Anti-Money Laundering
Consulting Services & Strategies

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Fixed Fee AML Reviews for the Real Estate Sector

No Hassle, Fixed Fee AML Compliance Effectiveness Review Pricing

All real estate developers, brokers and sales representatives are required to have AML Compliance Effectiveness Reviews at least every two years. These reviews involve a review and assessment of your compliance program and operational testing. Real estate developers, brokers and sales representatives will receive a formal review report, and Senior Management must provide signoff on the final report within 30 days of the day it’s issued. While Canadian legislation permits self-reviews, reviews must be independent, something harder to do at small to medium sized firms. The reviewer must be sufficiently qualified. At a minimum, each reviewer must:

  • Demonstrate sufficient understanding of the Canadian regulatory context;
  • Have sufficient experience in conducting AML Compliance Effectiveness Reviews in Canada; and
  • Have maintained up-to-date training and professional qualifications; including, but not limited to, the Certified Anti-Money Laundering Specialist designation.

To make budgeting easier for Canadian real estate developers, brokers and sales representatives, we’re introducing no hassle pricing. To calculate where you fall on the chart, just add up the number of employees and agents you have.

Number of Employees & Sales Agents* AML Compliance Effectiveness Review Price
1 – 50 6,000
51 – 100 7,000
101 – 150 8,000
151 – 200 9,000
200+ Please Call

All prices are subject to applicable taxes. Additional fees apply for staff travel and administration related to the sorting of paper documents (where applicable).

*If you have part-time or seasonal employees, count two part-time employees as one employee. Include business owners who are active in running the business as employees. Count each agent location as one employee. If you’re not sure about the calculation, feel free to contact us.

Coast to Coast to Coast

Our Canadian team is here to serve in all parts of Canada. Given the current COVID-19 pandemic, and to keep costs low, we are currently conducting reviews remotely. To do this, we will review electronic copies of your compliance program and data.


Outlier cannot be considered an “external reviewer” if we have designed your compliance program or conducted annual training with your staff. Most banking services providers require that you have an external reviewer. Some banking services providers also have specific lists of reviewers whose work they will accept. Please check with your banking services provider to ensure that our review will be acceptable for their purposes.

Need a Hand?

If you’re ready to schedule a review or would like more information, please contact us.

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