International
Asia Pacific
EMEA
North America
Latin America
Last week, the government sought to reinforce its commitment to curbing money laundering in the UK by introducing the Economic Crime and Corporate Transparency Bill. The draft bill represents a substantial overhaul to Companies House, which, if implemented, will affect how all companies, partnerships and limited partnerships are established. It is the second piece of legislation targeting economic crime following the Economic Crime (Transparency and Enforcement) Act 2022 (ECA), which was introduced in March this year.
The ECA was enacted on 15 March 2022 to address the use of corporate structures in the UK to commit economic crimes. In particular, the legislation aims to deter international criminals from using companies and property investments in the UK as a vehicle for money laundering. It primarily focuses on two areas of economic crime prevention:
The proposed legislation intends to complement the ECA. The bill represents the most substantial reforms to Companies House since its inception by granting the registrar wide-reaching investigative and enforcement powers. The reforms aim to make Companies House a more effective overseer of companies and registered entities.
Companies House is a significant gatekeeper for new and existing companies, and it has arguably been a missing piece in law enforcement's bid to grapple with economic crime. The proposed legislation could transform Companies House from an information depository into an agency capable of monitoring and identifying economic crime at a much earlier stage. Critics have expressed disappointment that the bill does not seek to amend the law in respect of corporate criminal liability, by introducing a "failure to prevent" offence for fraud and money laundering, but the bill does reinforce the government's commitment to eradicate money laundering and protect the UK economy.
Now is a good time to take stock and reflect on how any measures under the ECA and the proposed bill might affect your business and how best to safeguard UK-based investments. Early considerations might include:
Related content: United Kingdom: Economic Crime (Transparency and Enforcement) Act 2022 - Real estate implications for overseas entities
Copyright © 2024 Baker & McKenzie. All rights reserved. Ownership: This documentation and content (Content) is a proprietary resource owned exclusively by Baker McKenzie (meaning Baker & McKenzie International and its member firms). The Content is protected under international copyright conventions. Use of this Content does not of itself create a contractual relationship, nor any attorney/client relationship, between Baker McKenzie and any person. Non-reliance and exclusion: All Content is for informational purposes only and may not reflect the most current legal and regulatory developments. All summaries of the laws, regulations and practice are subject to change. The Content is not offered as legal or professional advice for any specific matter. It is not intended to be a substitute for reference to (and compliance with) the detailed provisions of applicable laws, rules, regulations or forms. Legal advice should always be sought before taking any action or refraining from taking any action based on any Content. Baker McKenzie and the editors and the contributing authors do not guarantee the accuracy of the Content and expressly disclaim any and all liability to any person in respect of the consequences of anything done or permitted to be done or omitted to be done wholly or partly in reliance upon the whole or any part of the Content. The Content may contain links to external websites and external websites may link to the Content. Baker McKenzie is not responsible for the content or operation of any such external sites and disclaims all liability, howsoever occurring, in respect of the content or operation of any such external websites. Attorney Advertising: This Content may qualify as “Attorney Advertising” requiring notice in some jurisdictions. To the extent that this Content may qualify as Attorney Advertising, PRIOR RESULTS DO NOT GUARANTEE A SIMILAR OUTCOME. Reproduction: Reproduction of reasonable portions of the Content is permitted provided that (i) such reproductions are made available free of charge and for non-commercial purposes, (ii) such reproductions are properly attributed to Baker McKenzie, (iii) the portion of the Content being reproduced is not altered or made available in a manner that modifies the Content or presents the Content being reproduced in a false light and (iv) notice is made to the disclaimers included on the Content. The permission to re-copy does not allow for incorporation of any substantial portion of the Content in any work or publication, whether in hard copy, electronic or any other form or for commercial purposes.
Are you sure want to delete comment ?
Scan this QR Code to share this content