MGA Issues Non-EEA Games Notice

On the 4th June 2018, the Malta Gaming Authority (MGA) issued a notice wherein it was announced that the practice whereby games from providers which are not licenced by an EU/EEA competent authority but which are offered under the purview of other jurisdictions outside the EU/EEA, such as Curacao, Costa Rica or Kahnawake, are offered on the same website as MGA licenced games, or a website linked therefrom, will no longer be permissible.

 

In summary, shared wallet setups with non-EU/EEA licenced games, whether offered on the same or a different domain or sub-domain name, shall be prohibited.

Only games supplied by holders of a critical gaming supply licence (B2B licence) issued by the MGA, or an equivalent authorisation issued by the competent authority in another EU/EEA jurisdiction, may be offered as part of the MGA-licensed gaming service.

Where the website of the MGA-licensed operation is also used in connection with a foreign EU/EEA licence, this shall be notified to the MGA forthwith, and such setup shall be allowed only in exceptional circumstances, where the MGA is satisfied that the regulatory objectives are not prejudiced thereby.

 

 

 

 

Effects of the new policy

  • With immediate effect, MGA licensees shall be prohibited from introducing new games which are not licensed in an EU/EEA jurisdiction on websites used in connection with the MGA-licensed gaming service. This also extends to contractual arrangements submitted for the MGA’s review which refer to the supply of such unlicensed games.
  • Licensees have until the 31st December 2018 to make the necessary adjustments to ensure that games which are not licensed in an EU/EEA jurisdiction are removed from MGA-licensed gaming services and their websites, and to dismantle shared wallet arrangements accordingly where these are present. As of 1st January 2019, this requirement shall be enforced with full effect and shall be one of the enforcement priorities of the MGA.

The above shall be reflected in guidelines relating to the new regulatory framework which shall be published in due course by the MGA.

For further information please contact Kris Baron.