A Noetfield Systems Inc. productCanadian payments compliance operations — FINTRAC first, RPAA next — for MSBs, fintechs, and PSPs. Custody and settlement remain with existing providers.Program ops · evidence, not settlement
Canadian MSBs · digital exchanges · dual-obligated fintechs
CRO & FINTRAC Compliance Workflow
A structured path from system alerts to CRO decision, authorized FINTRAC submission records, and audit-ready evidence — for Canadian MSBs, crypto/digital exchanges, and fintechs or PSPs where dual-obligated. FINTRAC case operations run today; Bank of Canada retail payments supervision (RPAA) and evolving Canadian stablecoin / digital-asset policy expectations sit in the same umbrella. Your organization remains the Reporting Entity; counsel owns filings.
TrustField does not itself provide custody or settlement services. Applicable custody and settlement activities remain with the customer’s designated providers.
Less manual re-entry
Case fields, attachments, and status move with the workflow instead of copy-paste across tools.
Faster human decisions
Analysts and the CRO see a complete case packet before FILE / NO-FILE / RETURN / ESCALATE.
Audit-ready evidence
Evidence stays traceable, versioned, and auditable for examiner and internal review.
Consistent reporting packages
Draft or submit-ready STR packages follow the same required-field and review gates every time.
Clear accountability
Ownership, decision records, and submission status stay attributed to named roles.
Workflow diagram
Five stages from alert to evidence
The same structure as the CRO → FINTRAC compliance diagram — rendered as TrustField UI. Authorized officers submit; TrustField does not auto-file.
1
Data & Alerts
Signals enter from systems you already run
Your systems
Transaction monitoring / AML rules
KYC / customer profile systems
Exchange or payments operations feeds
Secure CSV / structured intake where needed
Alert generation
Rule or threshold triggered
Case candidate created
Priority and ownership assigned
Required source fields attached
2
Investigation & Analysis
Analysts build the case packet
Case creation
Case ID and queue
Party and transaction context
Initial risk flags
Analyst investigation
Timeline and counterparties
Source-of-funds / purpose review
Related alerts and prior cases
Documentation
Working notes
Attachments and extracts
Missing-data checklist
Information requests
Internal ops follow-ups
Customer clarification when required
Conflict / incompleteness flags
3
CRO Review & Decision
Human gate before any filing path
CRO review checklist
Completeness of facts and parties
Suspicion rationale documented
Exceptions and gaps noted
Recommended next path prepared
Decision record
Decision timestamp and actor
Rationale captured
Downstream path selected
Evidence locked to this decision version
Decision options
FILE STR
Proceed to prepare and authorize an STR package.
NO-FILE
Close with documented rationale — no report filed.
RETURN FOR MORE INFO
Send back to investigation with clear gaps to close.
ESCALATE
Elevate to a higher authority or specialist path.
Four decision outcomes — always a named human decision.
4
FINTRAC Reporting & Submission
Prepare the package; authorized officers submit
Prepare
Draft STR package
Required-field validation
Supporting exhibits linked
Verify
Second-person or dual control as configured
Schema / completeness checks
Authorized submission record
Officer-authorized submit action
Confirmation / reference captured
Sample workflows do not auto-file to FINTRAC
Post-submission
Status tracking
Correction / remediation path
Confirmation artifacts retained
Your organization remains the Reporting Entity. TrustField does not file on your behalf.
5
Evidence & Records
Traceable, versioned, auditable retention
Evidence package
Case packet export
Decision and submission artifacts
Attachments index
Audit trail
Who changed what, when
Versioned case history
Exportable examiner pack
Retention
Configured retention window
Access-controlled storage
Retrieval for audits
Evidence is traceable, versioned, and auditable — not blockchain-immutable; not a ledger marketing claim.
Real outcomes
What operators get when the workflow is live — without unverified percentage claims.
Faster decisions
CRO review starts from a complete, ordered case packet.
Stronger compliance posture
Consistent gates for investigation, decision, and reporting packages.
Audit ready
Traceable, versioned, auditable evidence for exams and internal QA.
Lower operational risk
Missing data and exception paths are handled before submission records.
Operational efficiency
Less tool-switching and re-keying across alert → decision → evidence.
Platform capabilities
Role-based access
Automation & rules
Integration ready
Secure & compliant
Dashboards & KPIs
Scalable
Share this diagram — compact one-page poster for Canadian MSB and exchange clients.
Interactive sample
Try the sample case
Run the CRO → FINTRAC STR sample here — human FILE / NO-FILE / RETURN / ESCALATE decisions, draft packages, no auto-file.
default
Try the sample case
Synthetic data only — editable in your browser. Nothing is uploaded or filed.
Probable manual path today
Alert → export transaction data → search CRM/KYC/wallet tools → write rationale in Word or a case note → email CRO → re-enter structured fields in FINTRAC → save reports, versions, and evidence separately.
Configured TrustField workflow
Alert → one case → information and gaps assembled → human CRO decision → report fields and narrative prepared → authorized submission recorded → correction and evidence controlled.
1. CRO / Compliance Review
Collect the case, resolve missing information, organize facts and indicators, record the human decision and action.
2. FINTRAC Reporting
Prepare the structured report and narrative, verify fields, record authorized submission, corrections, and evidence.
Try the sample case
Edit only synthetic or anonymized values. Changes remain in this browser and are not uploaded.
Do not enter names, account numbers, wallet addresses, transaction hashes, ID documents, FINTRAC references, or other personal/protected information into a demo link.
After an alert, teams still rebuild the STR narrative and structured fields by hand before an authorized person can act.
STR report package
No report package has been created
A structured STR package appears only after the CRO selects FILE STR.
Verification and evidence
Traceable, versioned, auditable sample events — not blockchain or immutable claims.
Ready · TF-DEMO-STR-2107
Awaiting sample start · no autonomous filing
Choose one launch path. You do not pay CAD 4,900 plus CAD 8,500. Workflow Confirmation is optional.
Optional — if scope is unclear
Confirm the scope
CAD 900
No production deployment.
Fully credited toward a qualifying Controlled Launch within 30 days.
The working workflow plus one live API, webhook, database, SFTP, or application integration, automated case creation, retry/recovery, and status synchronization.
Both production launch paths include 60 days of Launch Care. Continued hosting, monitoring, and support are optional afterward under Managed Care from CAD 750/month.
Already launched with TrustField? Live integration is quoted as incremental scope. Reusable workflow work is reflected in the SOW.
Boundaries
TrustField may collect and map data, route tasks, draft forms, validate fields, prepare packages, and preserve evidence. It does not make the legal filing decision, determine RGS autonomously, provide legal advice, guarantee compliance, or auto-submit in this public sample.
TrustField support covers the operation, monitoring, recovery, configuration, and evidence functions of the agreed workflow. It does not provide legal advice, determine whether a report must be filed, or autonomously submit reports to FINTRAC.
Bank of Canada retail payments supervision (RPAA) and evolving Canadian stablecoin / digital-asset policy expectations shape the same operator umbrella as FINTRAC MSB and exchange case work. TrustField structures workflows and evidence; it does not auto-file, and it does not replace counsel or your CAMLO on filings or regulatory strategy.
2027 Mar 31 · Next annual supervisory reporting cycle (registered operators under RPAA) · Informational only · not legal advice
Launch one real FINTRAC workflow — with Launch Care included
See the workflow, confirm it, launch one controlled production workflow for CAD 4,900 with 60 days of post-launch care, then expand under Managed Operations. Your organization remains the Reporting Entity.