跳至正文
Juris Prime Fintech
司法管辖区国际工具指南关于
预约咨询

服务

  • Crypto and VASP licensing
  • Company formation
  • Virtual asset derivatives licensing
  • Payment token and stablecoin licensing
  • Crypto tax and corporate structuring
  • AML/CFT programme and goAML registration
  • Crypto fund formation and management
  • Legal opinions and token classification
  • Tokenised real estate
  • Legalisation, attestation and apostille
  • Banking and EMI onboarding
  • Golden Visa and residency
  • Ongoing compliance
  • Disputes and frozen funds
服务 →

监管机构

联邦

  • CBUAE
  • CMA
  • FIU · goAML

酋长国

  • DET
  • RERA · DLD
  • VARA

金融自由区

  • DFSA
  • FSRA

商业自由区

  • DAFZA
  • DMCC
  • DWTC
  • IFZA
  • RAK DAO
  • RAKEZ

离岸

  • Ajman Offshore
  • JAFZA Offshore
  • RAK ICC
监管机构索引 A–Z →

Juris Prime Fintech

加密资产牌照与监管法律顾问 — 阿联酋及国际

本站内容为一般性信息,不构成法律意见。阅读本站不产生律师与客户关系;该关系自委托书签署之时方始成立。

  • 免责声明
  • 隐私
  • Cookie
  • 条款
  • WhatsApp
  • info@jurisprimefintech.com

© 2026 Juris Prime Fintech. 版权所有。

全部监管机构

CBUAE

Central Bank of the UAE

层级
联邦
司法管辖区
Federal
最后审核
2026-09
审核中

本页陈述的是我们目前所理解的立场。页面上的每一项事实主张都在与其原始来源核对,尚未定稿。

本页尚未翻译。以下为英文原文。

目录

  1. Overview
  2. What it regulates
  3. Who needs a licence
  4. Requirements
  5. Banking and legalisation of the business
  6. Protection and enforcement
  7. How we help
  8. 流程与时间
  9. 费用
  10. 文件
  11. 与其他监管机构的关系
  12. 常见问题

Overview

The Central Bank is the federal financial regulator. Its mandate covers monetary policy, the supervision of banks and other licensed financial institutions, payment systems, AML/CFT supervision of those institutions, and consumer protection.

For a virtual-asset business it matters in three ways: it regulates payment tokens, it regulates the payment rails the business wants to use, and it stands behind every bank that will decide whether to open the account.

What it regulates

Payment tokens. The Payment Token Services Regulation brings payment token issuance, conversion and custody or transfer inside the Central Bank perimeter, sets out how dirham-backed payment tokens work, provides for registration of foreign payment tokens, and restricts the use of non-dirham tokens for domestic payments.

Payment services and stored value. The Retail Payment Services and Card Schemes Regulation and the Stored Value Facilities Regulation apply wherever a crypto business touches fiat wallets, on and off-ramps, or payment initiation. A firm that describes itself as an exchange but holds client fiat balances should read these before it reads anything else.

Financial institutions. Banks, finance companies, exchange houses and insurers, including their AML/CFT obligations.

Who needs a licence

Any person issuing a payment token, converting one, or holding or transferring one on behalf of others. Any person providing retail payment services or operating a stored value facility. The test is functional: what the arrangement does with client money, not what the product is called.

The perimeter question that matters most in practice is where the Central Bank ends and VARA, the CMA or a financial free-zone regulator begins. Payment activity, investment activity and virtual-asset activity are separate characterisations, and one arrangement can attract more than one.

Requirements

Legal form and minimum capital set by activity. Fit-and-proper assessment of controllers and senior management. Local presence and governance that demonstrably operates in the UAE. Outsourcing rules for anything material. IT and cyber standards. Safeguarding of client funds, which is a structural requirement and not a policy document. Compliance with the Consumer Protection Regulation and Standards, including disclosure and complaints handling.

Banking and legalisation of the business

Opening and keeping a UAE bank account is the step most businesses underestimate. Banks apply enhanced due diligence to virtual-asset clients as a matter of course. They will want the operating licence, the ownership chain to natural persons, credible source-of-funds evidence, a transaction-monitoring design they can understand, and a named compliance contact.

An operating licence is a precondition, not a decision. Where a bank declines, regulated electronic money institutions and payment service providers are sometimes a workable alternative, with their own limits that should be understood before they are relied on.

Protection and enforcement

Depositor and consumer protection, complaints escalation to the financial ombudsman, confidentiality and data protection obligations, and sanctions screening against the lists maintained by the UAE Executive Office for Control and Non-Proliferation.

The Central Bank imposes administrative sanctions, can revoke a licence, and publishes penalties. Enforcement is visible and should be treated as a live risk, not a remote one.

How we help

We characterise the flow of funds before anyone builds it, so the perimeter question is answered on paper rather than discovered in an application. We prepare payment token and payment services applications, draft the safeguarding and consumer-protection arrangements, and prepare the banking file — including the parts a bank will ask for that no regulator requires.

  1. 01

    Structuring

    Activity mapping, regulator selection, group and holding structure.

    尚未核实

  2. 02

    Entity incorporation

    Trade name, initial approval, lease, corporate documents.

    尚未核实

  3. 03

    Regulatory initial approval

    Permission to incorporate and build. Not permission to operate.

    尚未核实

  4. 04

    Policies and technology build

    Rulebook-mapped policies, custody and key management, technology audits.

    尚未核实

  5. 05

    MLRO appointment and goAML registration

    Entity and officer registration, sanctions screening, reporting workflow.

    尚未核实

  6. 06

    Bank or EMI onboarding

    Frequently the longest single dependency, and outside the regulator control.

    尚未核实

  7. 07

    Full licence

    Operational permission granted.

    尚未核实

  8. 08

    Ongoing supervision

    Reporting, audits, filings, variation of permission.

    尚未核实

各阶段时长仍在审核中。所示总时长为观察到的实际情况,并非公布的服务标准。

费用

这些是持牌人实际需要承担的费用。在与主管机关公布的收费表逐项核对之前,金额一律留空 — 未经核实的数字比没有数字更糟。

  • Licence or registration application

    Differs between issuer, converter and custodian or transferor.

    一次性

    尚未核实

  • Annual fee

    年度

    尚未核实

  • Client-fund safeguarding arrangements

    年度

    尚未核实

应持有的资本,并非费用

  • Minimum capital

    Not a fee.

    浮动

    尚未核实

文件

示意性分类。具体材料因业务类型而异,监管机构可能要求补充。

个人
  • Passport copy, valid at least six months
  • Passport photograph, white background
  • Proof of residential address, dated within three months
  • Curriculum vitae
  • Bank or professional reference letter
  • Police clearance or good conduct certificate — 需办理认证链
  • Source of wealth and source of funds evidence
  • UAE entry stamp or visa page
公司
  • Certificate of incorporation — 需办理认证链
  • Memorandum and articles of association — 需办理认证链
  • Certificate of incumbency or good standing — 需办理认证链
  • Board resolution approving the UAE entity — 需办理认证链
  • Register of members and directors
  • Ultimate beneficial owner declaration
  • Group structure chart to natural persons
  • Audited financial statements, most recent two years
  • Power of attorney for the UAE representative — 需办理认证链
合规
  • Business plan with three-year financial projections
  • AML/CFT policy and procedures manual
  • Enterprise-wide money laundering risk assessment
  • MLRO appointment letter and fit-and-proper file
  • Compliance monitoring programme
  • Targeted financial sanctions screening procedure
  • Governance map and senior management functions
  • Outsourcing register and material outsourcing agreements
  • Complaints handling and consumer protection policy
技术
  • Technology architecture and infrastructure description
  • Custody and key management model
  • Hot, warm and cold wallet policy
  • Penetration test and vulnerability assessment report
  • Business continuity and disaster recovery plan
  • Cyber incident response plan
  • Transaction monitoring and blockchain analytics arrangements

与其他监管机构的关系

  • VARA — Virtual Assets Regulatory Authority
  • CMA — Capital Markets Authority
  • FIU · goAML — Financial Intelligence Unit

常见问题

  • Are virtual assets legal tender in the UAE?

    No. Virtual assets are not legal tender. The Central Bank regulates certain token activities as payment activities, which is a different question from whether anything is money.

  • Do we need CBUAE permission as well as a VARA licence?

    If the business touches fiat, issues a payment token, or performs a payment service, quite possibly. The perimeters are drawn around different things, and it is common to sit inside two at once. The answer turns on the precise mechanics of the flow of funds, not on the label the business uses.

  • Why is the bank account harder than the licence?

    Because a bank makes its own risk decision and is supervised on it. A licence is a precondition, not a guarantee. Enhanced due diligence, source-of-funds evidence and a credible transaction-monitoring story decide the outcome.

最后审核 2026-09

资料来源

  • CBUAE Payment Token Services Regulation — Licensing and registration of payment token issuers, converters and custodians
  • CBUAE Retail Payment Services and Card Schemes Regulation
  • CBUAE Stored Value Facilities Regulation
  • CBUAE Consumer Protection Regulation and Standards

所处层级

联邦

适用于全部七个酋长国

  • CBUAE
  • CMA
  • FIU · goAML

酋长国

此处以迪拜为例;其他酋长国有所不同

  • DET
  • RERA · DLD
  • VARA

金融自由区

自设法院与规则手册

  • DFSA
  • FSRA

商业自由区

仅限公司注册;仍需另行申请虚拟资产牌照

  • DAFZA
  • DMCC
  • DWTC
  • IFZA
  • RAK DAO
  • RAKEZ

离岸

控股层级 — 不得在阿联酋境内经营

  • Ajman Offshore
  • JAFZA Offshore
  • RAK ICC
专项虚拟资产监管框架已生效
预约咨询