ARTICLE
24 September 2021
Mondaq Thought Leadership Award Winner

Issuance Of Registration And Operating Conditions Of Crypto Asset Service Providers By CySEC

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G. Vrikis & Associates Ltd

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G. Vrikis & Associates LLC is a rapidly expanding and prominent law firm in Cyprus. Established in 2015 by its managing partner, Mr. George Vrikis, the firm has been focused in providing high-level legal advice to its clients and expanding its international profile and clientele, while at the same time maintaining a prompt, proactive and family office-approach for its clients. The Firm has expanded to a second location in Limassol in 2019, with the addition of Mrs Christiana Kouppi as a Partner.
The Cyprus Securities and Exchange Commission (CySEC) published a detailed Policy Statement on 13 September 2021, covering the registration process and operations of crypto asset service providers (CASPs).
Cyprus Technology

The Cyprus Securities and Exchange Commission (CySEC) published a detailed Policy Statement on 13 September 2021, covering the registration process and operations of crypto asset service providers (CASPs). The Policy Statement has been awaited and followed CySEC's first issued Directive for the prevention and suppression of money laundering and terrorist financing (Register of Crypto Asset Providers), as amended.

The following are the Key Highlights of the Policy Statement:

  • Depending on the corporate structure, crypto assets either qualify as financial instruments under the Investment Services and Activities and Regulated Markets Act or as electronic money under the Electronic Money Act.
  • Crypto assets can be a digital representation of value that is not issued or guaranteed by a central bank or public authority.
  • CASPs should align their business with anti-money laundering/terrorist financing rules and enforce many obligations such as regulatory and operational requirements. For further details, please enquire as per CySEC's Policy Statement which outlines the rules for CASPs.
  • Existing businesses that demonstrate a material existing crypto-asset activity will need to submit an application before the end of October 2021 and be fully compliant with the AML/CFT Law and the Directives issued according to the AML/CFT Law.
  • New businesses must submit an application to register with CySEC before commencing their operations in or from Cyprus.
  • CySEC approach on territorial scope:
    • CASPs operating from Cyprus must be registered with CySEC in order to be able to provide services and/or perform activities in relation to crypto-assets and will be regulated by CySEC.
    • EEA domiciled CASPs who are registered with the competent authority of the respective Member State for the relevant services and/or activities and who as per Section 61E(2)(b) of the AML/CFT Law are exempted from the obligation to be registered with CySEC when providing services and/or undertaking activities in relation to crypto-assets in Cyprus, must submit to CySEC a notification form providing sufficient evidence in relation to their registration with the said EEA competent authority, before they commence their operations in Cyprus.
    • CASPs registered in a Third Country, must be registered with CySEC in order to be able to provide services and/or perform activities, in relation to crypto-assets in Cyprus and will be regulated by CySEC.

Classes of crypto-asset services and activities, their initial capital and registration fees

CASP Class Type of crypto-asset activity and service Initial Capital
Class 1 CASP that provide investment advice €50,000
Class 2

CASP that provide investment advice
and/or
any of the following services:

  • reception and transmission of client orders
  • execution of orders on behalf of clients
  • exchange between crypto-assets and fiat currency
  • exchange between crypto-assets
  • participation and/or provision of financial services related to the distribution, offering and/or sale of crypto-assets, including the initial offering
  • placement of crypto-assets without firm commitment
  • portfolio management.
€125,000
Class 3

CASP that provide investment advice
and/or
any of the following services:

  • reception and transmission of client orders
  • execution of orders on behalf of clients
  • exchange between crypto-assets and fiat currency
  • exchange between crypto-assets
  • participation and/or provision of financial services related to the distribution, offering and/or sale of crypto-assets, including the initial offering
  • placement of crypto-assets without firm commitment
  • portfolio management

and/or
any of the following services:

  • administration, transfer of ownership, transfer of site, holding, and/or safekeeping, including custody, of crypto-assets or cryptographic keys or means enabling control over crypto-assets
  • underwriting and/or placement of crypto-assets with firm commitment
  • operation of a multilateral system, which brings together multiple third-party buying and selling interests in crypto-assets in a way that results in a transaction.
€150,000
Registration and renewal fees for all classes €10,000 for the examination of an application

€5,000 annual renewal fee from year 2 onwards


CySEC has announced the new developments related to CASPs with a Press Release on 13 September 2021 where it has also announced to the public its dedicated webpage for CASPs applicable rules and procedures. The Application forms for the authorization process have been announced to the public and are expected to be published soon.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

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