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RSK4802 Assignment 1 Memo | Due 29 May 2025

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RSK4802 Assignment 1 Memo | Due 29 May 2025. All questions fully answered. Questions 1) Identify 4 keys risks that the bank may face as a result of its non- compliance with the statutes as detailed in the article (8 marks). 2) Comment on the role and effectiveness of Capitec Bank’ Board in respect to its responsibilities on compliance issues. (7marks). 3) What could be some of the board’s short comings with respect to enforcement of compliance issues and what can be done to remedy this?(10 marks)

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, PLEASE USE THIS DOCUMENT AS A GUIDE TO ANSWER YOUR ASSIGNMENT

1. Identify 4 keys risks that the bank may face as a result of its non- compliance with the statutes
as detailed in the article.

Introduction
The South African Reserve Bank (SARB), through its Prudential Authority, imposed administrative
sanctions on Capitec Bank Limited due to significant non-compliance with various provisions of the
Financial Intelligence Centre Act 38 of 2001 (FIC Act). The sanctions were based on findings from
inspections conducted in 2021 and 2022 across the bank’s retail and business banking segments.
Capitec Bank was found to have failed in several key compliance areas, including customer due
diligence, transaction monitoring, and timely reporting of suspicious and cash threshold transactions
(Resbank.co.za, 2024).

Regulatory Risk
Capitec Bank faces a high degree of regulatory risk due to its failure to comply with fundamental
obligations under the FIC Act. Regulatory risk arises when an institution does not adhere to
regulatory requirements or omits their implementation in operational procedures (Valsamakis et al.,
2010). The non-compliance, which led to the imposition of cautions, reprimands, and substantial
financial penalties, reflects a breakdown in the bank’s adherence to regulatory standards. This not
only results in penalties but also invites increased scrutiny from regulators, the risk of more stringent
future inspections, and the possibility of even harsher consequences for repeated breaches.

Reputational Risk
Another significant risk arising from the non-compliance is reputational risk. This refers to the
potential for negative public perception due to regulatory contraventions (Valsamakis et al., 2010).
The public release of the SARB’s findings and sanctions can damage the bank's image and reduce
stakeholder confidence. Given that the violations concern areas related to financial crime prevention,
the reputational damage could be severe, potentially affecting customer loyalty, investor relations,
and market positioning.

Financial Loss
The direct imposition of financial penalties amounting to R56.25 million, with R10.5 million
conditionally suspended, represents a tangible financial loss for Capitec Bank. Beyond these
penalties, ongoing non-compliance could expose the bank to further financial liabilities through
additional fines, possible legal action, and the cost of implementing corrective measures.
Furthermore, failure to adequately detect and report suspicious transactions may expose the
institution to risks associated with money laundering or terrorist financing, which can have even
more severe financial consequences (Valsamakis et al., 2010).

Operational Risk and Internal Control Failures
The findings highlight critical weaknesses in Capitec Bank’s internal controls and operational
systems. Operational risk includes the risk of loss due to internal failures in processes, people, or
systems (Valsamakis et al., 2010). The issues raised—ranging from deficiencies in customer due
diligence to failures in handling automated transaction alerts—demonstrate a breakdown in the
bank’s compliance infrastructure. Inadequate implementation of the Risk Management and
Compliance Programme (RMCP) and insufficient attention to high-risk clients further underscore the
need for significant improvements in the bank’s internal risk management systems.

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