SRO affiliation
AML supervision for professional financial intermediaries that do not conduct an activity requiring a prudential licence.
A practical guide for businesses that need to identify the correct Swiss regulatory route, prepare an SRO application and understand where a FINMA authorisation may apply instead.
The outcome follows the operating model and the applicable legislation.
AML supervision for professional financial intermediaries that do not conduct an activity requiring a prudential licence.
Relevant to regulated activities such as banking, securities, portfolio management, trusteeship, funds or market infrastructure.
Some advice, technology and own-account models may fall outside these routes, while remaining subject to other duties.
The SRO reviews the admission file and monitors compliance with AMLA and its own regulations.
| Route | Typical activity | Main issue to confirm |
|---|---|---|
| Bank or FinTech | Acceptance of client funds where banking-law deposit rules apply. | Repayment claims, use of funds and available exemptions. |
| Securities firm | Professional securities dealing or market-making. | Execution role, client dealing and own-account activity. |
| Portfolio manager | Discretionary management of individual client portfolios. | Client mandate and decision-making power. |
| Trustee | Commercial management or holding of trust assets. | Function, professional thresholds and Swiss organisation. |
| Collective assets | Management of collective investment assets. | Vehicle, investors, delegation and thresholds. |
| SRO | Professional financial intermediation under AMLA. | Money flows and absence of a higher licensing trigger. |
Clients, services, countries, contracts and asset flows.
Applicable law, supervisory body and boundary questions.
Ownership, governance, key functions and Swiss presence.
Risk, KYC, monitoring, reporting, records and training.
Forms, evidence, questions and pre-launch remediation.
The Federal Council consultation launched in October 2025 proposed payment-instrument and crypto-institution authorisation categories. The outcome and effective dates remain subject to the legislative process.
Projects should satisfy current law while documenting operational choices that may help with a future transition.
Official references: FINMA on recognised SROs · FINMA authorisation overview · SIF consultation fact sheet.
Symplified can organise the analysis, application material and compliance preparation.
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