Trafficking Report and identified 28 countries of focus based on the conclusion that they were a “major source of wildlife trafficking products or their derivatives, a major transit point of wildlife trafficking products or their derivatives, or a major consumer of wildlife trafficking products” and six countries as countries of concern based on evidence their “governments actively engaged in or knowingly profited from the trafficking of endangered or threatened species.” U.S. Department of State, 2021 END Wildlife Trafficking Report, November 4, 2021, https://www.state.gov/2021-end- wildlife-trafficking-report/.
13. Congressional Research Service (CRS), Wildlife Trade, COVID-19, and Other Zoonotic Diseases, Updated February 19, 2021, at p. 1, https://crsreports.congress.gov/product/pdf/IF/IF11494; FATF, Money Laundering and the Illegal Wildlife Trade, supra at p. 7.
14. FATF, Money Laundering and the Illegal Wildlife Trade, supra at p. 13, citing UNEP-Interpol 2014, and Daan P, Van Uhm, The Illegal Wildlife Trade Inside the World of Poachers, Smugglers and Traders, 2016, https://www.springer.com/gp/ book/9783319421285.
15. UNODC, World Wildlife Report, supra at p. 14 and Chapters 2-7.
16. Id. at p. 26.
17. U.S. Department of the Interior, Ten Things Poachers Don’t Want You to Know About Wildlife Trafficking, September 9, 2020, https://www.doi.gov/blog/10-things-poachers-dont-want-you-know-about-wildlife-trafficking.
18. World Bank, Illegal Logging, Fishing, and Wildlife Trade: The Costs and How to Combat It, 2019, at p. 10, https://openknowledge.worldbank.org/handle/10986/32806.
19. Id. at p. 15, (referencing United Nations Environment Programme - Interpol data from 2016).
20. FATF, Money Laundering from Environmental Crime, supra at p. 13.
21. World Bank, Illegal Logging, Fishing, and Wildlife Trade, supra at pp. 17-18.
22. FATF, Money Laundering from Environmental Crime, supra at p. 13.
23. Interpol, Forestry Crime: Tackling the Most Lucrative of Environmental Crimes, December 14, 2020, accessed October 1, 2021, https://www.interpol.int/en/News-and-Events/News/2020/Forestry-crime-targeting-the-most-lucrative-of- environmental-crimes.
24. FATF, Money Laundering from Environmental Crime, supra at p. 13.
25. Id. at p. 12.
26. Congressional Research Service, International Illegal Logging: Background and Issues, February 26, 2019, at p.1, https://sgp.fas.org/crs/misc/IF11114.pdf.
27. U.S. Customs and Border Protection, The True Cost of Timber, July 19, 2021, at p. 2, citing sources, https://www.cbp.gov/frontline/cbp-stops-illegal-logging.
28. See NOAA website, Understanding Illegal, Unreported, and Unregulated Fishing, supra.
29. See United States Coast Guard (U.S.C.G.), Illegal, Unreported, and Unregulated Fishing Pilot Program, December 6, 2019, at p. 2, https://www.dhs.gov/sites/default/files/publications/uscg_-_illegal_unreported_and_unregulated_fishing_-_ pilot_program.pdf; Interpol, Fighting Illegal Unreported, and Unregulated Fishing, December 7, 2020, Fighting illegal, unreported and unregulated fishing (interpol.int); U.S. State Department, Report on Human Trafficking in Fishing in International Waters, January 2021, Task Force on Human Trafficking in Fishing in International Waters Report to Congress | January 2021 (justice.gov);
30. Interpol, et. al, World Atlas of Illicit Flows, supra, at p. 15.
31. NOAA website, Understanding Illegal, Unreported, and Unregulated Fishing, supra.
32. U.S.C.G., Illegal, Unreported, and Unregulated Fishing Strategic Outlook, accessed October 21, 2021, United States Coast Guard Illegal, Unreported, and Unregulated Fishing Strategic Outlook (uscg.mil).
33. United States International Trade Commission (USITC), IUU Accounts For More Than $2 Billion of U.S. Seafood Imports, March 18, 2021, at p. 2, https://www.usitc.gov/press_room/news_release/2021/er0318ll1740.htm, citing USITC, Seafood Obtained Via IUU: U.S. Imports and Economic Impact on U.S. Commercial Fisheries, February 2021.
34. U.S.C.G., Illegal, Unreported, and Unregulated Fishing Strategic Outlook, supra.
35. FATF, Money Laundering from Environmental Crime, supra, at p. 8.
36. See, e.g., National Money Laundering Risk Assessment, 2018, at pp. 32 and 40, https://home.treasury.gov/system/ files/136/2018NMLRA_12-18.pdf.
37. Interpol, et. al, World Atlas of Illicit Flows, supra at p. 15.
38. Testimony of Regina Thompson, Deputy Assistant Director, Criminal Investigative Division, Federal Bureau of Investigation, Statement for the Record, Senate Foreign Relations Committee, Subcommittee on Western Hemisphere, Transnational Crime, Civilian Security, Democracy, Human Rights and Global Women’s Issues, hearing on Illicit Mining: Threats to U.S. National Security and Threats to Human Rights, December 5, 2019, at pp. 2-3, https://www.fbi. gov/news/testimony/illicit-mining-threats-to-us-national-security-and-international-human-rights-120519.
39. FATF, Money Laundering from Environmental Crime, supra at pp. 14 and 16.
40. Id. at pp. 14 and 19.
41. Id. at p. 12.
42. Testimony of Regina Thompson, hearing on Illicit Mining: Threats to U.S. National Security and Threats to Human Rights, supra at pp. 2-3.
43. FATF, Money Laundering from Environmental Crime, supra at p. 8.
44. United States Environmental Protection Agency website, Criminal Investigations – Violation Types and Examples, accessed October 1, 2021, https://www.epa.gov/enforcement/criminal-investigations-violation-types-and-examples.
45. FATF, Money Laundering from Environmental Crime, supra at p. 16.