Identifier
Created
Classification
Origin
06ABUDHABI440
2006-02-08 13:00:00
CONFIDENTIAL
Embassy Abu Dhabi
Cable title:  

U/S LEVEY DISCUSSES DUBAI CHARITY REGULATIONS, DIFC

Tags:  PTER KTFN AE 
pdf how-to read a cable
VZCZCXRO9874
PP RUEHDE
DE RUEHAD #0440/01 0391300
ZNY CCCCC ZZH
P 081300Z FEB 06
FM AMEMBASSY ABU DHABI
TO RUEHC/SECSTATE WASHDC PRIORITY 3480
INFO RUEHZM/GULF COOPERATION COUNCIL COLLECTIVE
RHEHNSC/NSC WASHDC
RUEATRS/DEPT OF TREASURY WASHDC
RUCNFB/FBI WASHINGTON DC
RUEAIIA/CIA WASHDC
C O N F I D E N T I A L SECTION 01 OF 03 ABU DHABI 000440 

SIPDIS

SIPDIS

STATE FOR EB (A/S WAYNE),EB/ESC/TFS (JSALOOM),NEA/ARPI
(RSMYTH)
TREASURY FOR U/S LEVEY, PHEFFERNAN, RLEBENSON
FBI FOR FWAIKART, MMOREHART, JHERRING
CIA FOR CTC/FINO

E.O. 12958: DECL: 08/13/2015
TAGS: PTER KTFN AE
SUBJECT: U/S LEVEY DISCUSSES DUBAI CHARITY REGULATIONS, DIFC

REF: A. ABU DHABI 409

B. 05 ABU DHABI 2741

Classified By: AMBASSADOR MICHELE J. SISON FOR REASONS 1.4 B & D.

C O N F I D E N T I A L SECTION 01 OF 03 ABU DHABI 000440

SIPDIS

SIPDIS

STATE FOR EB (A/S WAYNE),EB/ESC/TFS (JSALOOM),NEA/ARPI
(RSMYTH)
TREASURY FOR U/S LEVEY, PHEFFERNAN, RLEBENSON
FBI FOR FWAIKART, MMOREHART, JHERRING
CIA FOR CTC/FINO

E.O. 12958: DECL: 08/13/2015
TAGS: PTER KTFN AE
SUBJECT: U/S LEVEY DISCUSSES DUBAI CHARITY REGULATIONS, DIFC

REF: A. ABU DHABI 409

B. 05 ABU DHABI 2741

Classified By: AMBASSADOR MICHELE J. SISON FOR REASONS 1.4 B & D.


1. (C) Summary. During Undersecretary Stuart Levey's trip to
the UAE, Levey and his delegation met with the Dubai
Department of Islamic Affairs and Charitable Organizations
(DDIA) to discuss charity oversight in Dubai. DDIA explained
that charities can be licensed to operate in an individual
emirate without receiving a license from the federal Ministry
of Labor and Social Affairs. The DDIA officials also
explained that they work with Dubai's security services to
vet employees and board members of charities in Dubai. They
explained that they are most concerned about ensuring that
Dubai-based charities' international contributions do not go
to illegitimate purposes, and they indicated that it is
possible for charities to transfer funds abroad without going
through one of the three "government approved charities" as
long as the charities secure the permission of the DDIA. U/S
Levey also met with officials from the Dubai Financial
Services Authority to discuss the regulation of the Dubai
International Financial Center. Noting that the reputation
of the DIFC is vulnerable to what happens in the UAE banking
system, DFSA officials stressed their desire to cooperate
with the United States and international financial
institutions. The JTFCC meeting is reported in Ref A. End
summary.

Dubai Charity Regulator - What It Does, What It Doesn't Do
-------------- --------------


2. (SBU) On January 25, U/S Levey and his delegation met with
Chairman of the Dubai Department of Islamic Affairs and
Charitable Organizations (DDIA),Hamad Al Shibani, and Deputy
Director General Sami al Gargash to discuss the way charities
in Dubai are regulated. In addition to the Treasury
Delegation, FBI TFOS Chief Michael Morehart and FBI Special
Advisor to the NSC Frank Waikurt, were in attendance.


3. (C) The DDIA licenses, audits, and develops charities in
Dubai. Currently, there are 10 charities licensed by DDIA,

and they must renew their licenses annually. Al Gargash
noted that one of the 10 charities is the combined Dubai Aid
City/Dubai Humanitarian City, and he explained that DDIA is
in the process of determining how to monitor the charities
operating in Dubai's charity free zone. He explained that,
since international charities operate in the free zones,
there is no easy way to regulate their activities. "We worry
about where the money goes, but we do not know how to address
it yet."


4. (C) Al Gargash provided an overview of the intersection
between UAE federal law governing charitable organizations
and emirate-level laws. He said that Federal Law #6 of 1974
governs all NGOs, but each emirate can create its own laws
for local charities. Charities established and licensed by
the individual emirate do not fall under the guidelines of
the federal law. Only charities licensed by the MLSA fall
under the requirements of the federal law (ref B). A charity
licensed federally by the UAE Ministry of Labor and Social
Affairs (MLSA) must also get a license from the DDIA in order
to operate in the emirate of Dubai. Likewise, a charity
licensed by DDIA must have an MLSA license to operate in any
emirate outside of Dubai. Al Gargash also said that social
organizations (for example, an NGO for the handicapped) are
licensed by the Ministry of Labor. He said that if they want
to raise money in Dubai, then they must first get a license
from DDIA for that specific fundraising activity.


5. (C) Al Gargash noted that DDIA's main concern is working
to be sure that charities, activities abroad are legitimate.
He explained that the UAEG's oft-touted requirement that
charities funnel international donations through one of three
government approved charities is not strictly applied. He
said that DDIA asks charities to tell them which charities
they are working with abroad but that as long as they consult
with DDIA in advance, Dubai charities may work (and send
money) internationally. Al Gargash was open that monitoring a
charity's books cannot ensure that funds are not committed to
illegitimate causes, and as such, DDIA relies on the security
services to help confirm the legitimacy of a given foreign
charity. He also said that the SSO checks the names of all

ABU DHABI 00000440 002 OF 003


charity employees and board members to be sure that none have
objectionable connections. In the last 3 years, the security
services have reported only 1 case to the DDIA of
objectionable activity. Al Gargash said that the charities
provide the DDIA with minutes from the board meetings and
reports that document how the charity's money is disbursed.
The Dubai Ruler's Office conducts an annual audit of each of
the charities and submits the report to the DDIA.
Additionally, charities must renew their licenses annually.


6. (C) In response to a question from U/S Levey about Islamic
Law, Al Gargash said that it is perfectly acceptable for the
DDIA to know the identity of the donor (even if the recipient
does not know). Al Gargash also said that the DDIA is
working with Dubai e-Government to create a database that
will electronically track all charitable programs and
donations in Dubai. In addition to serving as an oversight
and auditing tool for DDIA, charities will have the ability
to search the database to see if a donor has contributed to
other charities.


7. (C) Al Gargash and Al Shibhani were very responsive to the
questions and comments of U/S Levey's team, and they
indicated they would be more than willing to check the OFAC
list of designated individuals and entities when charities
contribute to international charities. OFAC Attache Jason
Beal will provide the DDIA with a copy of the OFAC list. U/S
Levey also passed Al Gargash a Treasury document on voluntary
best practices for U.S.-based charities.

Dubai Financial Services Authority - DIFC's Regulator
-------------- --------------


8. (C) U/S Levey and the Treasury team met with
representatives from the Dubai Financial Services Authority
(DFSA),which regulates the Dubai International Financial
Center (DIFC) (Dubai's Financial Free Zone). In attendance
were Nial Coburn, Director of Enforcement, Jane Coakley,
Managing Director of Authorization, Marc Hambach, Associate
Director of Supervision, and Joyce Maykut, General Council.
DFSA officials stressed their desire to cooperate with the
United States and international financial institutions, and
they explained that the DFSA has provided information to the
UK's Financial Services Authority and the U.S. Department of
Homeland Security.


9. (SBU) Hambach gave a background of the DFSA's regulatory
regime, as it relates to AML/CTF procedures for the 14 firms
that are presently authorized to operate in the DIFC. With
respect to federal law, all UAE criminal laws apply to the
DIFC, but it is exempt from commercial and civil UAE law.
Hambach stated that the DFSA examined the FATF's Special
Recommendations, the Patriot Act, and other international
regulatory frameworks to select the best guidelines for the
DFSA's AML/CTF compliance regime. In response to Policy
Advisor Rachel Lebenson's question about how DFSA interprets
the applicability of the FATF recommendations in its free
zone, Hambach said he would be more than willing to consult
with the U.S. Department of Treasury as to how the
recommendations fit into the environment of the DIFC.


10. (C) Clients must have $1 million liquid assets in order
to operate in the DIFC. Coburn reported that only one firm
in the DIFC has filed a suspicious transaction report (STR)
with the UAE's Anti Money Laundering and Suspicious Cases
Unit (AMLSCU). Out of concern that only one STR had been
filed, he said that the DFSA recently conducted an STR review
to be sure that the firms were appropriately applying the
AML/CFT procedures. As a part of this review, the DFSA
provided additional AML education to the firms. Hambach
noted that if DFSA comes across suspicious activity, it can
ask the firm to file an STR. If the firm does not comply,
DFSA has the authority to file it themselves. He told the
delegation that firms submit the STRs to the AMLSU, and that
they are required to copy the DFSA. Coburn also stressed
that if DFSA discovers that an account is being investigated,
the DFSA would notify the Central Bank that it intends to
freeze the account. Under its law, the DFSA has the
authority to freeze accounts as long as the investigation is
underway, or as long as the judge authorizes the freeze.


11. (C) The DFSA regulators are aware that the reputation of
the DIFC is vulnerable to any problems in the UAE banking

ABU DHABI 00000440 003 OF 003


system. The DFSA representatives reported their concern that
the Emiratis conducting AML/CFT investigations simply do not
have the requisite skill sets to carry out their duties,
which was a matter, ultimately, of political will. "We face
reputational risks, because if money laundering occurs across
the street at the Bank of Dubai, no one internationally will
know the difference between them and DIFC." For this reason,
the DFSA believes it is in their interest that the UAE
authorities (including the Central Bank) do all they can to
protect the UAE's system against money laundering and terror
finance. In this vein, the DFSA wanted to participate in the
MENA/FATF, but Hambach said that UAE Central Bank prevented
them from doing so. Coburn observed that fixing the problems
will require instructions coming from the top. "The
leadership needs to give the authority for interagency
cooperation." U/S Levey suggested that the DFSA use its
channels within the government to raise its concerns about
the importance of the UAE,s AML reputation.
SISON