Directive (EU) 2024/1640

  • The EU AML Package: The Countdown to 10 July 2027

    On 17 September 2026 the Czech Financial Analytical Office (Finanční analytický úřad, or FAÚ) opened a guidance series for the firms it supervises, titled the AML package step by step. Its first instalment is narrow and practical: which legal texts will govern anti-money-laundering and counter-terrorist-financing work from 10 July 2027. That date is the pivot…

  • AMLA Risk Assessment Data Collection: The 2027 Selection Exercise

    From 2028, the Authority for Anti-Money Laundering and Countering the Financing of Terrorism (AMLA) is due to directly supervise a first group of up to 40 credit and financial institutions or groups across the EU; under Article 13(4) of Regulation (EU) 2024/1620, direct supervision starts six months after AMLA publishes the selected-entity list. The exercise…

  • AMLA Central Contact Point Survey: The 15 September Deadline for PSPs

    On 6 August 2026 the Authority for Anti-Money Laundering and Countering the Financing of Terrorism (AMLA) opened a voluntary survey asking electronic money institutions (EMIs) and payment service providers (PSPs) about their experience with the central contact point framework, and the window closes on 15 September 2026. The CSSF relayed the exercise to the Luxembourg…

  • CSSF de-risking communique: managing ML/FT risk instead of avoiding it, what Luxembourg-regulated firms must address in their AML/CFT frameworks

    A relationship manager flags a client as awkward. The country profile is messy, the ownership chain runs through two jurisdictions, and the file would take real work to keep current. The easy answer is to exit. Close the account, decline the onboarding, and the risk number on the dashboard goes down. The CSSF communique of…