Malta Financial Services Authority (MFSA) tightens FX regs; bumps capital requirement up to €730,000 for a Category 2 license

Below is the official regulatory notice regarding applicants for a Category 2 or Category 3 Investment Services Licence that would like to carry out online forex trading in terms of the Investment Services Act, Cap. 370:

The Malta Financial Services Authority is hereby setting out its criteria regarding the licensing of entities that would like to offer online forex trading to retail clients in terms of the Investment Services Act, Cap. 370, following various factors that the Authority has come across in handling applications in this sector as well as various risk warnings issued at EU level alerting retail investors to the main risks involved in forex trading.

The issuance of these criteria are intended to give clear guidance to the industry of the aspects that applicants wanting to offer online forex trading to retail clients are expected to satisfy. Moreover the high risks associated with forex trading by retail investors due to the reliance on automated systems, the complex nature of forex products and the accessibility to such products by retail investors, have also led to a further tightening of the licensing criteria. These licensing criteria are applicable with immediate effect to all new applications submitted to the Authority after the date of this Notice.

Applicants whose application is currently being processed by the MFSA are also required to come in line with the below-mentioned additional criteria with immediate effect with the exception of the Shareholding Structure and Capital Requirements, on which a grandfathering period of one year from the date of publication of this Notice is being granted by the Authority for such entities to regularize their position. In this respect, apart from the conditions set out in Part A of the Investment Services Rules for Investment Services Providers, the following additional criteria shall apply to potential applicants for a Category 2 or a Category 3 Investment Services License that would like to engage in online forex trading:

Shareholding Structure – The MFSA shall only accept an application for a licence if at least one entity holding a direct qualifying shareholding in the applicant is already regulated in the provision of financial services to a level which is satisfactory to the MFSA and whose activities are relevant in the context of the application in question. In addition, the Authority may also require active participation in the management of the proposed entity by the qualifying shareholder/s. Applicants should assume that the participation by another regulated entity by way of shareholding and /or active participation in the management of the proposed entity is applicable at the outset. When processing an application for a licence, the MFSA will, inter alia, take into consideration the following factors: – the shareholding structure of the applicant; – the quality and track record of the proposed management team of the applicant – promoters should demonstrate several years of competence with reputable institutions to the satisfaction of the MFSA; – the target market and clients of the applicant;

– due diligence investigations; and

– the level and nature of operational and business risk involved.

The above factors should not be interpreted as an exhaustive list of aspects which may be taken into account by the MFSA. The MFSA reserves the right to impose any condition as may be deemed necessary. Each application is assessed on its own merits.

The MFSA may request any applicant to submit audited accounts prepared by one of the major audits firms in respect of any corporate shareholders in the proposed shareholding structure and/or entities with which the promoters are involved.

Furthermore, the Authority, in order to achieve comfort regarding the source of funds of the promoters, reserves the right to request a promoter (who is also the ultimate beneficial owner of the applicant) to provide it with a statement of wealth that should be signed by a person holding a warrant of a certified public accountant under the Accountancy Profession Act (Cap. 281) or holds professional qualifications of similar standing of an institute of repute recognized by the Authority.

Capital requirements – Companies applying for a Category 2 license will be subject to a higher minimum initial capital requirement of €730,000, similar to the initial capital requirement for Category 3 licence holders in light of the risks associated with this kind of business and potential loss of retail clients’ money. The said capital should be satisfied on an ongoing basis and not just at licensing stage.

Competence requirements – (i) Board of Directors – The members of the Board of Directors are expected to collectively possess the requisite competence and experience specifically in the field of online forex trading. For this purpose, the Authority needs to be provided with comfort that the proposed Board members of an online forex company collectively have the necessary competence to be able to effectively contribute to the decision-making process of the Board.

(ii) Other staff – The competence requirements are applicable to individuals occupying senior positions with the license holder and who report directly to the Board of Directors, such as Senior Manager, Risk Manager or Head of Trading. These individuals need to prove to the satisfaction of the Authority that they have an adequate track record with one or more regulated firms that operate within the forex industry. The trading of one’s own funds is not deemed to be sufficient for the purpose of the Authority’s competence assessment and shall not be taken into account in the review of an individual’s eligibility to assume any of such position within an online forex company. The level of skills and expertise required of such employees will be considered in detail, taking into account the particular circumstances of the applicant in question (including the nature of the instruments to be traded, the type of clients to be targeted and the nature of the investment services to be provided).

Local Presence/Corporate Governance set-up –Whilst the Authority acknowledges that the bulk of such license holders’ business and activities is carried out through automated means, license holders are expected to dedicate sufficient human resources as well as put in place adequate internal controls for the day-to-day management of their business, the monitoring of trades, handling of clients’ enquiries and complaints and risk management.

The risk management function is considered to be an important function in such a business and is therefore a requirement for both Category 2 and Category 3 license holders. In such scenarios, the Authority expects that the license holder establishes a locally based risk management role responsible for designing, implementing and monitoring the risk management policies and procedures of the license holder. In this regard, no derogation from the requirement to appoint a Risk Manager will be given to applicants engaging in online forex trading irrespective of the volume of business. While in the case of Category 2 IS License Holders the Authority may consider the outsourcing of such function to locally based entities, Category 3 IS License Holders are expected to have a full-time dedicated risk management function in place.

Moreover the Authority expects that the core licensable activities (including the setting of trading policies and parameters and monitoring of the execution of electronically-generated trades via the applicant’s online trading platform/s) of license holders that provide online forex trading are carried out in and from Malta.

With respect to Category 3 license holders, the Authority also expects that the following activities/ functions are carried out in Malta:

– The selection of counterparties and conclusion of agreements therewith;

– The establishment of trading limits and other parameters;

– The setting of pricing policies; and

– The monitoring of transactions undertaken with clients.

The Board of an online forex trading company is expected to have collective acumen in the area of online forex trading. In addition, the Board of Directors of an online forex trading firm should include one or more independent directors having the necessary competence and experience in forex trading who would be able to question and challenge the activities of the executive directors and senior management. The Authority shall also require that a locally based Board member (who ideally has the necessary competence and experience in forex trading) is always appointed in satisfaction of the local presence requirements.

Moreover, the licence holder shall only be authorized by the Authority to commence its business as an online forex trading firm if it has the requisite number of personnel in place that will ensure compliance with the dual control principle on an ongoing basis. The Authority does not accept operational set-ups whereby the licensable activities, as well as the key functions of the licence holder, are concentrated in one individual.

With respect to outsourcing, although investment services providers are allowed to outsource some of their functions, the extent of outsourcing should not be such as to reduce the company to a shell entity. As required by MiFID, the applicant is required to show to the satisfaction of the Authority that the licensable activities applied for will actually be undertaken in and from Malta. The MFSA may, with respect to a limited number of support services, consider requests for time-limited outsourcing arrangements with appropriate external parties in the initial stages. In the case of applicants that will initially rely on a number of support services from their parent company or other third parties, the Authority expects the submission of a detailed plan of any planned eventual phasing out of such outsourcing/support services arrangements.

Expert Advisors – Applicants are expected to have a clear policy on the use by its clients of Expert Advisors as part of their trading strategy. This policy should be clearly communicated to the licence holder’s clients from the outset.

Record Keeping – Whatever the medium used to carry out transactions with clients, counterparties and other third parties, the Authority expects the licence holder to have in Malta real time access to and control over all transactional data. The Authority would require full access to this data as and when required, including during Compliance Visits.

The license holder shall, moreover, have this data fully preserved in its records on an ongoing basis at its head office in Malta and shall have in place an appropriate offsite backup system for risk management and business continuity purposes.

Systems – If the applicant intends to use a proprietary online trading platform, whether this has been developed in-house or not, the Authority would need to be provided with evidence that such system has been certified by an independent IT Auditor duly qualified and that it has a satisfactory track record as a result of having been used by other regulated online forex companies in the EU or other recognized jurisdiction. The certification by the independent IT Auditor as to the adequacy of the systems will be required on an annual basis.

Applicants that intend to offer online trading platforms which are well-renowned in the industry or which are used by regulated entities in this sector will be considered more favourably by the Authority.

In no case shall the use of proprietary or third party platforms compromise the conditions that are required to be in place with respect to transactional data.

In addition, the licence holder should take all the necessary measures so as to ensure that all of its employees are provided with the necessary training on the trading platform(s) to be offered to clients.

Liquidity providers/Counterparties – Applicants that would like to offer online forex trading to their clients should only appoint regulated financial services firms as their counterparties/liquidity providers, provided further that these are already authorized by the relevant competent authorities in an EU, EEA or other jurisdiction that has the equivalent regulatory framework as in Malta for the provision of the service/s in question. Details and regulatory status of the liquidity providers/counterparties are to be provided to the Authority as part of the application review process.

Any changes to counterparties/ liquidity providers post-licensing should be notified to the Authority.

Applicants and licence holders are also required to abide by ESMA guidelines on the sale of complex products where online forex is specifically mentioned as a complex product. These guidelines may be accessed by clicking here.

For the official press release from the MFSA (PDF), click here.

Read Also:

LeapRate is an independent research and advisory firm, specialized in covering the world of Forex trading. We are followed by hundreds of thousands of traders, investors and other FX industry participants via our website, Facebook, Twitter, LinkedIn, RSS and Email Newsletter. Copyright © All rights reserved Catena Media Website: CEO: Michael Daly Company number: C 62481 VAT identification number: MT 2151 8128

Location: Catena Media 5th Floor, 7 Harp Lane, London, EC3R 6DP, United Kingdom
Email: [email protected]



Foreign exchange trading comes with high level of risk. Before investing in foreign exchange, carefully consider your level of experience and risk appetite. CFDs are complex instruments and bring high risk of losing money because of the leverage they provide. No information or opinion contained on this site should be taken as investment advice, personal recommendation, or an offer of, or solicitation to buy or sell, any financial instruments. Past performance should not be considered evidence or guarantee for future performance. Between 74 and 89% of retail investors accounts lose money.