SRO membership
The affiliation whose ongoing AML obligations the retained function then carries.
SRO membershipA licence is granted once; staying in good standing is continuous work. For licensed and SRO-affiliated firms too small to justify a full internal compliance department, we run that work as a retained function: the risk analysis and policies, KYC, transaction monitoring, the AML-officer role, and the annual SRO or Supervisory-Organisation audit, handled month to month. Outsourcing transfers the work, not the firm’s responsibility, so we structure the retainer to genuinely operate, not sit as a name on a form.
Policies, monitoring, KYC and the annual audit, run month to month, so the licence stays in good standing.
It is the ongoing regulatory work of a licensed or AML-affiliated firm, run for it on a retainer: the risk analysis and policies, KYC and onboarding, transaction monitoring, the AML-officer role, and preparation for the periodic SRO or Supervisory-Organisation audit. The authorisation is granted once; good standing is continuous. Outsourcing transfers the work, never the firm’s ultimate responsibility, so the function has to genuinely operate.
It continues directly from an asset-manager licence or SRO membership, runs the conduct regime behind FinSA registration, and shares the discipline of our AML practice.
An external function is not right for every firm. The choice turns on size, activity and the depth of the obligation, and we are honest about when an internal hire is the better answer.
We say when an internal hire fits better: the point is coverage that works, not selling a retainer.
A clean handover into a continuous function, with no period where the obligations are unowned. Per-step timings are indicative.
Understanding the firm’s activity, risk and supervisory status, reviewing the existing framework, and fixing the retainer scope in writing.
Taking over the policies, monitoring and files, closing any gaps, and establishing the AML-officer authority and reporting lines.
KYC, transaction monitoring and alerts, suspicious-activity reporting, regulatory-change tracking, and reporting to management.
Keeping the firm audit-ready, preparing the audit file, engaging the SRO or Supervisory-Organisation auditor, and addressing findings.
Maintaining the framework as the firm and the rules evolve, so the licence stays in good standing year after year.
A defined monthly or annual fee against an agreed scope and activity profile, so compliance is a predictable cost rather than the expense and uncertainty of building a department. The level reflects the firm’s activity, transaction volumes and supervisory status: a high-volume payment business carries more monitoring than a small portfolio manager. The real comparison is not retainer-versus-nothing but retainer-versus-internal-hire, and for many firms the retained function is both cheaper and more capable.
We quote the retainer in writing against your specific profile. Official SRO, Supervisory-Organisation and FINMA fees are separate.
Ask for a retainer quoteA retained function that genuinely protects the firm rests on:
The dangerous misunderstanding is that appointing an external compliance function makes compliance someone else’s problem. It does not: the firm’s board and management keep the ultimate legal responsibility, and a retainer that is merely a name on a form, with no real monitoring, no engaged management, no evidence, leaves the firm exposed despite the cost, and is what an auditor or supervisor sees through. A real retained function has genuine authority, performs the work, evidences it, and keeps management informed enough to discharge their duty. We structure it that way deliberately, because a compliance function that only looks like one is worse than useless: it is a false sense of security.
The value is a compliance function that genuinely operates and keeps the licence in good standing, continuing without a break from the authorisation we built, or taken over cleanly. That is the part we have done since 2014.
IFLR1000, a leading international directory of financial and corporate practices, has recognised us for a decade for banking, finance and regulatory work.
For firms we licensed, the function runs from go-live exactly as the application promised the supervisor: the approved set-up is the one that operates.
We structure the retainer so the work is genuinely performed and evidenced, and management can demonstrate its responsibility is met, not a form filled in.
The affiliation whose ongoing AML obligations the retained function then carries.
SRO membershipThe licence the retained function continues from, running the compliance set-up from go-live.
Asset manager licenceThe wider anti-money-laundering practice this retained function draws on.
AML & complianceDescribe your situation in a line or two. A partner replies within one business day, in English, German, French, Spanish or Italian. The first conversation is free and carries no obligation.