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AFM update on AML compliance by fund managers

By Floortje Nagelkerke (NL) & Julia van der Grint on September 17, 2026
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On 15 September 2026, the Dutch Authority for the Financial Markets (Autoriteit Financiële Markten, the AFM) published a news update on the compliance of investment fund managers with the Dutch Act on the prevention of money laundering and terrorism financing (Wet ter voorkoming van witwassen en financieren van terrorisme, Wwft) and the Dutch Sanctions Act 1977 (Sanctiewet 1977,Sw).

The AFM notes that compliance with anti-money laundering (AML) and sanctions requirements has improved in recent years. However, managers operating under the light registration regime continue to lag behind fully licensed managers, particularly in relation to risk assessments and policies.

The AFM identifies several areas of attention:

  • Light managers: The number of light managers has increased significantly in recent years and, according to the AFM, these firms are often less familiar with AML and sanctions requirements. The AFM therefore calls on these firms to review their compliance framework and risk management arrangements.
  • Transaction profiles: Only 66% of managers establish a transaction profile for clients at the start of the business relationship, despite its importance for transaction monitoring.
  • FIU registration: Only 55% of managers are registered with FIU-Nederland, which is a prerequisite for reporting unusual transactions under the Wwft.
  • Training: The AFM reports that only around 45% of daily policymakers have completed Wwft training in the past two years and approximately 40% have received sanctions-related training.

The AFM also highlights the importance of preparing for the new EU AML framework, including the Anti-Money Laundering Regulation, which will apply from 10 July 2027.

The news update is available here.

Photo of Floortje Nagelkerke (NL) Floortje Nagelkerke (NL)
Read more about Floortje Nagelkerke (NL)Email
Photo of Julia van der Grint Julia van der Grint

Julia van der Grint is a financial services lawyer based in Amsterdam.

She advises clients on a wide range of regulatory and compliance aspects relevant to financial institutions, such as investment firms, trading platforms, payment institutions, insurers, fund managers and clearing and settlement…

Julia van der Grint is a financial services lawyer based in Amsterdam.

She advises clients on a wide range of regulatory and compliance aspects relevant to financial institutions, such as investment firms, trading platforms, payment institutions, insurers, fund managers and clearing and settlement institutions. Julia has developed particular knowledge of blockchain and cryptocurrencies, and advises crypto-asset services providers, crypto exchanges, payments providers and financial institutions on the regulatory issues related to the deployment of these technologies. She also advises on Dutch licence application and notification requirements and assists companies in their licence or notification processes with the Dutch Authority for Financial Markets and the Dutch Central Bank. Additionally, she assists companies in their contacts with these supervisory authorities and represents companies in enforcement procedures.

In addition, she has previously advised banks, other financial institutions and corporates in an array of transactions, both domestic and cross-border. This includes, among others, advising lenders and lender-groups in corporate restructurings and other insolvency related matters.

Prior to joining the team as an associate, Julia gained experience with the Amsterdam office as a student worker.

Read more about Julia van der GrintEmail
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  • Posted in:
    Banking, Finance and Securities, Corporate Governance and Compliance
  • Blog:
    Global Regulation Tomorrow
  • Organization:
    Norton Rose Fulbright
  • Article: View Original Source

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