Our ongoing monitoring of the Lithuanian VASP register and the high-risk payment landscape shows that the "MiCA Guillotine" has claimed several other entities thatOur ongoing monitoring of the Lithuanian VASP register and the high-risk payment landscape shows that the "MiCA Guillotine" has claimed several other entities that

The Great Lithuanian VASP Purge: utPay, CoinsPaid, and the MiCA “Guillotine” Fall on High-Risk Crypto Rails

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Our ongoing monitoring of the Lithuanian VASP register and the high-risk payment landscape shows that the “MiCA Guillotine” has claimed several other entities that previously served as key rails for the iGaming and offshore sectors. We are currently tracking a “Shadow Rail Contagion” where several other processors have either gone “dark,” relocated to less stringent jurisdictions, or are operating in a legal gray zone.

This seems to be the first wave of a systemic regulatory purge in the Baltics.Below is our analysis of other high-risk VASPs and payment processors currently under pressure or having recently “pivoted” due to the January 1, 2026, MiCA enforcement deadline.


The “Shadow Rail” Contagion: Affected Entities & Regulatory Refugees

1. Match2Pay (Match2Pay UAB)

  • Status: High Risk / Under Review. * Analysis: Historically one of the most prominent “card-to-crypto” on-ramps for the gambling industry in Lithuania. While Match2Pay UAB previously boasted of its Lithuanian registration, our latest data indicates it was not among the small group of ~30 companies that successfully secured a MiCA CASP license by the deadline. We are currently seeing “Technical Maintenance” notices on several of its integration points.

2. Ari10 (Ari10 UAB)

  • Status: Jurisdictional Migration.
  • Analysis: A significant player in the Polish and Baltic crypto-fiat exchange market. Following the Bank of Lithuania’s tightening, Ari10 has increasingly shifted its operational weight to its Polish VASP registration. Poland currently offers a temporary “regulatory shelter” as its MiCA enforcement timeline is slightly behind Lithuania’s “cliff-edge” approach.

3. CryptoProcessing (Dream Finance UAB)

  • Status: Technically Suspended (Lithuania).
  • Analysis: As the B2B brand of the Dream Finance/CoinsPaid group, CryptoProcessing’s Lithuanian infrastructure is officially offline. Merchants who relied on this rail are being redirected to “alternative group entities” in Estonia (OÜ) or Canada, though these entities cannot legally provide passported services into the EU without a MiCA CASP license.

4. Paymero & SegoPay

  • Status: “Ghost Gateways” (Deregistered).
  • Analysis: These entities have historically functioned as anonymized “Front-End” gateways for high-risk traffic. Our December 2025 traffic analysis showed a massive drop-off in their Lithuanian-hosted endpoints. They appear to have moved to “Sovereign/Self-Hosted” models (using protocols like PayRam or BTCPay Server) to avoid the custodial regulatory requirements of MiCA.

Comparative Analysis: The “Polish Shelter” Strategy

Our research shows a massive migration of high-risk VASPs from Vilnius to Warsaw. In the last quarter of 2025, over 22 Lithuanian VASPs relocated their “regulatory base” to Poland.


Actionable Intelligence for Regulators & Banks

The following red flags are currently being observed as these suspended entities try to maintain operations:

  • The “Technical Integration” Excuse: Entities claiming they no longer provide “crypto services” but only “technical payment software” while still facilitating gambling deposits.
  • Descriptor Masking: A shift in bank statement descriptors from company names (e.g., “utPay”) to generic terms (e.g., “Online Service,” “Digital Topup”) to hide the connection to a suspended VASP.
  • Non-EU “Pass-Throughs”: Using Canadian or UAE-based entities to process EU player deposits, which is a direct violation of MiCA’s reverse solicitation rules.

Call for Information

We are specifically looking for information on Match2Pay UAB and any other Lithuanian entities currently operating under “Consultancy” or “Software” agreements after losing their VASP status.

Are you an operator who has been offered a “new rail” to replace utPay or CoinsPaid? Send the integration details and bank account info to Whistle42.com. Your identity will remain strictly confidential.

Would you like me to generate a specific “Red Flag Alert” for the banking partners (like Postbank or Revolut) regarding these migration tactics?

Share Information via Whistle42
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