UKGC License Requirements Application and Requirements
He specialises in gambling regulation and intellectual property law. To discuss trialling these LexisNexis services please email customer service via our online form. It also covers licence conditions, variation and termination of each licence together with reforms introduced by the Commission. Search by name, licence or account number Our experts will be happy to help you navigate the complexities of obtaining a UK gambling license, determine which licenses you need, and avoid unnecessary costs.
20 Supplementary Consultation
For instance, the Commission has demonstrated a willingness to initially engage with those that operate (without a licence) offerings that have hints of licensable products before requesting that such entity either apply for and obtain a licence or prevent consumers in Great Britain from accessing such offering, whilst making clear that to continue doing so may amount to an offence under the Gambling Act 2005. The British regulatory authorities have taken something of a global lead in the enforcement of regulation, particularly in relation to “source of wealth” and “proceeds of crime” omissions and also failures in social responsibility obligations owed by operators to players. That said, non-gambling services are generally carved out of this wide net – payment processing, marketing affiliates and other ancillary services such as fraud prevention and age verification are per se not regarded as “gambling”.
Part 10 of the Act contains provisions on when such equipment counts as a gaming machine. 451.These regulations can also specify when tables, which are linked together by electronic means for example, are to count as a single table for the purpose of machine entitlements under this section. 447.Part 10 of the Act defines a gaming machine, and gives the Secretary of State power to make rules about their categorisation and use or manufacture and supply.
- This standard applies to feasible B3 gaming machines and provides players with a 30 second cooling-off period once voluntary limits are hit.
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- Guidance about the information we’ll ask for when applying for a licence.
- Some gambling software businesses provide facilities for remote gambling by making their games available to customers of other operators.
The legislation also requires ATMs in gambling-licensed premises to be positioned so that any customer who wishes to use them must stop gambling in order to do so, while in pubs and clubs the rule comes from the Code of Practice. We do not currently have sufficient data to estimate the likely uptake of additional Category B machines under each option, nor on how the average GGY per machine will change as a result. Category B machines are significantly more profitable for operators earning considerably higher GGY than Category C and D alternatives. We do not currently have sufficient data to estimate the likely reduction of Category C and D machines under each option. This will include assessing the role of sessions limits across Category B and C machines alongside safer gambling tools.
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If a casino does not appear on the Gambling Commission public register under the domain you used, the plain meaning is that it is not licensed to offer gambling to people in Great Britain. If the casino is licensed in Great Britain, the brand and its domain will appear against a licensed company, with a licence status shown. The Gambling Commission keeps a public register of every licensed gambling business at gamblingcommission.gov.uk/public-register. Conditions may, in particular, limit the number of machines that may be provided in a casino and the number of player positions that may be provided for use of the machines. Such equipment, which neither involves nor is linked to a game requiring human operation, is not a gaming machine provided it is used in accordance with Commission licence conditions set under this subsection (section 235(2)(i)). 450.In relation to casino entitlements, the Secretary of State can make regulations defining “gaming table”, and, in particular may specify when a gaming table is to be treated as being used in a casino.

Make sure to check your local regulatory requirements before you choose to play at any casino listed on our site. If you are serious about wanting to quit gambling altogether, it could be a good idea to use Gamban in conjunction with Gamstop for an even more enhanced effect. In the UK casino scene, the tool for choice for such regulation is Gamstop.
From selling personal data and identity theft to promoting gambling to vulnerable players, these safety regulations are important. You should play at licensed casino sites to have a secure, fair, and responsible experience. See how we rate the sites, how casino regulation works, how you can verify the licence yourself. He’s passionate about online gambling and committed to offering fair and thorough reviews.
The Malta Gaming Authority (MGA) is one of the best-known gambling regulators in Europe. These bodies oversee gambling in their own jurisdictions and can offer additional reassurance that a site is above board. While only UK Gambling Commission licenses are valid for legal gambling in the UK, many casino not on gamstop sites also display licenses from other respected international regulators.

When you do not check if a UK casino is UKGC licensed before registering, you forfeit all the regulatory protections the UKGC mandates. The fastest and most reliable way to check if a UK casino is UKGC licensed is to search the official UKGC Public Register. In this guide, we explain exactly how to check if a UK casino is UKGC licensed in under two minutes — and why every UK player should do it before registering anywhere. Only operators holding an active UKGC licence can legally accept real-money bets from UK residents. In January 2020, the Gambling Commission approved several organisations for these compulsory funding contributions, ensuring that operators direct their financial support to recognised entities working to mitigate gambling harms.
Further information on these changes will be published as it becomes available on the Gambling Commission’s website and communicated to operators and licensing authorities. The draft Casinos Regulations form part of a package of interlinked statutory instruments which amend the regulatory framework for land-based casinos. Licensed gambling businesses must display that they are licensed and also provide a link to our public register. A company that runs four casino brands under one licence will have four separate site entries, each with its own Domain Score.
Safe online casinos in the UK always display licensing info in the site’s footer. Whether you’re a new or a regular online gambler, always make sure that you play on casinos with a UKGC licence. Under strict regulations from the authority, online casinos are bound to offer you fair outcomes on every spin or hand.Legal UK casinos also offer you better safety and security. Though offshore casinos aren’t explicitly illegal, they must have a licence from the Gambling Commission to accept players from the UK.You’ll also find complaints online about fixed or rigged games on casino sites. Currently, there are more than 175 online casinos licensed by the UKGC.
However, other factors (such as a change in the premises layout) may mean that an application to vary the premises licence is required. That OL will need to be granted to the operator before it can make SSBTs available on the casino premises. As SSBTs involve remote communication, the operator will need to apply to the Commission for a remote general betting (standard) (real events) OL. An existing licensed 1968 Act casino operator wishes to make use of the new Regulations to provide SSBT facilities in its casino. 2This condition only applies to converted casinos that choose to exercise the extended entitlement. While the powers to make changes to gaming machine entitlements are reserved, the protective measures that the government views as necessary accompaniments to any such change are devolved2.
This could include looking at how customers interact with machines that accept cashless payments, how much they spend and the impact of different protections. We also strongly disagree with the assertion that Category D crane grab machines should not have a maximum transaction limit. They also said that there should not be a maximum transaction limit on Category D crane grab machines.
(Mandatory response)Significant increase / Small increase / No impact / Small Decrease / Significant Decrease / I don’t know (Mandatory response) A large increase in GGY / A small increase in GGY / No impact on GGY / A small decrease in GGY / A large decrease in GGY / I don’t know What impact would options 1, 2 and 3 have on Gross Gambling Yield (GGY) for businesses? (Mandatory response) A significant increase in ability to meet demand / A slight increase in ability to meet demand / No impact / A slight decrease in ability to meet demand / A significant decrease in ability to meet demand / I don’t know This will be used to model the estimated increase in GGY for each option in the final impact assessment.
This will ensure that only distinct and sizeable table gaming areas can count towards the total, giving customers a genuine mix of products that are easily accessible and identifiable in a casino. The same 12.5% rule that applies in 2005 Act casinos is also proposed to apply for 1968 Act casinos that seek to move onto the new regime. Furthermore, this exemption is tightly drawn to reduce any advantages that these casinos may gain compared to their competitors. The government proposes that venues will be required to comply with all specified sliding scale requirements in order to access the enhanced gaming machine entitlement.
All options set out in this section are expected to lead to an increase in the total number of Category B machines across bingo and arcade venues. Any measure that increases the availability of Category B machines risks leading to increased gambling harm for those playing on the machines. This data was collected by the Gambling Commission from two of the major gaming machine manufacturers in Great Britain, representing approximately 35% of the machines in the bingo and arcade market. For comparison, these rates are above the at-risk and problem gambling rates for bingo games (12.9% and 3.3% respectively), but lower than the at-risk and problem gambling rates for online gambling on slots, casino or bingo games (44.2 % and 8.7% respectively). Therefore, this option would need to be accompanied by a requirement that Category B3 machines in these venues would have certain player safety controls, such as staff alerts where a player meets spend or time limits. Without any requirement in law for a balanced offer, it is possible that this option would result in Category B machines becoming the only product on offer.

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Therefore, we would welcome any responses which highlight concerns about this approach and how non-gambling areas could be calculated using a different method. However, we want to avoid any regulation that would allow table gaming areas to be placed in obscure or less accessible areas for customers so that a genuinely mixed offering of products remains in the casino. We appreciate that for commercial reasons and for a better customer experience, tables are already grouped together in casinos, often in one large area.
Currently, the Gambling Act 2005 (Gaming Tables in Casinos) (Definitions) Regulations 2009 provide that a wholly automated gaming table is not a “gaming table” for the purposes of s172(3) to (5) of the Act. Thirty-nine responses were received to these questions in the consultation. However, in updating the regulatory framework we intend to ensure that if the preferred setup of a casino changes in future, an appropriate balance of product remains – both in terms of space and product numbers. In making this proposal we acknowledge some concerns from industry stakeholders about the necessity of a table gaming area requirement. Forty-two per cent expected a small increase in the supply and availability of other gambling products, while 41% expected either a small decrease or large decrease in the supply of other gambling products.
A gambling business may ask you for a selfie if they think there may be fraudulent activity on your account. A customer cannot place a bet until they have been verified, so gambling businesses will verify customers as quickly as possible so that they can start gambling. If a gambling business can verify you electronically the process may be instant. We don’t say which types of information gambling businesses should ask for.
This licence allows you to manufacture, supply, install or adapt gambling software by means of remote communication. CasinoReg.co.uk only features casinos licensed by the UK Gambling Commission. We don’t recommend Curacao-only casinos for UK players — always choose a site licensed by the UK Gambling Commission. We don’t feature them and recommend sticking to UKGC-licensed casinos, especially if you have self-excluded. Every UKGC-licensed casino displays an account (licence) number, usually in the footer, that links to its entry on the Commission’s public register.
Notifications relating to premises licence must be sent, by email, to We use the data provided to maintain a register of premises licences, which we use to inform our compliance and enforcement work, and to monitor the licensing of premises nationally. A premises licences is a licence, issued by a local licencing authority, that authorises gambling to take place in that premises. Separately, the Gambling Commission confirmed in our online games design response in 2021 and our remote gambling and software technical standards (RTS) that for remote slots it must be a minimum of 2.5 seconds from the time a game is started until the next game cycle can be commenced (RTS 14D).
Such a resolution must be published as part of the authority’s licensing policy statement made under Part 18, and lasts for 3 years from the date it takes effect. The licensing authority may take into account any principle or matter in making its decision, and may pass a resolution giving effect to their decision at any time. This decision is to be taken by the licensing authority as a whole, and may not be delegated to the licensing committee under sections 154 and 155. Where the licensing authority grants an application, a person who made representations may appeal.
Do you think premises should adopt voluntary test purchasing as a way to monitor under-18s activity on Category D ‘cash-out’ slot-style machines? Further research finds evidence that there is a correlation between the recollection of playing Category D machines in childhood and adult disordered gambling, although causation cannot be shown. Bacta, which represents the amusement and gaming machine industry in the UK, have an existing voluntary commitment for their members to ban all under-18s from playing Category D ‘cash-out’ machines. However, Category C machines must be in a segregated part of the premises that is supervised to prevent children and young people accessing those machines. Licensed operators are required to place Category B and C machines in age-restricted areas to ensure that under-18s do not have access to them. This change will not only strengthen the existing voluntary commitment from industry, by making it an offence to allow under-18s to play this type of gaming machine, it will also level the field between operators who are signed up to the voluntary code and those who are not.
Should the government introduce an age limit on ‘cash-out’ Category D slot-style machines to 18 and over? This does not distinguish between ‘cash-out’ and ‘ticket-out’ machines. The survey found that in the last 12 months, 3% of respondents had spent their own money on fruit or slot machines and a total of 6% had experience of playing on fruit or slot machines. While under-18s may make up a small proportion of total players, there is evidence that they do play on these machines. We expect this measure to restrict the play of under-18s on machines in scope.
