Content reviewed and verified by Graham Chee, with FCPA-led practice at Local Knowledge, Mascot NSW. Continuous CPA Australia member since 1986. Prior career at Goldman Sachs, BNP Investment Management and Merrill Lynch.. Last reviewed July 2026. Next review scheduled for October 2026.
Essential information and practical guidance for managing Anti-Money Laundering and Counter-Terrorism Financing in your business
Why AML and CTF matter more than ever for your Australian business
This analysis on AML and CTF compliance for Australian businesses in 2026 is written by Graham Chee, GRCP, GRCA, FCPA — Fellow of CPA Australia since November 2005, continuous CPA member since 1986, and principal of Local Knowledge. Australian businesses face evolving regulatory landscapes. Anti-Money Laundering (AML) and Counter-Terrorism Financing (CTF) compliance is a critical area. In 2026, significant changes are anticipated. Understanding these obligations is vital for legal operation. It protects your business from financial crime risks. This article provides a clear overview. It focuses on practical steps for business owners.
Essential points business owners should understand for 2026
AUSTRAC Registration and Reporting: Many businesses must register with AUSTRAC. They must also submit regular compliance reports. This includes annual reports and transaction reports.
Customer Due Diligence (CDD): You must verify your customers' identities. This means collecting and checking their identification documents. It also involves understanding their business activities. This helps assess money laundering risks.
Record Keeping: Detailed records of customer identification must be kept. Transaction records are also essential. These records support compliance audits. They must be easily retrievable.
Suspicious Matter Reporting (SMR): You must report any suspicious transactions to AUSTRAC. This includes activities that seem unusual. It helps combat financial crime. There are strict timelines for these reports.
Tranche 2 Expansion: This is a major upcoming change. It will bring new professions into the AML/CTF framework. Accountants, real estate agents, and lawyers are likely included. This expands the compliance net significantly.
Applying AML/CTF principles in real-world Australian business scenarios
For businesses already under AUSTRAC's scope, strengthening existing programs is key. This means regularly reviewing your compliance plan. Ensure your staff are well-trained. For businesses newly impacted by Tranche 2, preparation is paramount. Start by assessing if your services will fall under the new rules. This principal-led practice since 2003 understands these complexities. We guide businesses through the compliance maze. For example, a conveyancer will need to verify both buyer and seller identities. They must also report any large or unusual cash transactions. An accountant offering corporate services will need robust CDD processes. They must understand the beneficial ownership of client companies. This requires more than just collecting basic details. It demands a deeper understanding of the client's financial profile. Our FCPA sign-off on every file ensures a high standard of review. Adhering to the CPA Code of Ethics is fundamental to our approach.
Key actions Australian businesses should consider for 2026
Determine if your business is currently or will be covered by AML/CTF laws, especially considering Tranche 2. Understand your specific risks.
Create a robust AML/CTF program. This includes policies, procedures, and controls. Ensure it covers CDD, record keeping, and SMR processes.
Train your staff on their compliance responsibilities. Implement systems to manage customer data and transaction monitoring effectively.
Continuously monitor your compliance program's effectiveness. Conduct regular reviews and update your procedures as regulations change or new risks emerge.
Addressing your concerns about AML and CTF compliance
Tranche 2 refers to the planned expansion of AML/CTF laws. It will extend obligations to new sectors like real estate, accounting, and legal services. If your business falls into these categories, you will need to comply with AUSTRAC regulations.
If your business provides designated services under the AML/CTF Act, you typically need to register. This includes financial services, gambling services, and potentially new sectors under Tranche 2. We can help you determine your obligations.
CDD involves identifying and verifying your customers. This means collecting names, addresses, dates of birth, and checking identification documents. For businesses, it includes understanding company structures and beneficial owners. It's about knowing who you are doing business with.
Non-compliance can lead to significant penalties. These include large fines and even imprisonment in serious cases. It can also cause reputational damage to your business. Adherence is crucial.
Begin by assessing your current services and potential exposure to AML/CTF risks. Then, seek expert advice to develop a tailored compliance strategy. A robust plan is essential for navigating these complex rules.

Principal and Founder, Local Knowledge
Graham Chee is the principal and founder of Local Knowledge, an FCPA-led Australian practice that brings institutional-grade compliance, investment-structure and intellectual-property experience directly to owner-managed businesses. Graham is a Fellow of CPA Australia (FCPA since November 2005, continuous CPA member since 1986) and holds the OCEG Governance, Risk & Compliance Professional (GRCP) and Governance, Risk & Compliance Auditor (GRCA) designations. His prior career includes senior roles at Goldman Sachs, BNP Investment Management and Merrill Lynch. Graham was previously portfolio manager of the Asian Masters Fund (IPO December 2007 – 31 December 2009), which returned +29% in AUD terms versus the MSCI Asia Pacific (ex Japan) benchmark. He signs off on 100% of client files personally.
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Graham Chee FCPA, CPA, GRCP, GRCA · Principal, Local Knowledge · Mascot NSW · CPA-signed files