LU

  • CESOP Reporting in Luxembourg: The Quarterly PSP Filing to the AED

    CESOP reporting in Luxembourg is triggered when, in a calendar quarter, a PSP provides payment services corresponding to more than 25 cross-border payments to the same payee. The count is calculated separately for payment services provided per Member State and per Article 243c(2) payee identifier; where the PSP knows that several identifiers belong to the…

  • CSSF Prudential Reporting for PIs, EMIs and CASPs: The Move to eDesk

    From 1 April 2027, a Luxembourg payment institution or electronic money institution still using the current Excel-based reporting process, or a crypto-asset service provider authorised under Article 63 of MiCAR, must submit the reports covered by the new CSSF prudential reporting framework through eDesk; the previous reporting process for those reports will be discontinued. On…

  • DORA for Third-Country Branches in Luxembourg: Circular CSSF 26/915

    On 27 August 2026 the CSSF issued Circular CSSF 26/915, applicable with immediate effect, to bring specified third-country branches into the CSSF circular framework for DORA. For Luxembourg purposes, the governing scope is the branch perimeter set out in Circular CSSF 26/915 and in each amended circular; the change is not a blanket head-office-only test…

  • CSSF Fund Notification Forms: Filing Under Circular 25/894

    On 25 August 2026 the CSSF refreshed the CSSF fund notification forms that Luxembourg investment fund managers use to tell the regulator which non-authorised funds they run. The initial and update templates for UCITS and for AIFs, in both a with-compartments and a without-compartments version, now carry a 25 August 2026 revision date on the…

  • goAML Luxembourg: The CRF Reporting Workflow Explained

    goAML is Luxembourg’s electronic channel for suspicious-operation reporting and communication with the CRF; for lawyers, the platform integrates the Article 7 Bâtonnier filter before qualifying reports are forwarded to the CRF. In 2024 the CRF received significantly more suspicious reports than the prior year, according to its 2024 annual report. That same report covers the…

  • Luxembourg AML Law: CRF Fraud Alerts for Banks and CASPs

    On 4 August 2026, Luxembourg published the Law of 22 July 2026 in MĂ©morial A No 412. It is a short instrument, two substantive articles, and it adds a power the Luxembourg AML law had not carried before: it lets the Cellule de renseignement financier (CRF), the country’s financial intelligence unit, push fraud-risk account numbers…

  • MONEYVAL Bulgaria AML Follow-Up: The Correspondent Banking Read

    On 17 June 2026, MONEYVAL published its third enhanced follow-up report on Bulgaria, and the headline is clear: Bulgaria is now rated compliant or largely compliant on all 40 FATF Recommendations, and no further reporting is required under MONEYVAL’s fifth-round evaluation. For anyone who runs country-risk models or approves correspondent relationships, the MONEYVAL Bulgaria AML…

  • AIFMD II Passport Notifications: New CSSF Templates From 31 July

    From 31 July 2026, a Luxembourg UCITS management company or authorised AIFM that notifies a cross-border management activity has to use a new set of forms. On 30 July 2026 the CSSF published updated notification-letter templates and confirmed that the earlier versions stop being valid the next day. The same cut-off applies to the eDesk…

  • FATF Public-Private Partnerships: Sharing AML Data at Scale

    On 8 July 2026 the Financial Action Task Force published a global stocktake of public-private partnerships for fighting illicit finance, and the message to reporting teams is blunt: the data that would expose a laundering network usually sits in fragments across separate banks, payment firms and law enforcement files, and criminals move faster than any…