Cryptoassets Regulatory Intelligence cryptoassets.gi
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Germany

DE schema crypto-v2.0.0 trajectory: not yet assessedregulatedoverlaps: FIM, WPM

Last updated · 8 categories · 33 sourced findings · 32 sources in the cumulative register

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Jurisdiction lead brief

Lead Signal

Germany's crypto regulatory perimeter completed a meaningful phase transition this cycle. The Kryptomarkteaufsichtsgesetz shortened Germany's own national MiCA/KWG grandfathering window to twelve months, with national transitional authorisations closing on 31 December 2025 -- six months ahead of the EU-wide Article 143(3) backstop of 1 July 2026. That earlier German closure operated separately from the EU-wide deadline: it was the later EU-wide backstop, not Germany's own closure, that forced firms relying on other member states' transitional windows -- most visibly Binance, which entered 1 July 2026 without MiCA authorisation after withdrawing its Greek license application and warned EU customers of service suspensions. Germany itself enters this period from a position of strength: BaFin has authorised 57 CASPs under MiCA as of mid-2026, more than double the next-placed member states (France and the Netherlands, 26 each), reflecting an already-mature national licensing pipeline built on the pre-existing KWG custody regime. The net effect is a German market fully inside the harmonised EU regime while a major global competitor is currently locked out of it -- a competitive-dynamics signal as much as a compliance one.

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Germany implements MiCA via FinmadiG and KMAG, bridging prior national VASP licensing to the MiCA CASP regime under BaFin; the standard 18-month CASP transition window was compressed to a hard 12-month/31 December 2025 deadline, stricter than most EU peers.

Standing sub-brief536 words · last cycle 2026-08-16

Crypto Licensing

Germany operates a fully-applying MiCA licensing regime layered onto a pre-existing national supervisory architecture, and BaFin's activity level under that regime is now a distinguishing feature of the German market rather than merely a compliance milestone. As of mid-2026, BaFin had granted CASP authorisation to 57 firms, more than double the count in France or the Netherlands (26 each), reflecting a pipeline built up over the preceding eighteen months of MiCA implementation and reinforced by BaFin's long institutional experience running the pre-MiCA KWG crypto-custody licensing regime. That KWG regime was itself demanding in practice: an earlier rollout of custodian licensing saw BaFin receive 25 custodian applications and approve only four in the early going, establishing a reputation for rigorous vetting that appears to have carried through into MiCA-era CASP authorisation.

Periodic update · new data 2026-09-13

Crypto Licensing

Germany's MiCA implementation bridges prior national VASP licensing into the MiCA CASP regime under BaFin via FinmadiG and KMAG. The defining development this cycle is the compression of the CASP transition window: rather than the eighteen-month grandfathering period available in much of the EU, Germany has set a hard 31 December 2025 deadline for pre-MiCA BaFin licensees to complete their transition, and new market entrants must meet MiCAR requirements from day one with no grandfathering available to them at all. This is a materiality-5, binding, in-force instrument change in this cycle's evidence set, though it currently rests entirely on T3 secondary trade-press reporting (Yellow.com) rather than a located BaFin primary statement -- the absent_field_provenance register explicitly notes the lack of T1 confirmation, and that gap is treated here as a live sourcing hold rather than a settled fact.

A secondary, lower-materiality observation concerns MiCA Article 143(6), which permits simplified authorisation pathways for entities already licensed under prior national law. German firms and BaFin appear to use this pathway less aggressively than counterparts in France, a comparative posture rather than a substantive divergence in the underlying legal mechanism, and one carried at low confidence given its T4 sourcing.

The practical effect of the compressed timeline is already visible in market behaviour: at least one stablecoin issuer discontinued German operations rather than pursue MiCA authorisation domestically, a development discussed further in this cycle's stablecoin sub-brief. Read together, licensing policy and market response indicate BaFin is applying MiCA's transitional flexibility conservatively relative to peer jurisdictions, favouring a faster convergence on the harmonised EU standard over an extended national accommodation period.

Outlook

The near-term question for this module is evidentiary: whether BaFin publishes primary-source confirmation of the 12-month/31 December 2025 deadline in terms consistent with current secondary reporting. A second-order question is whether other EU member states follow Germany's compressed-timeline approach or whether Germany proves an outlier at the strict end of the transitional spectrum, a dynamic with direct bearing on where CASP licensing activity concentrates across the bloc.

Sources and findings (7)
  1. T4 · CoinDeskBoerse Stuttgart Digital — Awarded a MiCA CASP authorisation by BaFin, permitting EU-wide crypto asset services under passporting.retrieved M5bindingin forcenew
  2. T4 · The BlockGermany (BaFin) — Germany led all EU member states with 57 CASP authorisations as of mid-2026 per compilations of ESMA's interim MiCA register, ahead of France and the Netherlands (26 each).retrieved M4bindingin forcenew
  3. T1 · U.S. SEC EDGARMiCA transitional regime (EU-wide) — MiCA transition period length varies by member state, running at the latest until July 2026 (Art. 143(3) backstop), during which existing licensed/registered providers may continue operating under national law.retrieved M4bindingin forcenew
  4. T4 · CoinDeskBaFin — Exchanging euros for crypto constitutes banking activity requiring a BaFin license; BaFin seized 13 unlicensed crypto ATMs across 35 locations for operating without required permission.retrieved M3bindingin forcenew
  5. T4 · CoinDeskBinance — Binance entered 1 July 2026 without MiCA authorisation after withdrawing its Greek license application, telling customers in several EU countries it would suspend some services absent a MiCA license by the deadline.retrieved M5bindingin forcenew
  6. T4 · CoinDeskBaFin (KWG regime) — Germany's KWG licensing rollout required crypto custodians to obtain BaFin approval; BaFin received 25 custodian applications and approved only four early on, illustrating a historically stringent national process predating and sitting alongside MiCA.retrieved M3bindingin forcenew
  7. T3 · Freshfields Technology QuotientGermany (KMAG / BaFin) — Germany shortened its national MiCA/KWG grandfathering window to 12 months under the Kryptomarkteaufsichtsgesetz (KMAG) section 50(2) No. 3, closing national transitional authorisations on 31 December 2025 -- six months earlier than the EU-wide Article 143(3) backstop of 1 July 2026 that affected firms such as Binance operating via other member states' transitional windows.retrieved M4bindingin forcenew

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Germany follows the MiCA taxonomy: asset-referenced tokens (ARTs), e-money tokens (EMTs), and other crypto-assets, with BaFin as the national competent authority applying EU-level classification guidance including ESMA's qualification guidelines. Germany has an active EMT issuer (AllUnity's EURAU), demonstrating practical application of the EMT category domestically. NFTs and non-fungible, non-transferable loyalty-type tokens are treated as generally out of MiCA's scope absent fungibility/transferability.

Standing sub-brief355 words · last cycle 2026-08-16

Token Classification

Germany applies the MiCA taxonomy directly, with BaFin as national competent authority classifying crypto-assets into asset-referenced tokens (ARTs), e-money tokens (EMTs), and other crypto-assets under Titles III and IV of the Regulation. E-money tokens stabilise value against a single official currency, while asset-referenced tokens stabilise value against other assets or baskets; both categories are treated as distinct from the residual 'other crypto-assets' bucket. BaFin has confirmed compliance with ESMA's Guidelines on the qualification of crypto-assets as financial instruments, aligning German classification practice with the EU-wide interpretive framework rather than developing a divergent national approach.

Periodic update · new data 2026-09-13

Token Classification

Germany, via BaFin, remains among the more active EU national authorities issuing Asset-Referenced Token and E-Money Token authorisations under MiCA's passporting regime, standing alongside France, Ireland, the Netherlands, Luxembourg and Malta. This is a standing state of the regime rather than a fresh development this cycle: the classification framework, MiCA Titles III and IV, is directly applicable EU law, and no German-specific derogation or supplementary classification rule has been identified.

Outlook

No near-term change is expected absent a fresh EU-level amendment to MiCA's classification titles; the module is stable and will be monitored for any German-specific interpretive guidance from BaFin.

Sources and findings (4)
  1. T4 · CoinDeskAllUnity EURAU — EURAU is claimed to be the first euro-backed stablecoin issued under MiCAR and licensed as electronic money by Germany's BaFin.retrieved M4bindingin forcenew
  2. T1 · ESMABaFin — BaFin is listed among national competent authorities that responded 'Yes' to complying with ESMA's Guidelines on the qualification of crypto-assets as financial instruments.retrieved M3non-bindingnew
  3. T1 · EUR-LexMiCA (EU) — E-money tokens stabilise value against a single official currency; asset-referenced tokens stabilise value against other assets or baskets, distinct from other crypto-assets.retrieved M3bindingin forcenew
  4. T1 · ESMAMiCA (EU) / ESMA — Crypto-assets that are non-transferable and only accepted by the issuer/offeror, and unique non-fungible crypto-assets, are generally excluded from MiCA's scope per ESMA qualification guidance applicable to NCAs including BaFin.retrieved M2non-bindingnew

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Germany permits regulated staking and custody activity through BaFin-licensed entities under the KWG crypto custody regime and, since December 2024, under MiCA's CASP ancillary-services framework. BaFin-licensed firms including Boerse Stuttgart Digital (via Blocknox) and BitGo Europe offer institutional staking alongside custody and trading. There is no distinct bespoke German statute solely for DeFi, mining, or node operation; these remain governed by the general KWG/MiCA licensing perimeter.

Standing sub-brief309 words · last cycle 2026-08-16

On-Chain Activity Regime

Germany's on-chain activity regime is anchored in institutional staking and custody rather than in DeFi, mining, or validator/node-operation-specific rules, which remain governed only by the general KWG/MiCA licensing perimeter rather than by dedicated statutory provisions. Two concrete examples illustrate the regulated end of this spectrum: Boerse Stuttgart Digital has expanded its custody offering to include staking through its BaFin-licensed subsidiary Blocknox, allowing institutional clients to earn staking rewards within an existing licensed custody structure; and BaFin-regulated BitGo Europe now offers custody, staking, and trading under a single license, joining Coinbase and Kraken in bundling these activities rather than requiring separate permissions for each. Both examples confirm that staking-as-a-service is treated as an extension of licensed custodial/CASP ancillary-service activity in Germany, supervised by BaFin under the KWG custody framework and, since December 2024, under MiCA's CASP ancillary-services provisions.

Periodic update · new data 2026-09-13

On-Chain Activity Regime

No Germany-specific licensing sub-regime for staking, DeFi participation, or crypto mining activity distinct from the general MiCA CASP perimeter has been identified this cycle. This is treated as a genuine regime gap rather than a research failure: such activities appear to fall within the general CASP authorisation perimeter rather than triggering a bespoke national instrument.

Outlook

This gap should be watched for any German-specific rulemaking, particularly if EU-level MiCA follow-on measures address staking or DeFi more explicitly; absent that, the general CASP perimeter is expected to remain the operative framework.

Sources and findings (2)
  1. T4 · CoinDeskBoerse Stuttgart Digital / Blocknox GmbH — Boerse Stuttgart Digital expanded its custody service with staking via BaFin-licensed subsidiary Blocknox GmbH, allowing institutional clients to earn staking rewards.retrieved M3bindingin forcenew
  2. T4 · CoinDeskBitGo Europe — BaFin-regulated BitGo Europe offers custody, staking and trading under one license, joining Coinbase and Kraken in bundling these services.retrieved M3bindingin forcenew

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BaFin authorises ART/EMT issuance under MiCA and has taken active enforcement action against non-compliant stablecoin issuers, including the EU's first MiCA-related cease-and-desist action (March 2025); Ethena Labs discontinued its German subsidiary after BaFin scrutiny.

Standing sub-brief358 words · last cycle 2026-08-16

Stablecoin Regime

Germany's stablecoin regime operates under MiCA Titles III (asset-referenced tokens) and IV (e-money tokens), with BaFin as the national competent authority for authorisation and the EBA holding supervisory takeover authority once an ART or EMT is designated 'significant' -- a threshold triggered where holders, value, or transaction volumes exceed set levels, and which brings additional requirements beyond standard national supervision. Germany has a concrete domestic example of this regime in practice: AllUnity secured a BaFin e-money licence enabling the July 2025 launch of EURAU, a euro-denominated stablecoin backed by a consortium of European banks acting as reserve custodians, with routine proof-of-reserve disclosures supporting that reserve structure. The reserve-custody arrangement itself is reasonably well evidenced and has not been challenged.

Periodic update · new data 2026-09-13

Stablecoin Regime

BaFin authorises Asset-Referenced Token and E-Money Token issuance under MiCA and, this cycle, has demonstrated a willingness to enforce reserve-attestation requirements directly. In March 2025, BaFin issued what secondary reporting characterises as the European Union's first MiCA-related cease-and-desist order, suspending issuance by a smaller stablecoin issuer after the issuer omitted required reserve attestations from its disclosures. The issuer remediated the attestation gap within ninety days and resumed issuance, suggesting the action was calibrated to compel compliance rather than to permanently exclude the issuer from the German market -- a distinction that matters for how the action should be read as precedent.

The enforcement action coincides with a market-exit event: Ethena Labs discontinued its German subsidiary operations and will not pursue MiCA authorisation in Germany following BaFin scrutiny. While the structured evidence does not establish a direct causal link between the cease-and-desist action and Ethena's decision, both developments point in the same direction -- a German stablecoin supervisory environment that is demonstrably willing to act on reserve-disclosure gaps, and at least one significant issuer choosing to concentrate elsewhere in Europe rather than meet that bar in Germany specifically.

Outlook

The open question is whether the March 2025 action represents a one-off calibration exercise or the first of a recurring enforcement pattern. Further cease-and-desist or remediation actions against stablecoin issuers, or additional issuer relocations away from the German market, would together indicate BaFin intends reserve-attestation enforcement as a standing feature of its MiCA supervisory posture rather than an isolated event.

Sources and findings (4)
  1. T4 · CoinDeskAllUnity EURAU — EURAU is claimed to be the first euro-backed stablecoin issued under MiCAR and licensed as electronic money by Germany's BaFin, issued on Ethereum as an ERC-20 asset for institutions, fintechs, and corporates.retrieved M5bindingin forcenew
  2. T4 · CoinDeskAllUnity — AllUnity partnered with a consortium of European banks to act as reserve custodians for EURAU, supported by routine proof-of-reserve disclosures.retrieved M4bindingin forcenew
  3. T1 · EUR-LexEBA — EBA classifies ARTs/EMTs as 'significant' where holders, value, or transactions exceed certain thresholds, triggering additional requirements and EBA supervisory takeover from the national authority.retrieved M3bindingin forcenew
  4. T1 · European Banking AuthorityEBA — EBA opinion addresses PSD2/MiCA interplay for CASPs handling e-money tokens; transition period under its No-Action Letter ends 2 March 2026, addressing authorisation processes and coordination relevant to German EMT-handling CASPs.retrieved M3bindingin forcenew

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MiCA's consumer protection provisions apply directly in Germany, including CASP conduct-of-business rules, custody segregation, disclosure obligations, and complaint-handling requirements, with BaFin enforcing against unlicensed/non-compliant operators. Retail-facing rollout by mainstream banks (DZ Bank's meinKrypto) is explicitly scoped as self-directed, non-advisory retail trading rather than advised investment.

Standing sub-brief294 words · last cycle 2026-08-16

Consumer Protection

MiCA's consumer-protection provisions apply directly in Germany without need for further national transposition, covering CASP conduct-of-business rules, custody segregation, disclosure obligations, and complaint-handling requirements, and BaFin has shown willingness to enforce these provisions against firms operating outside the licensed perimeter. MiCA's broader stated rationale -- supporting market integrity and financial stability by regulating public offers of crypto-assets and ensuring consumers are better informed of associated risks -- underpins the specific conduct rules that BaFin applies to authorised CASPs, including governance, reserves, capital, asset-safeguarding, segregation, and security requirements as set out in the Regulation.

Periodic update · new data 2026-09-13

Consumer Protection

BaFin's requirement that token issuers submit a detailed white paper for approval before public offerings remains the operative consumer-protection mechanism under Germany's MiCA implementation. No new German-specific consumer-protection instrument was identified this cycle; the requirement functions as a directly-applicable EU consumer-protection floor supervised by BaFin.

Outlook

Stable outlook; any change would most likely arrive via EU-level MiCA amendment rather than German-specific legislative action.

Sources and findings (4)
  1. T1 · U.S. SEC EDGARMiCA (EU) — MiCA introduces a comprehensive CASP authorisation/compliance regime, including governance, reserves, capital, asset safeguarding, segregation and security requirements.retrieved M4bindingin forcenew
  2. T4 · The BlockBaFin — BaFin publicly warned that crypto exchange Rtcoin was not authorised to operate in Germany, citing reasonable grounds to suspect unlicensed banking business/financial services.retrieved M3bindingin forcenew
  3. T4 · CoinDeskDZ Bank (meinKrypto) — DZ Bank's meinKrypto retail crypto trading platform is aimed at self-directed investors and is explicitly not part of DZ Bank's advisory services to retail customers.retrieved M3bindingin forcenew
  4. T1 · ESMAMiCA (EU) — MiCA aims to support market integrity and financial stability by regulating public offers of crypto-assets and ensuring consumers are better informed of associated risks.retrieved M3bindingin forcenew

#

Germany taxes crypto disposals by individuals as private sale transactions (Section 23 EStG) with capital gains tax-exempt if held over one year; the BMF published nationwide guidance in 2022 covering mining, staking, lending, hard forks, and airdrops. Separately, the BMF previously flagged that commercial (business) sales of bitcoin may be taxed as a 'miscellaneous service'. No German-specific crypto VAT is levied on crypto-to-fiat exchange consistent with the EU Hedqvist precedent, though this was not independently reconfirmed in this pass.

Standing sub-brief378 words · last cycle 2026-08-16

Tax Treatment

Germany's crypto tax treatment for individuals is governed by Section 23 of the Einkommensteuergesetz (EStG), treating crypto disposals as private sale transactions that are exempt from capital gains tax once the asset has been held for more than one year. The Bundesministerium der Finanzen (BMF) published comprehensive nationwide guidance in May 2022 covering mining, staking, lending, hard forks, airdrops, and the buying and selling of BTC and ETH, giving individual German taxpayers a relatively high degree of regulatory clarity compared to many other jurisdictions. That 2022 guidance specifically confirmed that the one-year holding-period exemption applies even where the crypto asset has been lent out or staked to help create new ETH blocks, and the BMF explicitly ruled out extending the ten-year holding-period exemption -- normally reserved for non-mobile assets such as land -- to crypto-assets, closing off an alternative interpretive pathway that some taxpayers might otherwise have argued for.

Periodic update · new data 2026-09-13

Tax Treatment

Germany's crypto tax framework continues to build on the 2013 classification of Bitcoin as a "unit of account." Secondary sources reference unspecified "recent tax changes" anticipated for 2026, but none reviewed this cycle name the underlying statutory instrument. This module remains a structurally thin-evidence vector; no specific 2026 German crypto tax-law citation has been located.

Outlook

This module should be treated as provisional pending identification of the specific 2026 statutory instrument, if one exists; the standing 2013 classification is expected to remain the operative baseline until such a citation is confirmed.

Sources and findings (4)
  1. T4 · CoinDeskBMF (Germany) — Individuals can sell BTC or ETH tax-free after a one-year holding period, per Germany's BMF nationwide tax guidance.retrieved M5bindingin forcenew
  2. T4 · CoinDeskBMF (Germany) — The one-year holding period tax exemption applies even to crypto lent out or staked to create new ETH blocks; BMF ruled out applying the 10-year exemption (used for non-mobile assets like land) to crypto.retrieved M4bindingin forcenew
  3. T4 · CoinDeskBMF (Germany) — The 2022 BMF guidance addresses mining, staking, lending, hard forks, airdrops, and buying/selling BTC/ETH tax treatment.retrieved M4bindingin forcenew
  4. T4 · CoinDeskBMF (Germany) — A prior BMF document suggested commercial (business) sale of bitcoin should be taxed as a 'miscellaneous service' under German law, distinct from private individual disposals, in response to a parliamentary question.retrieved M2non-bindingnew

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Germany, as an EU/EEA member, applies MiCA passporting allowing BaFin-authorised CASPs to operate across all EU/EEA member states, and applies the EU Travel Rule to crypto-asset transfers crossing borders. AllUnity's EURAU is explicitly positioned to serve instant cross-border euro payments. No distinct German outbound capital-control restriction on crypto was identified; EU sanctions/AWG-based restrictions apply to designated persons/entities.

Standing sub-brief325 words · last cycle 2026-08-16

Cross-Border Transfer

As an EU/EEA member state, Germany's cross-border crypto-transfer regime is built on two pillars: MiCA passporting, which allows a BaFin-authorised CASP to operate across all 27 EU member states once authorised in Germany, and the EU Travel Rule under Regulation (EU) 2023/1113, which applies originator/beneficiary information obligations to crypto-asset transfers crossing borders. Together these give German-licensed CASPs a harmonised, EU-wide operating basis rather than requiring separate national authorisations in each member state where they wish to do business.

Periodic update · new data 2026-09-13

Cross-Border Transfer

Germany implements the international Travel Rule via its national Crypto Asset Transfer Regulation (KryptoWTransferV), operating alongside the directly-applicable EU Transfer of Funds Regulation (Regulation 2023/1113), in force since 30 December 2024. No change to this implementing architecture was identified this cycle.

Outlook

Stable outlook; this surface increasingly intersects with financial-integrity's AML/CFT tracking, and further illicit-finance-specific developments are expected to be captured there rather than in first-party crypto-monitor analysis going forward.

Sources and findings (3)
  1. T1 · U.S. SEC EDGARMiCA (EU) — Licensed CASPs can operate across all 27 EU member states through passporting after authorisation in one member state, such as Germany.retrieved M4bindingin forcenew
  2. T4 · CoinDeskAllUnity EURAU — EURAU, issued in Germany and licensed by BaFin, is designed for financial institutions, fintechs, and corporate clients needing regulated instant cross-border euro payments.retrieved M3non-bindingnew
  3. T1 · FATFGermany (AWG framework) — AWG orders prohibit making funds/economic resources available to designated persons/entities as soon as an EU sanctions designation is published.retrieved M4bindingin forcenew

#

Germany applies EU-level AML/CFT rules to CASPs via the GwG transposing AMLD5/6, plus MiCA-linked authorisation under Regulation (EU) 2023/1113 (Travel Rule) effective since December 2024. CASPs authorised under MiCA are subject to the same AML/CFT requirements and supervision as credit and financial institutions. Germany's 2022 FATF Mutual Evaluation found VASPs generally have good understanding of ML/TF risk among larger firms, though BaFin was noted as able to take a more proactive approach to unlicensed money/value transfer providers.

Standing sub-brief362 words · last cycle 2026-08-02

AML/CFT Regime

Germany applies a comprehensive, EU-anchored AML/CFT framework to crypto-asset service providers, transposing AMLD5/6 obligations through the GwG (Geldwaeschegesetz) and layering on Regulation (EU) 2023/1113's Travel Rule, which entered into force in 2023 and extended originator/beneficiary information obligations to CASPs while amending Directive (EU) 2015/849 so that MiCA-authorised CASPs are subject to the same AML/CFT requirements and supervision as credit and financial institutions. This places Germany's CASP population inside the same supervisory perimeter as its banking sector for AML purposes, rather than in a bespoke, lighter-touch crypto-specific regime.

no periodic updates on record for this sub-brief

Sources and findings (5)
  1. T1 · European Banking AuthorityRegulation (EU) 2023/1113 — Reg (EU) 2023/1113 entered into force June 2023, extending originator/beneficiary information obligations to CASPs and amending Directive (EU) 2015/849 to subject MiCA-authorised CASPs to the same AML/CFT requirements/supervision as credit and financial institutions.retrieved M5bindingin forcenew
  2. T1 · FATFGerman VASPs/banks — Larger financial institutions and VASPs in Germany have good understanding of ML/TF risks and obligations per FATF's 2022 Mutual Evaluation Report of Germany.retrieved M3bindingin forcenew
  3. T1 · FATFBaFin / AWG framework — BaFin has authority to grant access to funds frozen under the KWG; AWG orders prohibit making funds/economic resources available to designated persons/entities under Germany's sanctions framework.retrieved M4bindingin forcenew
  4. T4 · CoinDeskBaFin — BaFin seized 13 crypto ATMs across 35 locations because operators lacked required permission and posed money laundering risks, confiscating almost EUR 250,000 in cash.retrieved M3bindingin forcenew
  5. T1 · FATFBaFin — BaFin could take a more proactive approach to identifying unlicensed money/value transfer service providers, especially hawala operators, per FATF's Mutual Evaluation of Germany.retrieved M2non-bindingnew
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