Out-of-Cycle AML/CTF Review Trigger Checker

Quickly assess if your business needs an out-of-cycle AML/CTF independent review based on recent changes or events.

Has your business experienced any significant operational or risk profile changes recently?

Have you identified any compliance failures or control breakdowns in your AML/CTF program?

Have you received adverse findings from a previous review or increased scrutiny from AUSTRAC?

⚠️ Out-of-Cycle Review Likely Required

Your responses indicate that a material change, compliance failure, or regulator engagement has occurred. Under Section 82 of the Anti-Money Laundering and Counter-Terrorism Financing Act 2006 (Cth) and Rules 8.6.2, 8.6.5, and 9.6.2 of the Anti-Money Laundering and Counter-Terrorism Financing Rules Instrument 2007 (No. 1) (Cth), you are likely required to conduct an out-of-cycle independent review to ensure your AML/CTF program remains effective and compliant. Immediate legal advice is recommended to assess your obligations and next steps.

📌 Section 82 of the Anti-Money Laundering and Counter-Terrorism Financing Act 2006 (Cth)

📌 Rule 8.6.2 of the Anti-Money Laundering and Counter-Terrorism Financing Rules Instrument 2007 (No. 1) (Cth)

📌 Rule 9.6.2 of the Anti-Money Laundering and Counter-Terrorism Financing Rules Instrument 2007 (No. 1) (Cth)

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✅ No Immediate Out-of-Cycle Review Triggered

Based on your answers, there is no immediate trigger for an out-of-cycle independent review. However, under Rule 8.6.2 of the Anti-Money Laundering and Counter-Terrorism Financing Rules Instrument 2007 (No. 1) (Cth), you must continue to monitor for any material changes or compliance issues. Regular reviews remain a legal obligation, and ongoing vigilance is essential.

📌 Rule 8.6.2 of the Anti-Money Laundering and Counter-Terrorism Financing Rules Instrument 2007 (No. 1) (Cth)

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