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CTP test Format | CTP Course Contents | CTP Course Outline | CTP test Syllabus | CTP test Objectives
General Information
� The Certified Treasury Professional (CTP)
Credential
� The CTP Examination
� Eligibility Requirements
Exam Format
� Test Development
� Job Analysis
� Test Specifications
� Body of Knowledge
� The test
� 2020-2022 CTP Test Specifications:
Knowledge Domains and Task Statements
Exam Locations/Dates/Fees
� Exam Center Locations
� 2020 CTP Examination Testing Windows
and Deadlines
� 2020 New Applicant Fees
� Other Fees
� Cancellation Policy
� Deferrals / Special Circumstances
Taking the CTP test
� Submitting Your Application
� Authorization�To�Test (ATT)
� Scheduling Your Examination Appointment
� Testing Time
� Requesting Special Testing Accommodations
� Making Changes
� test
Results
CTP Study Resources
� Essentials of Treasury Management�, Sixth Edition
� CTP test
Prep Platform
� CTP Examination Preparation Guide
� CTP test
Study Network
� Complimentary Webinars
� CTP test
Review Course
� Regional AFP/TMA Organizations
Maintaining Your CTP Credential
� CTP Recertification and Reporting Continuing
Education (CE) Credits
� Approved CE Activities
� Activities Not Approved for CE Credits
Each question on the CTP test
is referenced to the content of Essentials of Treasury Management�, Sixth Edition, the Body of
Knowledge (BOK) for the CTP exam. The computer-based test
includes 170 multiple-choice questions and is built according to
the CTP Test Specifications on page 5 of this handbook. Test development for the CTP test
is based on psychometrically
validated procedures. Pearson VUE and AFP ensure the CTP test
is valid, reliable and legally defensible.
Domain 1
Maintain corporate liquidity required to meet current and future obligations in a timely and cost effective manner
A. Manage optimal cash positioning through short-term investing and borrowing activities
B. Forecast/manage cash receipts and disbursements [cash flows]
C. Leverage cash concentration/pooling structures
D. Manage foreign exchange (FX) exposure
E. Manage trade financing (including letters of credit)
F. Manage intercompany financing (including loans, repatriation, in-house banking)
G. Review cash balances and reconcile transaction activity to ensure accuracy
H. Optimize treasury operations (including considerations for roles/responsibilities and outsourcing options)
I. Calculate, analyze, and evaluate financial ratios to optimize financial decision making
Domain 2
Manage capital structure, manage costs of long-term capital, and quantitatively evaluate long-term capital resource investments
A. Negotiate and manage syndicated agreements
B. Manage investment portfolio
C. Issue debt and equity
D. Manage revolving debt agreements
E. Assess impact of mergers, acquisitions, and divestitures
F. Evaluate current market conditions (including credit availability, spreads, interest rates, terms, risk) as they relate to long-term borrowing strategies
Domain 3
Manage internal and external relationships
A. Build, maintain, and review relationships with external financial service providers
B. Evaluate and implement treasury products and services (including banking products, treasury workstations)
C. Administer bank accounts (including bank fee analysis) and maintain documentation
D. Identify, negotiate, and select relationships and operational agreements with external service providers (including financial, technological, and investment/retirement advisors) to ensure best practices and competitive pricing
E. Serve as an internal trusted advisor and consultant (including Project Finance)
F. Manage merchant services programs (including fees, risk, controls, card security compliance, retention requirements)
G. Build and maintain relationships with internal stakeholders (including accounting, IT, legal, and tax departments) H. Market Effects on Working Capital
Domain 4
Monitor and control corporate exposure to financial, regulatory, and operational risk (including emerging and reputational risk)
A. Comply with treasury policies and procedures (such as investment, FX, risk management, hedging, credit approval)
B. Draft treasury policies and procedures for approval (such as investment, FX, risk management, hedging, credit approval)
C. Detect and mitigate fraud (such as payments, bank transactions, internal, external)
D. Benchmark performance against external sources to ensure best practices (including banking fees comparative analysis)
E. Evaluate and manage counterparty risk (including risk related to supply chain, banks, brokers, dealers)
F. Develop, maintain, and test business continuity plans (including bank balance reporting process, funds transfer capabilities)
G. Hedge FX, interest rate, and commodities exposure
H. Ensure regulatory compliance, and report internally and externally on compliance
Domain 5
Assess impact of technologies on the treasury function
A. Leverage technology systems (including enterprise resource planning (ERP) systems and treasury management systems)
B. Identify security issues and concerns associated with new and existing technology
C. Identify cyber-related risks
D. Monitor information security risk and cyber-related risk (including e-mail scams, phishing scams)
33�37% of the questions test knowledge of basic facts and terms.
38�42% of the questions test an understanding of concepts and principles.
23�27% of the questions test the higher thinking ability to apply concepts and principles to a specific situation.
10�15% of the questions will require mathematical computations.
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AFP PDF Questions
AFP has issued the U.S. with ninety eight telco records requests considering 2014 | CTP PDF Dumps and test dumps
The Australian Federal Police (AFP) has offered a submission to the Parliamentary Joint Committee on Intelligence and safety (PJCIS) for its evaluation of the nation's pending Telecommunications legislation modification (foreign construction Orders) invoice 2020 (IPO bill) after failing to achieve this when the committee referred to as for submissions past this 12 months.
The overview has been in the hunt for to check even if the IPO bill, as drafted, is fit for aim and as it should be considers considerations, corresponding to human rights, in granting access to communications information held remote places, chiefly in the u.s..
The IPO invoice is supposed to amend the Telecommunications (Interception and entry) Act 1979 (TIA Act) to create a framework for Australian agencies to profit entry to saved telecommunications facts from foreign particular communique suppliers in nations that have an contract with Australia, and vice versa.
The bill is a precondition for Australia to attain a proposed bilateral agreement with the USA as a way to put in force the US Clarifying Lawful distant places Use of information Act (the CLOUD Act).
In performing before the PJCIS previous this month, the AFP printed it had served US telecommunications carriers with 44 requests for records in 2019 to aid investigations.
It offered testimony that a complete of 209 requests had been made in the past five years below the present mutual assistant request (MAR) procedure.
In its submission [PDF], serving also as a response to questions taken on observe throughout the hearing, AFP extra unique its MAR historical past, revealing that from 1 July 2014 via 30 June 2019, 98 of its MARs had exceptionally sought communications information from US-primarily based communications service suppliers (CSPs).
Of those ninety eight, 91 sought each content material internet information and non-content information superhighway information, akin to subscriber assistance and site visitors facts. Six MARs sought non-content material cyber web statistics most effective and one MAR sought subscriber data concerning cellphone information.
"whereas the classification of assistance sought beneath an MAR isn't categorized within the same way because the IPO bill (ie interception, kept communications data, or telecommunications facts) the above MARs can be categorised below the IPO regime as either 'kept communications records' or 'telecommunications statistics'," AFP wrote. "None of these requests related to interception."
Of the ninety eight MARs, 29 had been involving drug offenses, 26 to terrorism offenses, 24 to infant intercourse offending, eleven to funds laundering, four to foreign bribery, three to human trafficking, and one became described as a "latitude of serious, unspecified offenses".
One MAR may also consist of dissimilar offence types and a single MAR might also additionally are seeking statistics held with the aid of diverse CSPs.
Echoing remarks made through others performing before the committee, deputy commissioner Karl Kent of specialist and aid Operations at the AFP mentioned the current MAR method can once in a while trigger superb delays to investigations.
"To entry counsel beyond their borders, they are heavily reliant on their Mutual Assistant Request scheme which was brought in 1987 when the web turned into, of direction, in its infancy," Kent told the PJCIS.
He also spoke of the nature of the existing MAR system has actively discouraged its use and that he expected the powers granted beneath the IPO bill would be used extra commonly via evaluation.
"We wouldn't be equipped to provide an exact quantity on how many events it might be utilised … if they seem to be on the latest procedure there are forty four requests made in 2019, so they would expect a major enhance -- I think it be orders of magnitude superior than 44 and it might probably enhance over time because the familiarity of the procedure and their investigators strengthened," he referred to at the time.
The AFP used its submission to detail case stories the place the MAR procedure become used. It also highlighted where the IPO bill powers would be enhanced equipped in helping investigations.
The AFP referred to it at the moment investigating an Australian particular person who developed, advertised, and bought malware, certainly a far flung entry trojan (RAT), using a site and related capabilities.
"while corresponding to reliable RAT software used by using ICT helpdesks to service far off purchasers, the RAT differed in that it contained non-reliable elements akin to covert deployment, covert webcam operation and keylogging," the AFP explained.
"The AFP first approached the Australian valuable Authority to make an MAR during this rely in November 2018. As at April 2020, the request continues to be ongoing and no material has been got to this point."
The AFP noted it was suggested the international issuer would now not deliver email content until it could reveal that the particular emails it sought have been at once involving the offence.
"This in impact required the AFP to reap the facts it required from the international provider, earlier than they could meet the evidentiary threshold for that assistance to be launched pursuant to an MAR," the AFP wrote.
"The telecommunication business thinking will only preserve records for 360 days before that information is destroyed. beneath present MAR preparations this may be insufficient time for the information to be secured."
For this selected investigation, the AFP observed it changed into confident there have been "within your means grounds to suspect" that the united states provider had content imperative to the whole spectrum of the alleged culprit's behavior. It defined that if it had been able to reap an IPO from an Australian issuing authority, it could have allowed for requests to the Australian relevant Authority and then without delay to the international service issuer "much more rapidly", so that vital content records can be supplied to extra the investigation with "much less time for the chance of the individual relocating infrastructure to obstruct legislations enforcement efforts".
The AFP delivered that the skill to achieve evidence faster would additionally permit it to arrest alleged offenders and make sure foreign evidence required for prosecution is obtainable in time for the AFP to post briefs to court.
below the latest domestic framework, an approved officer of the AFP can entry telecommunications statistics below the Interception and entry Act, but to achieve an IPO for telecommunications facts under the scheme in the IPO invoice, the AFP would need to get approval from an issuing authority.
When requested previous this month if it became arbitrary that there became an impartial assess for the IPO applications however none for when AFP sought access to records held in Australia, Kent stated it turned into a condition outlined by way of the us.
"it is my figuring out it is a US requirement this is driving the want for that level of authorisation in order for them to be at ease with the undeniable fact that an order could be supplied at once to their communications suppliers," he observed.
greater ON THE IPO invoice
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