Reports to
Regional CEO / Head of Compliance and Group MLRO
Title
Head of Compliance & MLRO
Position Overview
This is a senior controlled function role combining Head of Compliance (PCF-12) and Money Laundering Reporting Officer (PCF-52) for BlueSnap in Ireland and the UK. You will lead the design, implementation and ongoing effectiveness of BlueSnap’s compliance framework for a regulated payments business, and you will own BlueSnap’s AML/CTF framework, including the assessment and escalation of suspicious activity and statutory reporting obligations.
The role reports to the CEO / Managing Director with a dotted line to the Payroc Group Head of Compliance and Group MLRO, and partners closely with Risk, Safeguarding, Operations, Product, Legal and Internal Audit. You will line‑manage a local compliance manager and help drive consistent, high‑quality compliance and AML/CTF practices across the wider Payroc group.
This role requires an individual who can operate independently, provide robust challenge when needed, and maintain constructive relationships with senior stakeholders and regulators. The role will attend, and present to, all quarterly meetings of the EU and UK Boards to ensure timely remediation of compliance/AML control weaknesses.
Duties and Responsibilities
Compliance leadership (PCF-12)
Own and maintain BlueSnap’s compliance framework to meet regulatory requirements applicable to a Payments Institution (including relevant EU/Irish requirements and Central Bank of Ireland expectations).
Maintain the Regulatory Obligations Register and ensure obligations are translated into practical controls, procedures and monitoring.
Develop and deliver an annual Compliance Monitoring Plan, using a risk‑based approach tailored to BlueSnap’s products, customer types, delivery channels and distribution model.
Provide timely, practical compliance advice to senior management and the business on regulatory topics including new products, change initiatives, outsourcing/third‑party arrangements, process changes and customer journeys.
Assess regulatory developments and lead implementation planning, including communicating impacts, timelines, and required control enhancements.
Produce clear compliance reporting and MI for senior management and the Board, including themes, root causes, remediation progress and forward‑looking risks.
Coordinate and support regulatory engagement, including responding to Central Bank of Ireland queries and requests accurately and on time, and supporting inspections/PRISM engagements where applicable.
Oversee the design and delivery of compliance training and communications to build awareness and embed good practices.
Support a strong speak‑up culture, including mechanisms for escalating concerns (e.g., suspected misconduct, fraud or control weaknesses) without fear of retaliation.
Manage the Outsourcing relationships and Outsourcing Register including managing the intra‑company Outsourcing arrangements.
Coordinate with Internal Audit and external reviewers as required and track remediation to completion with clear ownership and deadlines.
Support regulatory inspections and ensure actions are tracked, evidenced and closed.
AML/CTF leadership (PCF-52)
Act as BlueSnap’s MLRO with responsibility for the effectiveness of the AML/CTF framework (policies, procedures, controls, training and oversight).
Oversee and continuously improve the AML/CTF programme, including:
Business‑wide AML/CTF risk assessment methodology and outputs
Customer risk assessment and due diligence standards (CDD/EDD)
Transaction monitoring oversight
Sanctions and PEP screening oversight
Record keeping and governance
Receive and assess internal suspicious activity reports and determine whether to submit external reports to the relevant authorities, in line with legal and regulatory obligations.
Maintain a robust STR/SAR register and appropriate supporting documentation, including rationale for decisions and any subsequent correspondence.
Act as key liaison with relevant AML/CTF authorities and support regulator engagement on AML/CTF matters.
Provide regular reporting to the Board and senior management on AML/CTF matters, including emerging risk trends, control effectiveness, metrics, and remediation actions.
Ensure appropriate AML/CTF training is delivered across the business, including at least annual Board‑level training, and role‑specific training where required.
People and stakeholder leadership
Lead, coach and develop the local compliance resource(s); ensure clear priorities and effective delivery.
Partner with Payroc Group Compliance to align local practices with group standards while meeting Ireland/EU and UK regulatory requirements.
Build strong working relationships across Operations, Product, Technology, Risk, Customer Support, Finance and Legal to support compliant growth.
Qualifications
Demonstrable experience and capability to meet the Central Bank of Ireland Fitness & Probity Standards for PCF-12 and PCF-52 and the FCA Fitness and Propriety Standards, including a track record of operating with integrity, competence and soundness of judgement.
Significant compliance leadership experience in a regulated financial services environment (payments, e‑money, fintech, banking or equivalent).
Strong working knowledge of Irish/EU and UK regulatory expectations for payments firms and an ability to translate requirements into pragmatic controls and monitoring.
Strong AML/CTF experience, including handling and escalation of suspicious activity, maintaining appropriate records, and managing engagement with relevant authorities.
Proven ability to provide constructive challenge, influence senior stakeholders, and communicate clearly with Boards and regulators.
Strong organisational skills, attention to detail, and ability to manage priorities in a fast‑moving environment.
Relevant professional qualifications (e.g., ICA, ACAMS, compliance/legal qualification, or equivalent experience).
Appointment is subject to Central Bank of Ireland PCF approval under the Fitness & Probity regime.
Preferred Qualifications
Experience with card acquiring/processing, SEPA and alternative payment methods.
Experience using data and MI to enhance compliance/AML monitoring and oversight.
Experience operating in a matrixed, international group environment.
Working Conditions
Desk‑based work with prolonged periods using a computer and sitting for extended periods.
Frequent interaction with team members, management, agents, Business Development Managers (BDMs), and external partners to facilitate smooth operations and collaborations.
Travel Component
10%
Job Classification
Salaried
Equality
At Payroc we are committed to the principle of equal employment opportunity for all employees and to providing employees with a work environment free of discrimination and harassment. All employment decisions are based on business needs, job requirements and individuals’ qualifications without regard to race, color, religion, national social or ethnic origin, sex, age, physical, mental, or sensory disability, sexual orientation or any other status protected by the laws regulation in the location we operate. Payroc does not tolerate discrimination or harassment based on any of these characteristics.Payroc is committed to providing access, equal opportunity, and reasonable accommodation for individuals with disabilities in employment, its services, programs, and activities. To request reasonable accommodation, contact Human Resources Department at HR@payroc.com
Compensation and Benefits
Our compensation reflects the cost of labor across several U.S. geographic markets. Actual compensation may vary based on a number of factors, including location, job‑related knowledge, skills, and experience. Depending on the position offered, additional forms of compensation – such as bonuses, incentives, or equity – may also be included as part of the total compensation package. We offer a comprehensive range of benefits to support your overall well-being, both personally and professionally. These may include medical coverage, financial benefits, and wellness support tailored to your needs.
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