Forced Fraud: The Financial Exploitation of Human Trafficking Victims †
Abstract
1. Overview
2. Definitions and Concepts
2.1. Identity Theft
2.2. Money Mule Activity
3. Methodology
4. Forced Fraud Schemes
5. A Victimological Approach to Restorative: Financial Justice
6. A Potential Framework for Restorative Financial Justice for Human Trafficking Victims
6.1. A Hybridized Approach
6.2. Recommended Tools and Resources
6.3. Financial Redress and Credit Repair/Protection
6.4. Targeted Policy Recommendations
- 1.
- Tailored Expungement Protocols for Survivors of Forced FraudPolicy Action—Implement Expungement Mechanisms for Coerced Criminal Acts including advocacy for federal and state legislation to provide automatic expungement or vacatur of convictions resulting from financial crimes committed under coercive trafficking conditions.Rationale—Survivors of trafficking are frequently prosecuted for crimes they were compelled to commit under duress. A criminal record tied to such coercion creates long-term barriers to housing, employment, education, and stability. Vacatur laws offer an essential pathway for recognizing victimization and restoring basic rights (International Women’s Human Rights Clinic (IWHRC) 2014; Polaris Project 2023; Sex Workers Project 2012). Expanding these laws and standardizing their implementation ensures survivors are not punished for their exploitation. This must include circumstances where a survivor’s name, identifiers, or other personally identifiable information was used to access financial instruments or products of any kind. This must also include instances of first-party fraud in the survivor’s name, as well as forced “authorized payment” fraud, where the survivor is forced to use their financial services to facilitate illicit activity at the instruction of their exploiters (Toh 2024).
- 2.
- Victimological Regulatory GuidancePolicy Action—Advance a victimological approach within refreshed regulatory guidance, typology updates, and industry advisories. This highlights financial indicators of coercion and trafficking-linked forced fraud. Encourage the development of pathways that support survivor-centric detection, investigation, and reporting practices.Rationale—The financial behavior associated with human trafficking often mirrors patterns seen in the financial exploitation of the elderly, particularly in cases involving authorized party fraud. In both contexts, transactions may appear self-initiated, authorized, or even complicit while, in reality, the transactions are driven by exploitation and predation (Financial Crimes Enforcement Network (FinCEN) 2020). A victim-centered framework would enable institutions to better document fraud and financial activity completed under duress or without the victim-survivor’s knowledge or consent. FinCEN’s 2021 SAR instructions affirm that victims are not to be reported as SAR subjects, reinforcing the importance of survivor-protective compliance approaches. Incorporating this lens into updated guidance and training can enable earlier identification of trafficking-linked abuse and reduce the risk of revictimizing those coerced into financial systems (Financial Crimes Enforcement Network (FinCEN) 2021).
- 3.
- Survivor-Focused Financial Recovery and LiteracyPolicy Recommendation—Explore the development and funding of survivor-specific financial recovery programs, inclusive of credit repair and financial profile restoration, financial literacy, and relief from debt developed through exploitation and forced fraud.Rationale—Survivors of forced fraud face long-term harm to their credit, identity, and financial standing (Zimmerman and Kiss 2017; Baird 2019). Traffickers may use victims’ personal information to take out loans, open fraudulent accounts, or incur debt in their names, leaving survivors with damaged credit and limited access to employment or housing. Without tailored financial recovery mechanisms, survivors remain entangled in the aftermath of their exploitation, having been viewed as perpetrator/subjects as opposed to victims of fraud and illicit activity. Programs should be trauma-informed, easily accessible, and connected to wraparound services to enable full reintegration. Models like those recommended by Polaris, the U.S. Committee for Refugees and Immigrants, and the Thomson Reuters Institute demonstrate potentially scalable pathways for banking access, debt relief, and credit rebuilding (U.S. Committee for Refugees and Immigrants (USCRI) 2023; Polaris 2018; Thomson Reuters Institute 2023).
- 4.
- Trauma-Informed Communication and EducationPolicy Recommendation—Mandate trauma-informed training and protocols across all stakeholder systems that interact with trafficking survivors such as courts, law enforcement, financial institutions, and service providers.Rationale—Drawing on the circumstances of survivors of human trafficking in general, survivors of forced fraud are likely frequently misidentified as offenders and retraumatized by punitive legal and bureaucratic systems (U.S. Department of Health and Human Services 2007). Trauma-informed models create a pathway to justice, dignity, and long-term healing by recognizing victim status and adapting support accordingly (National Survivor Network 2016).
- 5.
- Integrate Forced Criminality into Survivor Identification ProtocolsPolicy Action—Update survivor screening tools and law enforcement protocols to include red flags for forced fraud, scam participation, and digital fraud (U.S. Department of State 2023).Rationale—Victims engaged in scam centers or money mule schemes are often excluded from recognition as trafficking survivors. Incorporating these indicators into identification tools will improve detection of forced fraud and ensure more victims are routed to services rather than punished (INTERPOL 2023).
- 6.
- Revise Definitions of Trafficking in National and International LawPolicy Action—Expand statutory and international definitions of trafficking (e.g., Palermo Protocol, federal law) to explicitly include financial crimes and forced criminality under coercion (Piper et al. 2015).Rationale—Current legal definitions prioritize sex and labor trafficking, which is justifiable considering the gravity of the effects of those circumstances on survivors. However, this can also often exclude survivors trafficked into scams, bank fraud, or cyber-enabled financial crimes. This exclusion results in survivors being denied protections and resources. Legal reforms should recognize coercive control and exploitative criminality as being integral to modern trafficking (Van der Watt and Kruger 2017).
- 7.
- Expand Legal Standing for Trafficked Individuals to Challenge Debt and ContractsPolicy Action—Encourage the passage of legislation allowing survivors to void or challenge contracts, financial obligations, and loans incurred under threat, fraud, or coercion, including those executed digitally or under false pretenses (Center for Survivor Agency and Justice (CSAJ) 2022).Rationale—Survivors should not remain liable for obligations tied to their exploitation. Legal tools for contesting coerced agreements will help restore agency and economic justice (Canadian Centre to End Human Trafficking 2023).
7. Conclusions
Funding
Institutional Review Board Statement
Informed Consent Statement
Data Availability Statement
Conflicts of Interest
1 | Note—where applicable, the designation of “victim” may be used to refer to a person currently in or under conditions of human trafficking and/or modern slavery. Where applicable, this term will be replaced with the more appropriate designation of “survivor”, which reiterates the importance of understanding the victimological approach to human trafficking and/or modern slavery. Many instances of this pattern of abuse share commonalities, but no two circumstances, victims’, or survivors’ experiences are or should be treated as the same. “The words “victim” and “survivor” of human trafficking can be used interchangeably. It is preferable to use “victim” to refer to someone currently in a human trafficking situation… [or] used when referencing rights or resources that a victim is legally mandated to receive”. “The term survivor is used to refer to someone who was once in a human trafficking situation but is no longer being trafficked. Popular media, TV, or movies often depict trafficking victims or survivors only as being helpless and weak. However, these same survivors show great strength and the ability to survive in extremely dangerous and traumatic situations” (Polaris 2023; Survive and Thrive Advocacy Center n.d.; National Human Trafficking Training and Technical Assistance Center n.d.). |
2 | “‘Modern slavery’ is an umbrella term covering various forms of coercion into labour situations. This includes such crimes as human trafficking for forced labour, forced commercial sexual exploitation, and indentured labour. A typical typology of modern slavery involves a lack of consent, with victims unable to refuse or leave because of threats, violence, coercion, deception and/or abuse of power” (Mekong Club n.d.). |
3 | See 18 U.S.C § 1028, et. seq. |
4 | “In a task scam, scammers ask you to do simple, repetitive tasks, such as liking videos or rating product images online. The supposed “job” is to complete tasks in an app or online platform for which you’ll “earn money” from a “commission” on each click. But those promises are fake: there aren’t any commissions and nobody but the scammers make any money” (Kreidler 2024; Bungo et al. 2023). |
5 | The CFPB’s advisory refers to commonly leveraged utilities like automated suspicious monitoring, manual escalations, and training for potential EFE reporters, the framework of the calls for a tone of compassion and understanding. Specifically, the 2016 advisory makes reference to extending filing deadlines for elder customers to file claims, amending fraud claim decisioning to accommodate potentially diminished capacity, and claims that would otherwise be dismissed due to consumer negligence (e.g., writing a PIN on a debit card, etc.) (Consumer Financial Protection Bureau (CFPB) 2019). |
6 | “Economic reintegration should not be viewed separately from social integration. Service provision within economic and social integration frameworks needs to be interlinked and translated into streamlined service provision. Service provision should, furthermore, be survivor-oriented. Increased capacity building of all service provider professionals should be strengthened, with all relevant professionals made aware of the importance of survivor-centered service provision and the importance of the advisory cycle for planning service provision” (Davy 2022; UNOHCHR 2000). |
7 | (United Nations 2006) Victims of human trafficking may be facing deportation before they have had a chance to establish that they are victims of trafficking. In many countries, apart from criminal proceedings against offenders, there are often no formal judicial or administrative proceedings in which a person’s status as a “victim of trafficking” can be determined. A victim’s deportation may compromise the future success of a criminal prosecution. Furthermore, article 25, paragraph 3 of the Organized Crime Convention and article 6, paragraph 2 (b) of the Trafficking in Persons Protocol both require that States parties ensure that victims are able to present their views and concerns at appropriate stages of proceedings against an offender. This may necessitate the deferral of deportation until that stage has been reached. |
8 | “The Consumer Financial Protection Bureau (CFPB) is amending Regulation V, which implements the Fair Credit Reporting Act (FCRA), to address recent legislation that assists consumers who are victims of trafficking. This final rule establishes a method for a victim of trafficking to submit documentation to consumer reporting agencies, including information identifying any adverse item of information about the consumer that resulted from certain types of human trafficking, and prohibits the consumer reporting agencies from furnishing a consumer report containing the adverse item(s) of information. The Bureau is taking this action as mandated by the National Defense Authorization Act for Fiscal Year 2022 to assist consumers who are victims of trafficking in building or rebuilding financial stability and personal independence” (Consumer Financial Protection Bureau (CFPB) 2024). |
9 | Legal aid is understood to include “legal advice, assistance and representation for persons detained, arrested or imprisoned, suspected or accused of, or charged with a criminal offence and for victims and witnesses in the criminal justice process that is provided at no cost for those without sufficient means or when the interests of justice so require” and includes legal education, access to legal information and other services provided for persons through alternative dispute resolution mechanisms and restorative justice processes (United Nations Office on Drugs and Crime (UNODC) 2015). |
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Schidlow, M. Forced Fraud: The Financial Exploitation of Human Trafficking Victims. Soc. Sci. 2025, 14, 398. https://doi.org/10.3390/socsci14070398
Schidlow M. Forced Fraud: The Financial Exploitation of Human Trafficking Victims. Social Sciences. 2025; 14(7):398. https://doi.org/10.3390/socsci14070398
Chicago/Turabian StyleSchidlow, Michael. 2025. "Forced Fraud: The Financial Exploitation of Human Trafficking Victims" Social Sciences 14, no. 7: 398. https://doi.org/10.3390/socsci14070398
APA StyleSchidlow, M. (2025). Forced Fraud: The Financial Exploitation of Human Trafficking Victims. Social Sciences, 14(7), 398. https://doi.org/10.3390/socsci14070398