VIDEO: SAR Timelines for Continuing Activity

In this Compliance Clip (video), Adam explores a key BSA/AML question that many financial institutions face: how to handle the timeline when suspicious activity continues after an initial SAR filing. Drawing on longstanding guidance and more recent clarification, Adam walks through how institutions should think about timing and the practical challenges that can arise. If you've ever wondered how the continuing activity timeline actually works in practice, this quick overview will point you in the right direction. A transcript of this video is now available.

On March 16, 2026, the ABA Banking Journal reported that a federal judge had ruled that the Trump administration must continue funding the Consumer Financial Protection Bureau. U.S. District Judge Edward Davila's ruling represents another strike against President Donald Trump's handling of Consumer Financial Protection Bureau (CFPB) funding, which he has argued should be eliminated.

On March 13, 2026, President Donald Trump issued an Executive Order outlining a broad policy shift aimed at reducing regulatory burden in the U.S. mortgage market, with a particular emphasis on community banks and smaller financial institutions. The E.O. directs federal agencies to reassess existing mortgage-related regulations and supervisory practices to improve credit access, enhance market competition, and modernize operational frameworks, while maintaining core consumer protection principles.

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