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Conveyancing AML Workflow

CDD · Source of Funds · Risk Rating · Decision Records

A structured AML workflow for conveyancing solicitors — covering client due diligence, source of funds assessment, property risk rating and a compliant MLRO decision record.

Access AML Workflow Learn More
Property Specific Guidance
LSAG 2023 Aligned
Audit-Ready Output
The Process

How the Workflow Runs

STEP 01

Matter Details

Enter transaction type, property details, purchase price, mortgage position and matter reference. Covers residential and commercial conveyancing.

STEP 02

Client & Funds Assessment

Structured CDD, identity verification, source of funds documentation and beneficial ownership tracing — with LÆdar AI-assisted sanctions and PEP screening.

STEP 03

AML Decision Record

A complete property-specific AML decision record aligned to LSAG 2023 and MLR 2017 — with risk rating, MLRO decision and documented rationale. Print or export as PDF.

Transaction Coverage

Every Property
Transaction Type

The workflow covers all property transaction types with specific AML guidance and source of funds assessment tailored to each scenario.

Platform Capabilities

Built for Conveyancing Solicitors

Property-Specific Guidance

AML guidance tailored to each property transaction type — residential purchases, remortgages, transfer of equity, new builds, commercial and auction purchases.

Source of Funds Engine

Structured source of funds assessment for mortgage, savings, sale proceeds, gifted deposits, inheritance and other fund sources — with documented plausibility analysis.

Live Data Lookups

Real-time Companies House search, sanctions screening via LÆdar, and property price benchmarking — integrated directly into the workflow.

Compliant File Notes

Produces an audit-ready AML file note aligned to LSAG 2023 and MLR 2017 — with risk rating, MLRO decision and full documented rationale. Print or export as PDF.

Ready to Run a Matter?

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Conveyancing AML Check

Property transaction due diligence — step by step

A structured AML workflow for conveyancing solicitors. Capture matter details, verify client identity, assess source of funds, and generate a compliant file note — all in one guided form.

MLR 2017 & SRA Guidance compliant Approx. 8–12 minutes No data stored — print or export only
1
Matter Details
2
Client Details
3
Source of Funds
4
Identity & Docs
5
Risk Assessment
6
Review & Sign-off
Step 1 of 6

Matter Details

Provide the core details of the property transaction. This information is used to calibrate the risk assessment throughout the remaining steps.

No data is transmitted or stored. All information remains in your browser. Use the print or export function at the final step to save the completed AML file note.

File & Fee Earner
Internal reference information for your records
Please enter a matter reference.
Please enter the fee earner name.
Please select the date the matter was opened.
Transaction Type
Select the nature of the property transaction
Please select a transaction type.
Property Details
Information about the property subject to the transaction
Please enter the property address.
Please enter the town or city.
Please enter the postcode.
Please select a property type.
Please select the tenure.
Please select an option.
Please select a client type.
Financial Details
Transaction values used in the risk assessment
£
Please enter the purchase or sale price.
£
£
Please select the number of clients.
Step 2 of 6

Client Details

Record identifying details for each client on this matter. Nationality, country of residence, and PEP status directly inform the risk rating at Step 5.

Cash Buyer — no mortgage on this transaction? If the purchase is funded entirely without a mortgage lender, select Yes. Cash buyers require heightened source of funds scrutiny as no lender AML checks apply.
No Yes

Cash buyer — elevated source of funds scrutiny required. No mortgage lender will conduct independent AML checks on this transaction. You must obtain, verify, and document satisfactory source of funds evidence before exchange. Refer to LSAG Guidance (2023) s.4.3 and your firm's cash buyer procedure.

1 Client 1
Please select the client's role.
Please select the client classification.
Please enter the first name.
Please enter the last name.
Please enter the date of birth.
Please select a nationality.
Please select the country of residence.

Non-UK resident client. Consider whether certified copies of identity documents are required and document your chosen verification approach. Ensure satisfactory proof of overseas address is obtained. Refer to SRA AML guidance on non-face-to-face customer due diligence.

FATF increased monitoring jurisdiction. The client's country of residence is currently on the FATF Grey List (subject to increased monitoring). Enhanced scrutiny is recommended. Document all additional checks undertaken and consider whether Enhanced Due Diligence is proportionate for this matter.

FATF High-Risk Jurisdiction — Call for Action. The client's country of residence is subject to the FATF call for action. Enhanced Due Diligence is mandatory under Reg. 33 MLR 2017. Carefully consider whether to accept or continue this instruction and document all enhanced scrutiny measures applied. Senior management sign-off is required.

Screening Status
Record PEP, sanctions and adverse media status at the time of your check
Please select a PEP status.
Please select an adverse media status.

PEP identified. Enhanced Due Diligence is mandatory under Reg. 35 MLR 2017. Senior management approval is required before establishing or continuing this business relationship. Source of wealth and source of funds must be documented with enhanced rigour, and the relationship must be subject to ongoing monitoring.

Adverse media or sanctions match identified. Document the nature and source of findings, assess their materiality and relevance to this matter, and determine whether Enhanced Due Diligence is required. Consider escalation to your MLRO before proceeding.

Company Intelligence Search — powered by LÆdar
Search if client is a company, trustee or has a corporate structure. Leave blank for individual clients.
Charity Commission Register
Search for charity or NPO clients. Leave blank for individual or company clients.
2 Client 2
Please select the client's role.
Please select the client classification.
Please enter the first name.
Please enter the last name.
Please enter the date of birth.
Please select a nationality.
Please select the country of residence.

Non-UK resident client. Consider whether certified copies of identity documents are required and document your verification approach. Ensure proof of overseas address is obtained.

FATF increased monitoring jurisdiction. The client's country of residence is on the FATF Grey List. Enhanced scrutiny is recommended. Document all additional checks undertaken.

FATF High-Risk Jurisdiction — Call for Action. Enhanced Due Diligence is mandatory under Reg. 33 MLR 2017. Document all enhanced scrutiny measures applied and obtain senior management sign-off before proceeding.

Screening Status
Record PEP, sanctions and adverse media status at the time of your check
Please select a PEP status.
Please select an adverse media status.

PEP identified. Enhanced Due Diligence is mandatory under Reg. 35 MLR 2017. Senior management approval required before proceeding. Document source of wealth with enhanced rigour.

Adverse media or sanctions match identified. Document findings, assess materiality, and consider whether EDD is required. Consider escalation to your MLRO before proceeding.

Company Intelligence Search — powered by LÆdar
Search if client is a company, trustee or has a corporate structure. Leave blank for individual clients.
Charity Commission Register
Search for charity or NPO clients.
3 Client 3
Please select the client's role.
Please select the client classification.
Please enter the first name.
Please enter the last name.
Please enter the date of birth.
Please select a nationality.
Please select the country of residence.

Non-UK resident client. Consider certified copies for identity documents and document your verification approach. Ensure proof of overseas address is obtained.

FATF increased monitoring jurisdiction. Country of residence is on the FATF Grey List. Enhanced scrutiny is recommended. Document all additional checks undertaken.

FATF High-Risk Jurisdiction — Call for Action. EDD is mandatory under Reg. 33 MLR 2017. Senior management sign-off required before proceeding.

Screening Status
Record PEP, sanctions and adverse media status at the time of your check
Please select a PEP status.
Please select an adverse media status.

PEP identified. EDD mandatory under Reg. 35 MLR 2017. Senior management approval required. Document source of wealth with enhanced rigour.

Adverse media or sanctions match identified. Document findings, assess materiality, and consider EDD. Consider escalation to your MLRO before proceeding.

Company Intelligence Search — powered by LÆdar
Search if client is a company, trustee or has a corporate structure. Leave blank for individual clients.
Charity Commission Register
Search for charity or NPO clients.
4 Client 4
Please select the client's role.
Please select the client classification.
Please enter the first name.
Please enter the last name.
Please enter the date of birth.
Please select a nationality.
Please select the country of residence.

Non-UK resident client. Consider certified copies for identity documents and document your verification approach. Ensure proof of overseas address is obtained.

FATF increased monitoring jurisdiction. Country of residence is on the FATF Grey List. Enhanced scrutiny is recommended. Document all additional checks undertaken.

FATF High-Risk Jurisdiction — Call for Action. EDD mandatory under Reg. 33 MLR 2017. Senior management sign-off required before proceeding.

Screening Status
Record PEP, sanctions and adverse media status at the time of your check
Please select a PEP status.
Please select an adverse media status.

PEP identified. EDD mandatory under Reg. 35 MLR 2017. Senior management approval required. Document source of wealth with enhanced rigour.

Adverse media or sanctions match identified. Document findings, assess materiality, and consider EDD. Consider escalation to your MLRO before proceeding.

Company Intelligence Search — powered by LÆdar
Search if client is a company, trustee or has a corporate structure. Leave blank for individual clients.
Charity Commission Register
Search for charity or NPO clients.

EDD required on this matter. One or more high-risk factors have been identified across your client(s). Enhanced Due Diligence must be fully documented before you proceed to exchange. Refer to your firm's EDD procedure and ensure senior management sign-off is obtained and recorded on the file.

Step 3 of 6

Source of Funds Assessment

Establish and document the origin of all funds used to complete this transaction. Every source must be identified, evidenced, and reconciled against the total funds required.

Funding Sources
Select every source contributing to this transaction — all that apply
Please select at least one source of funds.

Multiple funding sources identified. Complex funding structures require thorough, source-by-source documentation. Ensure all sources are individually evidenced and their combined amounts reconcile against the total funds required to complete.

Overseas mortgage lender. An overseas lender may not be subject to AML regulation equivalent to UK standards. Document the lender's jurisdiction and regulated status, and assess the level of AML scrutiny applied. Standard UK lender reliance provisions under Reg. 39 MLR 2017 do not apply.

Please provide a narrative description of the source of funds.
🎁 Gifted Deposit Details
Complete for each gift contributing to this transaction

Gifted deposit requirements (LSAG Guidance s.4.4 & UK Finance Lenders' Handbook). Obtain a signed gift letter confirming the gift is non-repayable. Verify the donor's identity unless already verified as a client. Establish and evidence the donor's own source of funds. Notify the mortgage lender of any gift contribution before exchange.

Please enter the donor's full name.
Please describe the donor's relationship to the client.
£
Please enter the gift amount.
Please describe the donor's source of these funds.
Please confirm whether the donor is UK-based.
Please confirm whether the gift is conditional.
Please select the gift letter status.
Please select the donor ID verification status.

Conditional or repayable gift — potential undisclosed loan. A conditional or repayable gift may constitute a loan that must be disclosed to the mortgage lender. Failure to disclose may give rise to a conflict of interest or a breach of the CML/UK Finance Lenders' Handbook. Consider whether you can continue to act for both buyer and lender. If doubt remains, report to your MLRO before proceeding.

Overseas-resident donor. Additional scrutiny is required. Verify the donor's identity using certified copies of documents, obtain overseas bank statements evidencing the gift amount, and establish the donor's source of wealth. Assess the donor's country of residence against FATF risk lists and apply enhanced scrutiny if the country appears on the grey or blacklist.

₿ Cryptocurrency / Digital Assets
Additional details required where funds originate from cryptocurrency

Cryptocurrency source — enhanced scrutiny required (LSAG Guidance s.4.7). Trace the complete chain from original acquisition through to fiat conversion. Obtain full exchange transaction histories, evidence of original acquisition (purchase records, mining income, or another verifiable origin), and confirm the exchange is regulated and applied its own AML/KYC checks. Peer-to-peer or untraced crypto is high risk and may require referral to your MLRO before proceeding.

£
🌍 Overseas Funds
Details of funds originating outside the United Kingdom

Overseas funds — additional documentation required. Obtain bank statements or transfer records from the originating institution, confirm the institution's name and jurisdiction, and document the origin of those funds within the overseas account. Risk is further calibrated by the country of origin below.

Please select the country of origin.
Please enter the originating institution.
£

Funds from a FATF increased monitoring jurisdiction. The country of origin is on the FATF Grey List. Enhanced scrutiny is recommended. Obtain comprehensive overseas bank statements and independent evidence of the original source within that jurisdiction, and document all steps taken.

Funds from a FATF high-risk jurisdiction — Call for Action. Accepting funds from this jurisdiction presents a very high AML risk. Enhanced Due Diligence is mandatory under Reg. 33 MLR 2017. Senior management approval is required before proceeding. Carefully consider whether accepting these funds is appropriate and document all measures applied in full.

Unexplained or Unusual Deposits
Assessed against bank statements reviewed — last 90 days
Please select an option.

Unexplained deposit(s) identified — do not proceed without resolution. A satisfactory explanation, supported by documentary evidence, must be obtained for each unexplained deposit before exchange. If a credible, evidenced explanation cannot be established, you must consider whether a Suspicious Activity Report (SAR) is required under s.330 POCA 2002 before continuing to act. Do not take any further steps that could constitute tipping off (s.333A POCA 2002).

Please describe the unexplained deposit(s).
Supporting Documentation Status
Record the status of evidence obtained for each relevant source
Bank statements — last 3 months All accounts contributing funds to this transaction
Evidence of sale proceeds Completion statement or solicitor confirmation from prior sale
Mortgage offer / decision in principle Formal offer from lender confirming amount advanced
Gift letter — signed by donor Confirming the gift is unconditional and non-repayable
Inheritance / probate documentation Grant of probate, estate accounts or solicitor confirmation
Investment / pension / settlement evidence Closing statements, redemption certificates, or award letters
Step 4 of 6

Identity & Documents

Record identity verification details and screening results for each client. The plausibility assessment engine below generates targeted review prompts based on the matter profile you have built in earlier steps.

1 Client 1
Identity Verification
Please select the ID document type.
Please enter the document expiry date.
Please select a verification method.

Reg. 39 Reliance — Written Agreement Required. You must obtain written confirmation that the third party is supervised under the MLRs, has applied the required CDD measures, and will provide CDD data promptly on request. Record the third party's name in the "Verified By" field below.

Please enter the verification date.
Please enter who verified the identity.
Proof of Address
Please select the proof of address document type.
Please enter the document date.
Please confirm address match status.

Address Discrepancy — Further Investigation Required. The address on the proof of address does not match the client's stated address. Obtain further documentary evidence to resolve the discrepancy and record your explanation before proceeding. Consider whether a CIFAS search is warranted.

Electronic Screening Results
Please enter the screening provider.
Please enter the screening date.
Please select the sanctions screening result.

Sanctions Match — Do Not Proceed. A confirmed or unresolved sanctions match requires immediate escalation to your MLRO. You must not proceed with this transaction. Providing services to a sanctioned party is a criminal offence. A SAR may be required under POCA 2002.

Please select the PEP screening result.

PEP / RCA Identified — Enhanced Due Diligence Required. Under Reg. 35 MLR 2017, PEPs and their relatives and close associates require EDD. Obtain senior management approval before establishing or continuing this business relationship and apply enhanced ongoing monitoring throughout the retainer.

Please select the adverse media result.
2 Client 2
Identity Verification
Please select the ID document type.
Please enter the document expiry date.
Please select a verification method.

Reg. 39 Reliance — Written Agreement Required. You must obtain written confirmation that the third party is supervised under the MLRs, has applied the required CDD measures, and will provide CDD data promptly on request. Record the third party's name in the "Verified By" field below.

Please enter the verification date.
Please enter who verified the identity.
Proof of Address
Please select the proof of address document type.
Please enter the document date.
Please confirm address match status.

Address Discrepancy — Further Investigation Required. The address on the proof of address does not match the client's stated address. Obtain further documentary evidence to resolve the discrepancy and record your explanation before proceeding. Consider whether a CIFAS search is warranted.

Electronic Screening Results
Please enter the screening provider.
Please enter the screening date.
Please select the sanctions screening result.

Sanctions Match — Do Not Proceed. A confirmed or unresolved sanctions match requires immediate escalation to your MLRO. You must not proceed with this transaction. Providing services to a sanctioned party is a criminal offence. A SAR may be required under POCA 2002.

Please select the PEP screening result.

PEP / RCA Identified — Enhanced Due Diligence Required. Under Reg. 35 MLR 2017, PEPs and their relatives and close associates require EDD. Obtain senior management approval before establishing or continuing this business relationship and apply enhanced ongoing monitoring throughout the retainer.

Please select the adverse media result.
3 Client 3
Identity Verification
Please select the ID document type.
Please enter the document expiry date.
Please select a verification method.

Reg. 39 Reliance — Written Agreement Required. You must obtain written confirmation that the third party is supervised under the MLRs, has applied the required CDD measures, and will provide CDD data promptly on request. Record the third party's name in the "Verified By" field below.

Please enter the verification date.
Please enter who verified the identity.
Proof of Address
Please select the proof of address document type.
Please enter the document date.
Please confirm address match status.

Address Discrepancy — Further Investigation Required. The address on the proof of address does not match the client's stated address. Obtain further documentary evidence to resolve the discrepancy and record your explanation before proceeding. Consider whether a CIFAS search is warranted.

Electronic Screening Results
Please enter the screening provider.
Please enter the screening date.
Please select the sanctions screening result.

Sanctions Match — Do Not Proceed. A confirmed or unresolved sanctions match requires immediate escalation to your MLRO. You must not proceed with this transaction. Providing services to a sanctioned party is a criminal offence. A SAR may be required under POCA 2002.

Please select the PEP screening result.

PEP / RCA Identified — Enhanced Due Diligence Required. Under Reg. 35 MLR 2017, PEPs and their relatives and close associates require EDD. Obtain senior management approval before establishing or continuing this business relationship and apply enhanced ongoing monitoring throughout the retainer.

Please select the adverse media result.
4 Client 4
Identity Verification
Please select the ID document type.
Please enter the document expiry date.
Please select a verification method.

Reg. 39 Reliance — Written Agreement Required. You must obtain written confirmation that the third party is supervised under the MLRs, has applied the required CDD measures, and will provide CDD data promptly on request. Record the third party's name in the "Verified By" field below.

Please enter the verification date.
Please enter who verified the identity.
Proof of Address
Please select the proof of address document type.
Please enter the document date.
Please confirm address match status.

Address Discrepancy — Further Investigation Required. The address on the proof of address does not match the client's stated address. Obtain further documentary evidence to resolve the discrepancy and record your explanation before proceeding. Consider whether a CIFAS search is warranted.

Electronic Screening Results
Please enter the screening provider.
Please enter the screening date.
Please select the sanctions screening result.

Sanctions Match — Do Not Proceed. A confirmed or unresolved sanctions match requires immediate escalation to your MLRO. You must not proceed with this transaction. Providing services to a sanctioned party is a criminal offence. A SAR may be required under POCA 2002.

Please select the PEP screening result.

PEP / RCA Identified — Enhanced Due Diligence Required. Under Reg. 35 MLR 2017, PEPs and their relatives and close associates require EDD. Obtain senior management approval before establishing or continuing this business relationship and apply enhanced ongoing monitoring throughout the retainer.

Please select the adverse media result.
Plausibility Assessment
Review prompts generated from the matter profile. Confirm or note each item before proceeding to risk assessment.

Prompts are based on matter details, client profile, and source of funds entered in the previous steps. Click Refresh prompts after making changes in earlier steps.

Plausibility prompts will appear here once you navigate to this step. Click Refresh prompts if they do not load automatically.

Generate a structured AI plausibility assessment for this matter using LÆdar. The output is editable — review and amend before finalising.

AI
KYC Document Checklist
Record the status of each identity and verification document for this matter
Primary photo ID — Client 1 Passport, UK driving licence, or other government-issued photo ID
Proof of address — Client 1 Utility bill, bank statement, or council tax bill (dated within 3 months)
Primary photo ID — Client 2 Passport, UK driving licence, or other government-issued photo ID
Proof of address — Client 2 Utility bill, bank statement, or council tax bill (dated within 3 months)
Primary photo ID — Client 3 Passport, UK driving licence, or other government-issued photo ID
Proof of address — Client 3 Utility bill, bank statement, or council tax bill (dated within 3 months)
Primary photo ID — Client 4 Passport, UK driving licence, or other government-issued photo ID
Proof of address — Client 4 Utility bill, bank statement, or council tax bill (dated within 3 months)
Electronic screening / e-ID reports — all clients SmartSearch, Credas, Thirdfort or equivalent — full result printout for each client
Reg. 39 reliance letter / written agreement Written confirmation from the relying third party — required if reliance was used
PEP / EDD senior management approval Written approval — required for all PEP, RCA, or FATF high-risk EDD cases
Company / LLP search and certificate of incorporation Required where client is a company, LLP or other corporate entity
Trust deed / register of beneficial owners Required where client acts as trustee or trust beneficiary
Step 5 of 6

Risk Assessment

The risk score is automatically calculated from the matter profile built in earlier steps. Review each factor, complete your assessment narrative, and obtain MLRO sign-off where the risk rating requires it.

Risk Factor Calculator
Factors are automatically detected from your earlier inputs and weighted by risk level. Review each for accuracy before proceeding.
Client-Level Risk Indicators
Transaction-Level Risk Indicators
0
Calculated AML Risk Score & Rating
Standard Customer Due Diligence
No significant risk factors identified. Standard Customer Due Diligence applies. Confirm your assessment below.
MLRO Referral — Mandatory
The risk rating for this matter requires mandatory referral to your Money Laundering Reporting Officer (MLRO) before it can proceed. Complete all fields below and obtain the MLRO's documented decision.
Please enter the MLRO's name.
Please enter the referral date.
Please select the MLRO's decision.

SAR / DAML — Tipping-Off Prohibition Applies. Under s.333A POCA 2002, you must not disclose to the client or any third party that a suspicious activity report has been or may be made. Do not use code words or hints. If a DAML consent application is made to the NCA, you must not proceed with the transaction until consent is received or the moratorium period expires without objection.

Fee Earner Assessment
Record your overall assessment — override the calculated rating if your professional judgement differs from the automated score
Please select the assessed risk level.

Risk Downgrade — Justification Required. The assessed risk level is lower than the calculated score indicates. Ensure your assessment narrative fully justifies this decision and that it has been reviewed by a senior fee earner or supervisor.

Please enter your assessment narrative.
Fee Earner Declaration
Read the declaration carefully and complete the electronic signature fields before proceeding to final review
Please enter your full name.
Please enter your role or position.

Declaration Required. You must tick the declaration checkbox and enter your typed full name before proceeding to final review and sign-off.

Step 6 of 6
Review & AML Decision Record
Review your completed assessment below. Download the AML Decision Record for your file. This document must be retained for five years from the end of the business relationship (MLR 2017, Reg. 40).
Assessment Complete
Review the summary below before downloading your AML Decision Record.
Retention Requirement — Reg. 40 MLR 2017
This AML Decision Record and all supporting KYC documents must be retained for a minimum of five years from the end of the business relationship or the date of the occasional transaction. After five years, documents must be deleted or destroyed securely unless a legal hold applies. Do not retain records longer than necessary.
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