Checklist

FCA Hiring Checklist: Pre-Appointment Screening for SMCR Roles

A step-by-step screening checklist for Senior Management Function holders, Certification Function staff, and annual re-certification under SMCR.

This checklist covers the pre-appointment due diligence steps required by FCA-regulated firms under the Senior Managers & Certification Regime (SMCR). Use it alongside your firm's own fitness and propriety policy and FCA regulatory reference process.

Important: This checklist covers employment screening checks. It does not cover the FCA pre-approval application process (for SMF holders via Connect) or the regulatory reference obligation (FCA SYSC 22) — those are separate processes your compliance team should manage in parallel.

Checklist 1 — Senior Management Function (SMF) holders

Required before the individual commences the SMF role. FCA pre-approval must be obtained before the individual can act in the function.

  • Identity verification — document scan and facial match to confirm identity
  • Right to Work — legal right to work in the UK confirmed
  • FCA Individual check — current FCA registration status, controlled functions held, regulatory notices and prohibitions
  • PEPs & Sanctions screening — global PEPs lists and sanctions databases (UK HMT, UN, EU, OFAC)
  • Adverse media screening — open-source press, court records, and regulatory enforcement databases
  • Credit history (5 years) — CCJs, insolvency, defaults, arrears — financial soundness assessment
  • Work history (5 years verified) — confirmed employment history, direct employer verification
  • Address history (5 years) — verified residential address history
  • Directorship history — prior directorships and disqualifications via Companies House
  • Regulatory reference obtained — formal reference from each regulated employer in the past 6 years (FCA SYSC 22) — managed separately from screening
  • Fitness and propriety assessment documented — formal internal assessment against FIT criteria: honesty/integrity/reputation, competence/capability, financial soundness
  • FCA pre-approval application submitted — via Connect before the individual commences the SMF role

Checklist 2 — Certification Function staff

Required before the individual starts in a Certification Function role. No FCA pre-approval needed, but the firm must certify them as fit and proper.

  • Identity verification — document scan and facial match
  • Right to Work — legal right to work in the UK confirmed
  • FCA Individual check — register status and regulatory history (particularly important if the individual has previously held a regulated role)
  • PEPs & Sanctions screening — global PEPs lists and sanctions databases
  • Adverse media screening — open-source reputation check
  • Credit history (5 years) — for roles with financial responsibility or access to client assets
  • Work history (5 years verified) — confirmed employment history
  • Address history (5 years) — verified residential address history
  • Directorship history — prior corporate roles and disqualifications
  • Fitness and propriety assessment documented — internal assessment against FIT criteria
  • Written certificate issued — firm certifies the individual as fit and proper before they commence the role

Checklist 3 — Annual re-certification (Certification Function staff)

Must be completed at least once per calendar year for all Certification Function staff.

  • PEPs & Sanctions re-screen — status can change; re-screening confirms no new sanctions or PEP designations
  • Adverse media re-screen — check for any negative coverage since last certification
  • FCA Individual check refresh — confirm no new regulatory notices or prohibition orders
  • Credit history refresh — for roles with financial responsibility (risk-based, not always required annually)
  • Internal conduct review — review of any internal disciplinary matters, complaints, or conduct issues in the year
  • Fitness and propriety re-assessment documented — updated assessment against FIT criteria
  • Written re-certification issued (or declined) — firm issues updated certificate or notifies FCA if individual no longer fit and proper

Checklist 4 — Ongoing monitoring

Between annual re-certifications, firms should consider:

  • PEPs & Sanctions monitoring — automated monitoring for newly sanctioned individuals (particularly for firms with large regulated workforces)
  • Adverse media monitoring — alerts for significant negative coverage of named individuals
  • Regulatory notice monitoring — FCA/PRA enforcement actions, public censures, and prohibition orders published on the FCA Register
  • Internal trigger reviews — any significant conduct event, disciplinary proceeding, or customer complaint should prompt an out-of-cycle fitness and propriety review

Record-keeping checklist

For each SMF holder and Certified Person, maintain the following on file:

  • All check results with timestamps and provider details
  • Fitness and propriety assessment (initial appointment and each annual re-certification)
  • Written certification records (date issued, issuing officer)
  • Regulatory references obtained and any adverse information disclosed
  • FCA application submissions and approval decisions (SMF holders)
  • Any notifications made to the FCA (e.g. individual ceasing to be fit and proper)

FCA inspection readiness: All records should be held in a format that can be produced quickly in the event of an FCA supervisory visit or enforcement inquiry. InfoVetted stores all check results with timestamps and allows export in a compliance-ready format.

InfoVetted covers all screening checks in this checklist in a single platform. Book a demo to see how the SMCR package works in practice.

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