Compliance Standards & Fit and Proper Person Requirements – Registration Standards 2025

Standard
Administrative requirements (including the Fit and Proper Person Requirements and NRT Logo Conditions of Use Policy) that support integrity in the VET sector.
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The Registration Standards 2025 are made up of:

All RTOs are required to comply with all three elements of the 2025 Standards.

Structure and Additional Guidance

The Compliance Standards are made up of 20 Requirements split into 3 areas, and 2 Schedules.  Use the following links to access additional guidance:

Information and transparency

7 - Marketing and advertising

8 - Guarantees and inducements

Integrity of nationally recognised training products

9 - Issuance of AQF certification documentation

10 - Records of AQF certification documentation and assessments

11 - Issue of approved VET qualifications and VET statements of attainment

12 - Student identifier requirements

13 - Nationally Recognised Training logo

14 - Transition of training products

Accountability    

15 - Annual declaration on compliance

16 - Notification of material changes

17 - Third party arrangements

18 - Prepaid fee protection measures

19 - Public liability insurance

20 - Compliance with laws

Schedule 1  – fit and proper person requirements
Schedule 2 – nationally recognised training logo conditions of use policy

The Credential Policy and Compliance Standards largely reflect requirements drawn from the previous Standards for RTOs 2015 (2015 Standards). Where there are changes, these are outlined below.

Final agreement to the legislative instruments to enact the Outcome Standards, Credential Policy and Compliance Standards was given by Skills Ministers in February 2025.

The Compliance Standards set out the conditions that all RTOs must meet to obtain or maintain registration. The content of the Compliance Standards reflects administrative and process-driven requirements drawn from the 2015 Standards, with amendments to make requirements easier to navigate, and some changes to better support integrity. Following feedback from the sector on the draft Compliance Standards policy document, the requirement for RTOs to keep records of all AQF certification documentation issued to VET students for 30 years has been retained.

There are two Schedules attached to the Compliance Standards instrument to incorporate the Nationally Recognised Training (NRT) Logo Conditions of Use Policy, and the Fit and Proper Person Requirements (FPPRs). Please note these Schedules contain minimal changes to the current FPPRs, and minimal changes to streamline the NRT Logo Conditions of Use Policy as outlined below.

Key changes to administrative requirements for RTOs include:

  • Broadening concepts in the 2015 Standards into a general requirement to ensure secure maintenance of learners’ personal information, to highlight the importance of this.
  • Including a requirement around retention of learner assessment items previously enshrined in guidance and extending the retention period to at least two years following the learner’s completion of the training product to ensure evidence is available to support regulatory activities.
  • Where a training product is superseded, RTOs must continue to comply with the one-year timeframe to cease enrolment of new learners. The set timeframe for transitioning or teaching out existing learners has been replaced with a requirement that this be undertaken in a timely manner. This new requirement is designed to minimise disruption for existing learners and reduce administrative burden on RTOs including reducing the number of requests for extensions to the transition period made to the regulator. Jobs and Skills Councils (JSCs) would retain the ability to recommend adjustments to VET regulators by exception based on stakeholder consultation, for example to recommend set end-date for delivery of a particular training product to existing learners where required to address safety risks or licensing implications.
  • Simplifying requirements around the submission of the annual declaration on compliance.
  • Clarifying requirements for notifying the VET Regulator of material changes and reducing the timeframe from 90 days to 10 business days to strengthen integrity.
  • Clarifying requirements around third party arrangements, by providing a more detailed definition and further detail about what must be included in written agreements with third parties, drawing on regulatory guidance and related frameworks to support greater clarity and consistency.
  • Removing requirements that duplicate requirements in the National VET Regulator Act 2011 to reduce regulatory burden.
  • Streamlining prepaid fee protection requirements to support navigation and clarity.
  • Streamlining requirements on the use of the Nationally Recognised Training (NRT) Logo to reflect existing requirements from the current Standards.

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