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Tranche 2 AML Compliance
– Complete Guide

What is Tranche 2 AML?

Tranche 2 refers to the expansion of Australia’s Anti-Money Laundering and Counter-Terrorism Financing (AML/CTF) regime to new industries that have historically not been regulated under AUSTRAC. These industries are often described as gatekeepers because of their role in facilitating high-value transactions and access to the financial system.

Under Tranche 2 reforms, businesses such as real estate agents, law firms, accountants and trust and company service providers will be required to implement formal AML/CTF compliance programs and meet ongoing regulatory obligations for the first time.

Why Australia is expanding AML/CTF obligations

Australia has faced sustained international pressure to close long recognised gaps in its AML framework, particularly in sectors linked to property, legal structures and professional services. These gaps have been identified as material money-laundering vulnerabilities by both domestic and international bodies.

The Tranche 2 reforms align Australia with comparable regimes in the UK, EU, New Zealand and Canada, strengthening financial system integrity while increasing regulatory expectations for businesses that facilitate complex or high risk transactions.

Which industries are captured under Tranche 2

Tranche 2 applies to designated non-financial businesses and professions (DNFBPs), including real estate agents, lawyers, accountants, conveyancers, trust and company service providers, and certain high-value dealers. Coverage depends on the specific services provided, not just the industry label.

If a business provides services such as buying or selling property, managing client funds, forming companies or trusts, or advising on transactions, it is likely to fall within scope and should assess its obligations early.

AML News

Check if your business will be regulated
Find out whether your business is likely to be covered by the expanded AML/CTF laws by answering a few questions about the services you offer by clicking here.

New industries and services to be regulated

From 1 July 2026, anti-money laundering and counter-terrorism financing (AML/CTF) obligations will apply to certain services typically provided by the following businesses, known as tranche 2 entities:  real estate professionals, conveyancers
dealers in precious metals, stones and products, lawyers
accountants, trust and company service providers.  Read more...

About the Reforms

Australia is making changes to close the gaps that contribute to an environment where organised crime and professional money laundering organisations can inflict harm to individuals, businesses and communities. Find out more...

Key AML obligations under Tranche 2

Businesses captured under Tranche 2 will be required to enroll with AUSTRAC, conduct a formal money laundering and terrorism financing risk assessment and implement an AML/CTF Program tailored to their operations. This includes documented policies, procedures and governance controls.

Ongoing obligations include customer due diligence (KYC), source of funds and source of wealth checks, ongoing monitoring, staff training, record-keeping and reporting of suspicious matters to AUSTRAC.

How Tranche 2 affects real estate agents

Real estate agencies will face new AML obligations across property sales, purchases and related services. This includes verifying client identities, assessing ML/TF risk and conducting source of funds checks on buyers and, in some cases, sellers.

Agencies will also need systems and processes to support ongoing due diligence and regulatory reporting, creating operational and resourcing challenges for businesses not previously subject to AML regulation.

How Tranche 2 affects law firms

Law firms providing services such as conveyancing, trust or company formation, or managing client funds will need to implement AML controls while carefully managing professional obligations. Client onboarding, risk assessment and ongoing monitoring will become mandatory for in-scope matters.

Balancing AML compliance with client confidentiality, privilege considerations and billable work requires well designed processes and experienced AML support.

How Tranche 2 affects accounting firms

Accounting practices offering services beyond basic tax compliance, including business structuring, financial management, or transactional support, may fall within Tranche 2 requirements. These firms will need to adopt formal KYC, risk rating and ongoing monitoring processes.

For many accounting firms, Tranche 2 represents a shift from informal checks to auditable, regulator-ready AML frameworks that must integrate smoothly with existing client workflows.

Tranche 2 timelines and enforcement

The Tranche 2 AML/CTF reforms are scheduled to commence in stages:
 
31 March 2026 - Enrolment opens for Tranche 2 entities.
1 July 2026 - AML Obligations commence for Tranche 2 entities.
 
AUSTRAC has indicated that businesses should prepare well in advance, as enrolment, program development and operational readiness take time.

Once in force, AUSTRAC will have full supervisory and enforcement powers, including audits, remediation directions and civil penalties for non-compliance.

How businesses can prepare now

Early preparation is critical. Businesses should start by determining whether their services are captured, conducting a preliminary risk assessment and identifying gaps against future AML obligations. Waiting until enforcement dates approach significantly increases compliance risk.

Preparing early allows businesses to spread cost, train staff properly and implement scalable systems rather than rushed, reactive solutions.

Outsourcing AML compliance under Tranche 2

For many newly regulated businesses, outsourcing AML compliance is the most efficient and cost-effective approach. Outsourced models provide access to experienced AML professionals, proven frameworks and compliant technology without the need to build in-house teams.

Agentic AML provides tailored Tranche 2 AML compliance solutions for Australian businesses, helping clients meet AUSTRAC expectations with minimal disruption to day-to-day operations.

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