Here’s the headline: The UK Gambling Commission (UKGC) has raised eyebrows (and alarms) over operators leaning too heavily on financial thresholds to spot risky customers. In its latest AML compliance review, the UKGC didn’t mince words. Some operators, it said, only start risk-profiling customers after they hit a certain spend level. That’s like waiting for the smoke alarm before noticing the fire.
The UKGC warned this approach is outdated and dangerous. Players showing non-financial red flags — think unusual behaviour, inconsistent data, or weird payment patterns — were slipping through the cracks. Worse still, in many cases, thresholds were set way too high, meaning customers could deposit, gamble, and withdraw large sums before anyone blinked. The regulator’s advice? Simple:
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Don’t rely on one metric.
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Use ongoing, risk-based monitoring.
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Set thresholds that make sense for your business.
As the UKGC put it:
“Financial thresholds can help, but they can’t carry the whole load.”
In short, money’s not the only clue. Context matters too.
UKGC’s Checklist: What Operators Must Rethink
The UKGC’s 3 October bulletin reads like a to-do list for compliance teams — and a stern reminder for anyone tempted to cut corners.
Here’s what they want fixed (ASAP):
| Area | Issue | UKGC Expectation |
|---|---|---|
| Risk Profiling | Over-reliance on spend triggers | Factor in all risk types, not just cash flow |
| Threshold Levels | Set too high | Adjust to match business model and player base |
| Documentation Checks | Ignoring red flags | Spot third-party deposits & fake docs |
| Staff Training | Inconsistent understanding | Train teams to detect and escalate risks |
| Record Keeping | Gaps and inconsistencies | Maintain full audit trails |
| Third-Party Oversight | Outsourced risk assessments | Keep control and accountability in-house |
The regulator says some operators simply weren’t catching clear warning signs — like bank statements showing higher outgoings than income, or third-party deposits that scream “something’s off.”
In some cases, staff even missed forged documents, failing to trigger enhanced due diligence (EDD). That’s a serious no-go in 2025’s compliance climate.
So, the message is clear: if your AML team’s approach is “see no evil,” the UKGC will notice.
Customer Risk Profiling: Think Beyond the Wallet
According to the Commission, customer risk profiles must reflect real-life risks — not just spending stats.
“Operators must assess how a customer triggers risk factors in their wider assessment,” it says.
That means considering where players live, how they pay, and what behaviours stand out. It’s not about punishing high rollers — it’s about spotting unusual patterns before they spiral. The UKGC wants operators to graduate each player’s risk level — low, medium, high — and match the due diligence accordingly.
Miss that step, and you’re not just inviting trouble. You’re basically holding the door open.
Tech Isn’t a Silver Bullet: AI Needs Adult Supervision
In a plot twist worthy of Black Mirror, the Commission also flagged growing misuse of AI and algorithms in AML processes. Sure, fancy behavioural models can help spot red flags — but they’re only as smart as the people behind them. Some operators, the UKGC said, don’t actually understand how their AI works, leading to major compliance fails.
In several reviews, high-risk indicators weren’t being detected or escalated, simply because the algorithm wasn’t properly configured. So while automation sounds sleek, the UKGC’s message is clear: machines can assist, not replace judgment.
“Operators must ensure their AML suite — AI, reports, and manual checks — actually identifies risk.”
Translation: don’t blame the bot when the fines drop.
The Bottom Line: Smarter Systems, Sharper Eyes
The UKGC isn’t banning financial thresholds — it’s asking for balance. Money is one clue, not the whole picture. Operators should:
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Mix financial and behavioural data.
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Keep training teams on red flags.
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Review AI models regularly.
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Set realistic thresholds that reflect their player base.
The industry’s takeaway? Don’t wait for deposits to stack up before you take AML seriously. Because when regulators talk risk, they mean business. Compliance isn’t just box-ticking, it’s brand-building. Trust starts where shortcuts stop.
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