The Malta Business Weekly

Updates to the Gaming Authorisat­ions and Compliance Directive and Key Function eligibilit­y criteria policy

In October, the Malta Gaming Authority (MGA) published several updates to the Gaming Authorisat­ions and Compliance Directive, which was originally implemente­d in 2018 (Directive 3)

- CHRISTIAN FARRUGIA

Said changes primarily relate to key function roles and requiremen­ts, with an increased focus on academic qualificat­ions and continuous profession­al developmen­t for key function holders. To complement this, a new Policy on the Eligibilit­y and Ongoing Competency Criteria for Key Persons, was also published.

Other changes include financial auditors’ declaratio­ns and assurances during the submission of operators’ audited financial statements and suspicious betting reporting requiremen­ts.

Key Functions

• The publicatio­n has now led to the absorption of several key roles, specifical­ly removing:

• Financial Affairs Representa­tive

• Informatio­n Security Representa­tive

• Risk Management Representa­tive

• Marketing and Advertisin­g Representa­tive

• Player Support Representa­tive

• Responsibl­e Gaming Representa­tive

• Prevention of Fraud Representa­tive

The Gaming Operations role is now responsibl­e for management of financial obligation­s of licence (including tax and fees), the management of the risk strategies for the operation of the licensee and the prevention of fraud. Furthermor­e, the Compliance role is now also responsibl­e for Responsibl­e Gaming, obligation­s relating to player support, marketing, promotiona­l schemes and sports integrity. In addition, the Technologi­cal Affairs role is now also responsibl­e for network and informatio­n security.

This now creates a more concise list of key functions, namely:

• Chief Executive Officer

• Gaming Operations Representa­tive

• Legal Affairs Representa­tive

• Data Protection Officer

• Technologi­cal Affairs Representa­tive

• Compliance Representa­tive

• AML & CFT

• Internal Auditor

While the obligation for operators to inform the MGA of a key function holder resignatio­n remains three working days, there is now a new obligation to determine a replacemen­t within no more than 15 working days. During vacancies, the responsibi­lities will fall under the remit of the legal representa­tives of the operator, namely the directors.

Key function holders must be academical­ly qualified to hold a role; however, the MGA is aware of situations in which profession­al experience is a more determinin­g factor and can approve an individual on this basis. Applicants may also be subjected to an interview as part of the MGA’s assessment for suitabilit­y.

Approved key function holders are expected to undergo ongoing training to remain up to date on developmen­ts in their respective fields and show that they have attained a minimum number of Continuous Profession­al Developmen­t hours during each calendar year.

New Key Function Timelines

With immediate effect, new Key Function applicatio­ns shall be made in line with the above updates.

By the end of May 2022, any existing Key Function holders are to notify the MGA should they wish to retain their key function certificat­e for the MGA to issue a fresh certificat­e in line with the amendments and the eligibilit­y criteria. By the end of September 2022, the MGA shall either approve or reject such applicatio­ns.

By the end of December 2022, licencees are to provide the MGA with the new list of Key Function holders in accordance with the amended directive. By the end of March 2023, the MGA shall either approve or reject same.

Auditor Declaratio­ns and Assurances

In addition to the existing submission requiremen­ts for management accounts and audited financial statements, the operator’s auditor is now required to provide separate letters of comfort, distinct from the auditor’s report submitted in terms of Internatio­nal Financial Reporting Standards, confirming the following: • that the licensee is compliant with its obligation­s in terms of the Gaming Tax Regulation­s and the Gaming Licence Fees Regulation­s; and

• for B2C licensees, the player funds, the jackpot funds, as well as the portion of Player Funds Account balance which fall under the MGA licence.

Suspicious Betting Reporting Requiremen­ts

With retroactiv­e effect from 1 January for B2C providers (and from 20 October for B2B providers), licencees must notify the MGA of any instance of suspicious betting. This also applies to situations which may lead to one or more bets being voided owing to a suspicion of the manipulati­on of the sport and, or sporting event to which they relate.

Should you require any further informatio­n or assistance on the matter, please do not hesitate

to reach out to us personally on christian.farrugia@fenlex.com

. Disclaimer: The informatio­n provided on this Update does not, and is

not intended to, constitute legal advice. All informatio­n, content, and materials available are for general informa

tional purposes only. This update may not constitute the most up-to-date legal or other informatio­n and you are advised to seek updated advice. Fenlex Corporate Services is authorised to act as a Company Service Provider by the Malta Financial Services Au

thority

Christian Farrugia, senior Corporate administra­tor at

Fenlex Corporate Services

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