Financial Institutions and Fintech Licensing in the EU
Comprehensive advisory on financial institution licensing, passporting and regulatory compliance across the European Union and beyond.
A Latvian MiCA license lets a firm provide crypto-asset services across the EU and EEA under a single, passportable CASP authorization, with the lowest application fee in the EU (€2,500) and 0% corporate tax on retained profits. ECOVIS ProventusLaw guides crypto businesses through CASP licensing in Latvia end-to-end. Contact us for a free initial consultation.
Latvia has become one of the most active routes to a MiCA license. Latvijas Banka de-risks applications early through free pre-licensing consultations, combined with the lowest statutory fees in the EU.
MiCA covers two different activities. Providing crypto-asset services on behalf of clients requires a CASP license. Issuing your own token does not require a CASP license, but may require a different authorization depending on the token type.
A CASP license covers ten services: custody and administration, operating a trading platform, exchange for funds, exchange for other crypto-assets, order execution, placing, reception and transmission of orders, advice, portfolio management, and transfer services. A legal person providing one or more of these services to customers on a professional basis requires authorization.
If you are issuing a token, what you need depends on its type. Asset-referenced tokens (ARTs) require authorization from Latvijas Banka, unless the token stays under EUR 5 million in average outstanding value over 12 months or is offered only to qualified investors. Even then, a white paper is still required. Electronic money tokens (EMTs) may only be issued by a credit institution or an e-money institution.
Other crypto-assets, including utility tokens, generally do not require issuer authorization under MiCA, but public offers or admissions to trading may require a crypto-asset white paper to be notified to Latvijas Banka before publication, subject to the applicable exemptions.
Read our full tokenization and compliance guide for detailed structuring rules.
Before any formal filing, Latvijas Banka meets the applicant to go through the planned business model. The company does not need to be incorporated yet, and the consultation is free.
You bring information on shareholders, the origin of capital, and how each intended service will work. The regulator advises on the applicable rules and required documents, and gives a view on whether the application can proceed. Issues that would otherwise delay the formal review, or force a withdrawal, get resolved before it starts. Responses take up to 30 days.
The application goes in under Article 62 of MiCA. Latvijas Banka runs a completeness check within 25 working days, then a substantive assessment within 40 working days, and issues its decision. The assessment period can be extended if the regulator needs more information.
Latvia currently offers one of the fastest licensing timelines, with Latvijas Banka indicating an average process of around three months.
Securing a MiCA CASP authorization in Latvia requires a EUR 2,500 application fee, the lowest entry cost in the EU, supported by free pre-licensing consultations from Latvijas Banka. Initial capital requirements range from EUR 50,000 to EUR 150,000 depending on the scope of crypto services provided.
State Application and Supervision Fees:
Own funds are the larger cost. MiCA sets the same minimums across the EU, and the amount depends on which services you apply for:
A firm providing services in more than one class must meet the highest applicable floor. The capital must be paid up before the license is granted, and crypto-assets on the balance sheet do not count towards it. Once the firm is operating, own funds must be the higher of that floor or one quarter of the previous year’s fixed overheads.
Latvijas Banka’s application requirements cover 20 categories of information and documents, which in practice fall into four groups.
The company and the people. Application form, articles of association, and a programme of operations setting out which services you will provide, where and how. For the management body: CVs, documents certifying education, and criminal record statements, with an assessment of repute, knowledge, skills and experience. For shareholders with a qualifying holding: identity, size of holding, repute assessment and a description of the shareholder structure.
What you will do. The programme of operations, evidence of prudential safeguards under Article 67, and information on the type of crypto-asset involved in each service.
How you will control it. Governance arrangements, and group governance if you are a subsidiary of an institution regulated in another member state. Internal control and risk management framework covering administrative, risk and accounting procedures. The AML, counter-terrorist financing and sanctions system, with a risk assessment of the services provided. Business continuity planning. Complaints handling. An outsourcing policy if you outsource.
The technology and client assets. Technical documentation of ICT systems and security arrangements with a risk assessment, and a description of how client crypto-assets and funds are kept separate from the firm’s own.
Service-specific documents come on top: custody arrangements for custody services, operating rules and market abuse detection for a trading platform, a pricing methodology and non-discriminatory trading policy for exchange, an execution policy for order execution, evidence of expertise for advice and portfolio management, and a description of how transfers will be handled for transfer services.
A Latvian CASP license works across all 30 EEA countries. Latvijas Banka notifies the host state regulators, and they do not need to approve. You apply once and serve clients EU-wide.
We guide crypto and payment institutions from licensing strategy to post-authorization compliance, including combined MiCA and payment/e-money institution applications, pre-licensing consultations with Latvijas Banka, and complete AML/CTF framework setup. Our team has secured regulatory authorizations across more than 40 end-to-end fintech licensing projects.
Our top ranked FinTech team will help you with:
Get in touch to arrange a free introductory regulatory briefing.
Advised on MiCA CASP authorization with Latvijas Banka, covering custody and administration, exchange services, order execution and transfer services. The engagement included the full application package, governance and ICT framework, MiCA/PSD2 analysis concerning e-money tokens, and integration of a five-jurisdiction group into a single EU operating model.
Advised on the preparation and notification of a MiCA-compliant white paper for the Backpack token with the Bank of Lithuania. The work covered token classification, the offering structure, white paper preparation and regulatory engagement through the notification process.
Advised on obtaining one of the first MiCA crypto-asset white paper approvals in the EU through the Central Bank of Ireland. The engagement covered jurisdictional strategy, white paper preparation and regulatory engagement through to approval.
Advised on one of the first MiCA crypto-asset white paper notifications with the Bank of Lithuania, covering white paper preparation, submission and regulatory engagement for the token’s offering and admission to trading in the EU.
Advised on MiCA white paper approval by the Central Bank of Ireland for a technically complex token structure. The engagement covered preparation and submission of the white paper, with no amendments requested by the regulator.
Advised Lithuania-based crypto-asset businesses on restructuring legacy VASP frameworks for MiCA CASP compliance and remediation following regulatory feedback. The work included governance, custody, outsourcing, ICT and organisational substance.
Yes. A CASP applying for authorization in Latvia must have its registered physical office in the country. A Latvian company is not required for the initial pre-licensing consultation.
Yes. A CASP authorised in Latvia can use the MiCA passporting regime to provide its authorised crypto-asset services in other EU Member States without obtaining a separate CASP license in each country.
Yes. Where the business model involves both crypto-asset services and regulated fiat payment services, the relevant CASP and payment institution authorizations can be pursued in Latvia. This can be particularly relevant for businesses that need to connect crypto services with SEPA or other regulated payment flows.
Not necessarily. Token issuance and the provision of crypto-asset services are separate activities under MiCA. The regulatory requirements depend on the type of token and how it is offered or admitted to trading. Asset-referenced tokens and e-money tokens are subject to specific requirements, while other crypto-assets may be subject to white paper requirements rather than issuer authorization.
Yes, but the applicant must establish the required EU structure and meet MiCA’s requirements concerning management, governance, substance, ownership and effective management. The Latvian pre-licensing consultation can be used to discuss the proposed structure before the formal application is submitted.
Have a question or need more information?
Send us an email!