Compliance does not end at onboarding. Trigger events, periodic reviews and re screening move your firm from point in time checks to continuous compliance.
Onboarding tells you who a customer is today. Ongoing monitoring tells you whether that picture still holds, and that is where most real risk surfaces.
The AML/CTF regime requires ongoing customer due diligence (OCDD), not just initial CDD. That means keeping customer information up to date, monitoring transactions and behaviour, and applying additional scrutiny where the risk warrants it, throughout the relationship.
A transaction monitoring program is designed to identify activity that is unusual, complex or inconsistent with what you know about the customer. The point is not to flag everything, but to surface the genuinely anomalous for human review.
Certain events should prompt a review regardless of schedule:
Use the customer’s risk rating to drive how often you formally review them, higher risk customers more frequently, lower risk customers less so. Each review should refresh identification information, re confirm the rating, and document the outcome.
Treat monitoring alerts as cases with a defined lifecycle: open, investigate, review, escalate, resolve. Where activity gives rise to a relevant suspicion, the matter should be escalated and, if required, a suspicious matter report lodged with AUSTRAC within the applicable timeframe.
See how ClearTrace operationalises AML/CTF compliance for Australian reporting entities, from onboarding to audit ready records.
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