News, standards updates and audit guidance for crypto-accounting teams, covering reporting, compliance and regulatory developments.
AMLA chair warns that mass client transfers between CASPs during post-MiCA migration create acute AML windows that compliance officers and CFOs must close now
FMA Liechtenstein Notice 2026-3 clarifies which regulatory authority applies under the CRR for firms operating across the EEA, with direct implications for licensing strategy, capital reporting, and crypto bookkeeping software workflows.
FATF's July 2026 PPP report exposes the crypto industry's shallow integration into AML partnerships and signals where compliance obligations are heading for firms and CFOs.
CSSF issues formal warning against unlicensed operator consulting-mla.com, signalling heightened AML/KYC gatekeeping risk for firms onboarding Luxembourg-facing counterparties
EU, US, and UK sanctions against Trickbot/Conti administrator 'Stern' and ransomware enablers trigger OFAC screening, wallet-tagging, and AML obligations for accounting firms, auditors, and CFOs.
Reed Smith's Aquarius platform automates MiCA compliance workflows, signalling how legal-tech tools are reshaping regulatory operations for CASPs, accounting firms, and CFOs across the EU and beyond.
MFSA settles with Everest Network Ltd for VFA shareholding and reporting failures, imposing a €40,560 penalty — a concrete compliance benchmark for crypto accounting and legal teams across the EU.
ESMA's common supervisory action on CASP custody resilience raises the compliance bar well beyond MiCA licensing for EU crypto firms and their auditors
ESMA's new Q&A on CASP custody scope clarifies which newly issued crypto-assets require authorisation, with direct compliance and recordkeeping consequences for accounting firms and CFOs operating under MiCA.
MFSA's 2025 DORA authorisation cycle reveals where financial firms are still failing on ICT governance, third-party oversight, and incident management, with direct implications for crypto accounting software infrastructure and MiCA licence readiness.
Binance's failed MiCA application in Greece and its active pursuit of fresh EU and Asia-Pacific licenses signals a regulatory inflection point that accounting firms, auditors, and CFOs serving crypto-active clients must track closely.
ESMA's new supervisory action on CASP custody resilience creates immediate audit and compliance obligations for EU-licensed crypto firms and their advisors
KPMG/ECB digital sovereignty framework: DORA, cloud outsourcing and concentration risk implications for accounting firms and CFOs managing digital asset infrastructure
Belgium's FSMA names six unauthorized CASPs just after the MiCA transitional deadline, signalling that enforcement is live and that accounting firms and CFOs with EU crypto-exposed clients must verify CASP authorization status immediately.
France's MiCA transition period ended 1 July 2026: 31 French CASPs are now authorized, unlicensed operators must wind down, and the AMF has shifted from registration gatekeeper to active CASP supervisor with AML obligations on client transfers.
Kaiser Partner Privatbank AG becomes the latest institution to receive MiCAR Art. 60 authorization in Liechtenstein, signaling growing regulatory momentum for traditional banks entering crypto-asset services in the EEA.
Bitcoin Suisse (Europe) AG receives CASP authorization from the FMA Liechtenstein under MiCAR, signaling continued regulatory buildout in the principality for EU-passportable crypto-asset services.
AFM thematic review finds trading venues have only partial DORA ICT risk framework compliance, with specific gaps in security monitoring, access controls, logging, and group-level policy governance
AFM's thematic review exposes five recurring PEP due-diligence failures at Dutch financial firms, with direct implications for crypto-asset service providers and their compliance frameworks
AFM folds AMLA eligibility data collection into existing supervisory questionnaires, removing the need for a separate AMLA-template submission for most Dutch-supervised firms.
AFM's 2025 SREP market review finds Dutch financial firms have adequate policies on paper but chronic gaps in execution, ICT risk management, and accountability structures, with direct implications for firms using crypto accounting software in regulated environments.
AFM finds the Dutch AI Act implementation law workable in principle but flags gaps in supervisory task allocation, capacity, and data-sharing that financial firms must track now
ESMA signals that prediction market event contracts are already caught by existing EU retail prohibitions, creating urgent product classification and compliance obligations for CASPs and their auditors.