On 1 July 2026, AUSTRAC's Tranche 2 reforms brought real estate professionals, lawyers, conveyancers, accountants, dealers in precious metals and stones, and trust and company service providers under Australia's AML/CTF Act for the first time. AUSTRAC's regulated population grew from roughly 19,000 to roughly 100,000 entities overnight. Newly regulated businesses must enrol with AUSTRAC, stand up an AML/CTF program, and use the new Threshold Transaction Report (TTR) and Suspicious Matter Report (SMR) forms released the same day.
What Is AUSTRAC Tranche 2?
AUSTRAC Tranche 2 is the second stage of Australia's long-planned expansion of anti-money laundering and counter-terrorism financing (AML/CTF) regulation. Where the original AML/CTF Act 2006 focused on banks, remittance providers, casinos, and bullion dealers, Tranche 2 extends the same obligations to a set of professions that routinely handle high-value transactions but had never been formally regulated for money laundering risk.
The reform took effect on 1 July 2026, following two rounds of public consultation that drew 229 industry submissions.
Who Is Newly Regulated Under Tranche 2?
The following sectors now provide "designated services" under the AML/CTF Act and must comply with the same core obligations as banks and financial institutions:
- Real estate professionals — agents and agencies involved in the sale of real property
- Lawyers and conveyancers — when providing services related to property or business transactions, trust and company structures, or the management of client money
- Accountants — when providing services such as company or trust formation, or managing client funds
- Dealers in precious metals and precious stones — for transactions above the relevant reporting threshold
- Trust and company service providers (TCSPs) — providers of company formation, nominee director, and trustee services
Not every service your business offers is automatically a "designated service." AUSTRAC's obligations attach to specific activities, not to your business as a whole. The first step is mapping which of your services actually trigger AML/CTF obligations before building your program around them.
Key Dates You Need to Know
| Date | What Happened |
|---|---|
| 31 March 2026 | AML/CTF (2025 Rules) Amendment Rules 2026 took effect, including the new opt-out Reporting Group model and Proliferation Financing as a formal third risk category. AUSTRAC also opened enrolment for Tranche 2 entities. |
| 1 July 2026 | Tranche 2 obligations commenced. New TTR and SMR forms released. |
| 29 July 2026 | Enrolment deadline for newly regulated entities. |
| 30 March 2029 | End of the transitional window for pre-existing reporting entities to move to the new TTR/SMR forms. |
There are no changes to cross-border movement reporting or international funds transfer instruction (IFTI) reporting under Tranche 2.
What Newly Regulated Businesses Must Do
Confirm whether you provide a designated service. Review your services against AUSTRAC's designated services list. Obligations attach to specific activities, not to your business as a whole.
Enrol with AUSTRAC. New entities were required to enrol by 29 July 2026. If you have not yet enrolled, this is the most urgent step.
Appoint and designate an AML/CTF compliance officer. This person is your point of accountability to AUSTRAC.
Build an AML/CTF program. This includes a risk assessment, customer due diligence procedures, and ongoing transaction monitoring.
Prepare to file using the new TTR and SMR forms. These are mandatory for newly regulated entities from day one.
Determine your Reporting Group status. If you operate as part of a corporate group, understand the opt-out model introduced under the March 2026 Rules.
Frequently Asked Questions
What is AUSTRAC Tranche 2?
Who does AUSTRAC Tranche 2 apply to?
When did AUSTRAC Tranche 2 come into effect?
Do I need to use new AUSTRAC reporting forms?
What happens if my business does not comply?
What is a Reporting Group under the new Rules?
How many businesses does AUSTRAC now regulate?
Built to Meet Tranche 2 From Day One
Sentinel gives newly regulated businesses a guided path through AML/CTF program setup, customer due diligence, and AUSTRAC reporting, backed by 30 years of regulatory technology experience at Truth Technologies.
Official Sources
This article reflects information published by AUSTRAC as of 24 September 2026. AML/CTF regulations and AUSTRAC guidance are subject to change, and this article is not updated retroactively. This content is provided for general informational purposes only and does not constitute legal, compliance, or regulatory advice. Businesses should confirm their specific obligations directly with AUSTRAC or a qualified legal or compliance professional before taking action.