FinTelegram’s Rail Atlas review of the FGS Software Solutions casino cluster (Monixbet, Rakoo Casino, VoltSlot) shows a repeatable deposit architecture: (1) “instant bank transfer” flows that appear to convert deposits into USDC via a crypto rail (Rillpay → Kryptonim), (2) an open-banking stack where PayOp routes players into Visa-owned Tink and onward to Revolut’s open-banking interface, and (3) an alternative “instant banking” path using Contiant and a misspelled gateway domain (paymentproccesing.net), plus MiFinity deposits settling to FairGame G.P. N.V. as payment recipient.
link.tink.com) → Revolut OBA (oba.revolut.com) → payment to FairGame G.P. N.V.paymentproccesing.net appears in cashier flow, and Similarweb signals show monixbet.com among the referring sites to paywith.contiant.com (small but present).
iGaming positioning: PayOp markets iGaming payment services and its documentation/terms reference its operating entity.Player selects: “Direct Bank Transfer / Instant Bank Transfer” (casino cashier label)
Observed stack (from our testing notes + cashier UI):
Rillpay → Kryptonim → USDC → casino wallet(s)
Why it matters: This is a pattern we see repeatedly in offshore casino environments: a bank-transfer UI that is operationally fulfilled by a crypto purchase (stablecoins), reducing traditional card/acquirer visibility and potentially shifting AML/KYC responsibilities onto the crypto leg.
Kryptonim context: Kryptonim publicly states it holds a VASP licence entry number and references multiple entity registrations.
Player selects: PayOp in cashier
Observed flow (screenshots):
link.tink.com) and explicitly states that FairGame G.P. N.V. uses Tink to process the payment.oba.revolut.com) showing “Authorize Tink AB.”Tink context: Visa completed the acquisition of Tink, and Tink markets open-banking payment initiation (including iGaming-related use cases).
PayOp context: PayOp’s own materials position it in high-risk/iGaming processing, and its terms identify the operator entity.
Player selects: “Instant Bank Transfers” (casino cashier label)
Observed indicators:
paymentproccesing.net (note the double “cc”), suggesting an intermediary deposit page/gateway.paywith.contiant.com (small share), linking this casino into the same Contiant gateway ecosystem you previously mapped.Contiant context: Contiant’s own merchant documentation identifies the company as a Bulgarian entity and describes AIS/PIS technical services positioning.
Observed (screenshots):
paymentproccesing.net shows “Deposit to FairGame G.P. N.V.” and the MiFinity support email contact.Our testing indicates that FairGame G.P. N.V. (Curaçao) appears as the named recipient/payment agent in multiple deposit rails (PayOp/Tink flow wording; MiFinity deposit page). That is a key compliance signal: it suggests consolidation of player funds at a central entity that may sit between the casino brand and upstream PSP/open-banking providers.
Verification targets:
paymentproccesing.net) as cashier gateways complicates consumer recognition, dispute handling, and third-party monitoring. It also raises questions about who controls the payment page and what scripts/vendors are embedded.If you have direct evidence about these rails—PayOp/Tink onboarding records, merchant contracts, settlement statements, MoR documentation, bank beneficiary details, gateway operator identity for paymentproccesing.net, or correspondence with compliance teams—please submit it via Whistle42.com. We are specifically looking for: (1) PayOp account/merchant IDs, (2) Tink client_id mappings and service agreements, (3) bank transfer descriptors and beneficiary IBANs, (4) proof of who controls the cashier gateway domains, and (5) any regulator notices, chargeback/dispute logs, or account closures linked to these flows.


