Professionally drafted banking & finance policies — editable Word templates for banks, deposit-taking institutions and finance companies. Documents overseen by a real former bank CEO

Policy shopAML / CTF & Financial Crime

AML / CTF & Financial Crime GLOBAL Policy

AML/CFT Policy

A professionally drafted AML/CFT Policy for banks, deposit-taking institutions and finance companies, covering anti-money-laundering and counter-terrorist-financing obligations. Global edition — written to international standards (Basel Committee, FATF, ISO, COSO, NIST and FSB) and deliberately jurisdiction-neutral, with bracketed prompts marking the points where your local law or regulator's requirements must be inserted. Supplied as a fully editable Microsoft Word document, de-identified and ready to adapt to your organisation. Typical owner: Chief Compliance Officer / AML/CTF Compliance Officer; approval: Board of Directors.

Typical ownerChief Compliance Officer / AML/CTF Compliance Officer
Typical approvalBoard of Directors
Length~8,312 words (approx. 21 pages)
Last reviewedJuly 2026 — verify currency for your circumstances before use
FormatMicrosoft Word (.docx), fully editable
DeliveryInstant download after purchase; re-download any time from your account
LicenceSingle-organisation licence
GuaranteeMaterially defective or misdescribed? We'll resupply, replace or refund within 30 days — see Terms

Preview the first 6 pages (PDF) See the real cover, document control page and opening sections before you buy.

What's inside

  • Contents
  • 1. Purpose
  • 2. Scope
  • 3. Definitions
  • 4. Regulatory Framework
  • 5. Policy Statement and Principles
  • 6. Governance and the AML/CFT Program
  • 7. ML/TF/PF Risk Assessment
  • 8. Customer Due Diligence
  • 9. Ongoing Customer Due Diligence and Transaction Monitoring
  • 10. Reporting to the FIU and Tipping-Off
  • 11. Employee Due Diligence
  • 12. Record Keeping
  • 13. Independent Testing and Evaluation
  • 14. Roles and Responsibilities
  • 15. Reporting and Escalation
  • 16. Breaches of this Policy
  • 17. Training and Awareness
  • 18. Review of this Policy
  • Appendix A: FIU and Regulatory Reporting Obligations — Summary
  • Appendix B: Enhanced Due Diligence Triggers and Minimum Measures
  • Policy Administration
Please note: this is a template prepared in good faith, not legal or compliance advice. Your organisation must review, tailor and approve it before use. Full disclaimer.

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