# Compliance and product video for _financial institutions._

Regulatory training, product explainers and financial-literacy series, produced in days and updated the week the rules change.

## At a glance

Typical delivery Under 7 days  
Languages 40+  
Records SCORM · LMS  
Security SSO/SAML · SCIM · SOC 2

40+ languages  SCORM & LMS  SSO/SAML · SCIM  SOC 2  Under 7-day delivery

## The challenge

### What compliance and L&D teams are working against

01

#### A calendar that does not move

DORA is in force and AMLD6 applies from July 2026. Each obligation needs material in front of staff before its date, regardless of the content backlog.

02

#### Completion is not comprehension

A forty-five slide module can be clicked through in nine minutes. Supervisors increasingly ask institutions to evidence that staff understood the obligation, not that they opened it.

03

#### Written by compliance, formatted by L&D, watched by nobody

The material is technically accurate and practically invisible. The expertise exists internally; the capability to present it does not.

04

#### Versioning across a group

Every policy change means reopening, re-versioning and re-circulating a deck — and the copy in someone's downloads folder is always the previous one.

## The solution

### How we solve it

We turn material your compliance function has already approved into video staff complete, and keep it versioned as obligations change. We do not author regulatory content — your team owns what it says.

#### Your content, our production

Compliance owns and approves the substance; we handle presentation. Scripts are reviewable before anything is produced, so nothing regulatory is generated and shipped unreviewed.

#### Scene-level versioning

When a rule changes you regenerate the affected scene rather than recommissioning a film — which is what keeps a library current between audits instead of ageing out.

#### Evidence in your system of record

SCORM packaging and LMS integration on Enterprise, so completion lands in the platform your auditors already examine.

#### Enterprise security posture

SSO/SAML, SCIM provisioning, a security review and SOC 2 on Enterprise. Bring infosec to the first call rather than the last.

#### Group-wide localisation

Voiceover in 40+ languages, so a group operating across several markets produces centrally and localises, instead of each market commissioning separately.

#### Internal and customer-facing from one engine

The same brand kit and pipeline covers mandatory training, product explainers and investor communication, so external work does not need a separate supplier.

## Deliverables

### What we produce

#### AML, KYC & sanctions

Mandatory refreshers rebuilt around scenarios rather than bullet lists.

#### DORA & ICT resilience

Incident-reporting paths and resilience obligations explained to staff outside technology.

#### Product explainers

Digital signing, payments and account products explained to customers and to your own front line.

#### Financial literacy

"Finance for non-financiers" as an internal series, against a category otherwise priced like executive education.

#### Policy & procedure updates

The change explained the week it lands, not the quarter after.

#### Investor & stakeholder communication

Results, strategy and structural change presented clearly enough to travel.

## Implementation

### How a rollout runs

1. **Scope**  
   A discovery call to map your 2026 obligations and identify which modules have the worst completion today.
2. **Script and compliance review**  
   We work from your approved material. Your compliance function signs off the script before production begins.
3. **Produce**  
   A finished, on-brand film in under seven days through our team, or minutes to a first cut in the app.
4. **Deploy and evidence**  
   SCORM package into your LMS, localise for other markets, and track completion where you already report it.

## Context

### The obligations shaping the next eighteen months

Stated for planning purposes. Your compliance function remains the authority on what applies to your institution and what the training must say.

DORA — in force since 17 January 2025 Requires ICT risk management, incident reporting, resilience testing and third-party oversight, with staff training obligations attached. 2026 moves from implementation to continuous supervision and enforcement.

AMLD6 and AMLAR — full application 10 July 2026 The EU anti-money-laundering package applies across the bloc on a fixed date, giving an unusually clear deadline to plan training against.

Enforcement is already active Regulators opened roughly thirty enforcement actions against payments and e-money firms in a single year, and inadequate staffing and training recur in the findings.

## The scale of it

### What the sector is carrying today

10 Jul 2026 
AMLD6 and the AML Authority Regulation enter full application

~30 
EU enforcement actions against payments and e-money firms in a single year

$10bn+ 
in AML penalties levied on banks and fintechs globally during 2025

## Who we work with

### Teams this is built for

#### Compliance & risk officers

You have to evidence that staff understood an obligation, not merely that they opened it.

#### L&D leads in banking

You have a fixed regulatory calendar, a content backlog and no in-house video capability.

#### Internal & corporate communications

You explain products, policies and results to audiences with very different levels of expertise.

## Frequently asked questions

**Do you write the regulatory content?**  
No, and you should be wary of any supplier who offers to. Your compliance function owns what the training says. We turn approved material into video staff complete, and the script stays yours and reviewable before production.

**Our rules change constantly. How do updates work?**

**Can we evidence completion for an audit?**

**Can this operate inside our security perimeter?**

**Can it produce in the languages our group operates in?**

## Scope your 2026 obligations against a production plan.

Bring one mandatory module you know nobody finishes. We will scope what it looks like as video, and what it would take to have it ready in time.

Typical reply within one business day.

## Sources

- [EU financial regulation compliance calendar 2026 — AMLD6 / AMLAR application date](https://financialregulations.eu/blog/eu-financial-regulation-deadlines-2026)  
- [DORA for the financial sector — mandatory competencies 2026](https://eitt.academy/knowledge-base/dora-financial-sector-competencies-2026/)  
- [AML enforcement against EU payments and e-money firms](https://fincrimecentral.com/aml-fines-europe-regulatory-pressure/)  
- [Global AML enforcement and penalty totals, 2025](https://amlnetwork.org/aml-news/global-aml-enforcement-surge-record-fines-hit-hsbc-binance-revolut-in-2025/)
