.Role purposeThe LAM/MX Manager Compliance Fraud Risk is a Second line of defense (LOD) function, responsible for reviewing and challenging the activities of the Group's businesses (also referred to as "the First LOD") to ensure that they effectively manage as "Risk Owners" the Regulatory and Financial Crime Compliance risks inherent in or arising from the conduct of their activities and for which they are responsible. The Second LOD consists of 'Risk Stewards' who are independent of the commercial risk-taking activities undertaken by the First LOD. LAM/MX Manager Compliance Fraud Risk is a Risk Steward for a number of Fraud non-financial risks in accordance with HSBC Group's risk framework.The LAM/MX Manager Compliance Fraud Risk supports the LAM Compliance Fraud Head, who is the senior accountable executive responsible for ensuring that HSBC's operations in LAM/MX are effective in identifying, managing and mitigating Financial Crime Fraud risks and ensure timely advice is provided to the business.Main activitiesResponsible for Training and communications definition and delivery within the region. Support Internal Fraud Risk and Insider Threat Mandatory Training.Lead engagement with Global Business (GB)/ Global Functions (GF) stakeholders in the region to ensure adequate staff risk controls are in place and operating effectively.Oversight of metrics related to Internal Fraud Risk and Insider Threat. Lead Engagement with GB/GB to develop new and high quality MI data flows related to Internal Fraud Risk, Insider Threat and Vetting.Engages with GB/GF to research, identify and assess existing Staff Risk controls and areas of vulnerability, and to propose new regional and Group controls.Engagement with local Legal, Compliance teams and Regulators to ensure that Internal Fraud risk controls are compliant with local regulations and laws.Assist regional stakeholders in the interpretation of Internal Fraud Risk policies and procedures and how best to embed them into their operational structure.Overseeing implementation of Financial Crime (FC) policy related to Internal Fraud Risk in the region.Ensure issues and risks are escalated promptly and appropriately.Advise and challenge the relevant GFs and GBs in relation to manage of risk and controls related to Internal Fraud Risk.Keeping abreast of industry and regulatory developments globally with regards to Internal Fraud Risk.Fraud Risk Oversight – Maintain regional oversight of the implementation of FC policy related to Fraud Risk, challenge stakeholders who are not achieving minimum requirements.Insider threat Guidance – provide subject matter advice, policy and control guidance and counsel to regional stakeholders on Staff Risk.Vetting authorizations and approvals - The Global Head of Employee Vetting delegates approval of vetting related issues where there is no direct policy or appetite implications to the appropriate regional vetting leads