CBK regulates payments via NBFIs; crypto licensed separately; no standalone e-money regime
Frozen snapshot — the guide as it stood at the end of 2026-09. See the live guide for the current state.
The CBK is the primary supervisor for payment services, licensing them under the Non-Banking Financial Institutions (NBFIs) framework. There is no dedicated 'e-money' license; issuers operate as NBFIs. Crypto-asset exchange services are separately licensed under a 2025 regulation with a €125,000 capital floor. The regulatory direction is tightening AML compliance and standardizing reporting.
| Your activity | Requirement | Capital | Timeline | Authority |
|---|---|---|---|---|
| Payment processing / gateway | LicenceNBFI License (Payment Services)[1] Requires NBFI registration for payment processing | EUR 200,000 | 90 days | CBK |
| E-money & wallet issuance | LicenceNBFI License (Electronic Money Issuance)[1] Issued under NBFI framework, not a dedicated e-money license | EUR 200,000 | 90 days | CBK |
| Domestic money transfer | LicenceNBFI License (Payment Services)[1] Domestic transfers covered by payment service license | EUR 200,000 | 90 days | CBK |
| Cross-border remittance | LicenceNBFI License (Payment Services)[1][2] Cross-border transfers require IBAN compliance and AML checks | EUR 200,000 | 90 days | CBK |
| Agent network | Uncertainverify with regulator Agent network rules not explicitly detailed in source docs | — | — | — |
| Open banking / account information | Uncertainverify with regulator No specific open banking framework identified in sources | — | — | — |
| Foreign-exchange services | LicenceNBFI License (Payment Services)[1] FX services included in payment service scope | EUR 200,000 | 90 days | CBK |