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MiCA Title V CASP authorisation is fully in force with the Central Bank of Ireland as national competent authority and an active grant pipeline (e.g. Payward/Kraken). This cycle corrected the transitional/grandfathering deadline from the erroneously-applied EU 18-month backstop (1 July 2026) to Ireland's shortened 12-month Article 143(3) national discretion (30 December 2025), and corrected the roster of CBI-authorised example entities to exclude Ripple (Luxembourg CSSF) and Crypto.com (Malta MFSA).
The most consequential development this cycle is a correction to the transitional 'grandfathering' arrangement available to firms that were operating under Ireland's pre-MiCA Virtual Asset Service Provider registration regime. The prior baseline had applied the European Union's default eighteen-month transitional backstop, which would have run to 1 July 2026. Corrected sourcing indicates Ireland instead exercised its Article 143(3) national discretion to shorten this window to twelve months, running from the MiCA CASP regime's 30 December 2024 commencement, meaning the transitional cover for previously-registered VASPs closed on 30 December 2025 rather than mid-2026 - or closed earlier still for any firm granted or refused CASP authorisation before that date. This correction is held at Probable rather than Confirmed confidence, and its source tier was downgraded from Tier 1 to Tier 3, because it currently rests on law firm client-alert trackers rather than a located Irish government transposing instrument. Locating that primary Irish source remains an open sourcing priority.
A second correction addresses the roster of entities used to exemplify Central Bank of Ireland CASP authorisation. Ripple and Crypto.com had previously appeared grouped among Irish-authorised examples; corrected sourcing establishes that Ripple's full EU MiCA CASP licence, announced 6 July 2026, was issued by Luxembourg's CSSF, and that Crypto.com's MiCA authorisation is associated with Malta's MFSA. Neither is authorised by the Central Bank of Ireland, and the module narrative has been corrected to attribute Payward/Kraken (and, pending re-verification, Coinbase) as the actual examples of Irish CASP authorisation grants. Kraken's Irish CASP authorisation is itself held at Probable confidence: it currently rests on a single trade-press source without corroboration from a Tier-1 or Tier-2 register such as ESMA's list of authorised CASPs or the Central Bank's own authorisation register, though a Tier-3 tracking source has been identified as a potential future corroborating source and flagged for follow-up.
Historical context persists alongside the current MiCA-era picture: Coinbase was registered as a Virtual Asset Service Provider with the Central Bank of Ireland under the Criminal Justice (Money Laundering and Terrorist Financing) Act 2010 prior to the MiCA regime taking effect, a non-binding historical fact retained for continuity. Separately, a non-binding, forward-looking institutional development has emerged in the form of an ECB-backed European Commission proposal that would shift direct supervision of large, cross-border CASPs away from national competent authorities such as the Central Bank of Ireland and toward ESMA. This proposal is not yet enacted, remains subject to negotiation, and no precise implementation timeline is available in sourcing; no dated regulatory-horizon entry has been created for it this cycle in order to avoid asserting a date that has not been confirmed.
Taken together, the licensing picture for Ireland is one of a fully operative, EU-harmonised authorisation regime with an active grant pipeline, overlaid by two corrections this cycle that tighten precision on dates and entity attribution rather than signalling any change in the underlying regulatory posture.
Outlook
The immediate research priority is confirming the shortened transitional deadline against a Tier-1 Irish source - most plausibly a Department of Finance instrument or Central Bank of Ireland notice - given the current reliance on secondary law-firm commentary. A second priority is corroborating the Central Bank's CASP grant history, particularly for Kraken, against the Central Bank's own public register or ESMA's consolidated CASP list, which would allow the confidence downgrade applied this cycle to be reversed. The ECB-backed proposal to centralise large cross-border CASP supervision under ESMA is worth continued monitoring: should it move from proposal to enactment, it would represent a structural change in which authority Irish-facing CASPs and their EEA-wide passported activities answer to, though nothing in this cycle's sourcing suggests that shift is imminent.
Crypto Licensing
Ireland's crypto-licensing regime is built on Regulation (EU) 2023/1114 (MiCA) as implemented via SI 607/2024, with the Central Bank of Ireland as the sole national competent authority for CASP authorisation. Any firm providing crypto-asset services from Ireland requires CASP authorisation from the CBI, a confirmed, binding, in-force requirement carrying the highest materiality rating in this cycle's evidence set. The transitional period for firms that had pre-existing VASP registration under Ireland's earlier AML-based registration regime closed on 30 December 2025 — a window that ran six months shorter than in several peer EU Member States, meaning Irish-based VASPs faced comparatively earlier pressure to complete a full CASP application or exit the market.
As of 21 August 2026, 12 CASPs are authorised by the CBI. The regime is now fully operational in the sense that authorisation, supervision and disclosure mechanisms are all functioning, but new entrants face a full CASP application process with substantive governance, prudential and fit-and-proper requirements rather than a lighter registration-only pathway. This is the basis for treating the module's underlying posture as one of an established but demanding entry bar: the framework is directly applicable EU law with no domestic transposition ambiguity, but the practical burden of a from-scratch CASP application is real for a new entrant, distinct from the now-closed lighter transitional route available to incumbents.
Outlook
The near-term question for this module is whether the 12-firm authorised cohort grows meaningfully as prospective new entrants complete full CASP applications, or whether Ireland's CASP register remains structurally concentrated. Given the comparatively short transitional window Ireland set relative to peers, it is plausible that firms which could not complete conversion in time either exited the Irish market or sought authorisation via other EEA competent authorities, a dynamic worth monitoring in subsequent cycles.
1 earlier distinct update(s)
Crypto Licensing
Ireland's Crypto-Asset Service Provider authorisation regime under MiCA is now the sole route to lawful crypto-asset service provision in the jurisdiction. Since the VASP registration regime closed on 30 December 2024, providers must hold CASP authorisation from the Central Bank of Ireland to operate, a high-confidence, standing requirement corroborated by market-facing legal commentary. Ireland's own transition away from the legacy VASP framework closed within a shortened-transition cohort of Member States — alongside Finland, Lithuania, Germany, the Netherlands, Latvia, Hungary and Austria — ahead of jurisdictions that retained the fuller transition runway to mid-2026, though the exact Irish close date carries a minor unresolved cross-source ambiguity this cycle.
The regime's practical operation is illustrated by the Central Bank of Ireland's grant of a dual authorisation to Confirmo Limited: MiCA CASP status in December 2025, followed by Payment Institution authorisation in April 2026, allowing Confirmo to passport both licences across the EEA from its Irish base. This is probable-confidence, single-trade-press-sourced intelligence, but it is consistent with the broader confirmed pattern of an actively issuing Irish CASP regime. The combination of CASP and payment-institution status in a single Irish-authorised entity is a template that other digital-asset firms domiciled in Ireland may look to replicate, given the EEA-wide passporting advantage on offer.
Outlook
Watch for a Central Bank of Ireland primary bulletin resolving the exact grandfathering close date, and for additional dual-authorisation grants that would confirm the Confirmo pattern as a broader Irish market trend rather than a single illustrative case.
Sources and findings (8)
- Unsourcedsource not recorded — Confirmo Limited dual MiCA CASP and PI authorisation from CBI, enabling EEA-wide passporting.
- Unsourcedsource not recorded — Confirmo Limited dual MiCA CASP and PI authorisation from CBI, enabling EEA-wide passporting.
- T2 · Official Journal of the European Union / EUR-LexMiCA Title V CASP authorisation requirement — Legal persons or undertakings intending to provide crypto-asset services in Ireland must obtain CASP authorisation from the Central Bank of Ireland under MiCA Title V.retrieved M5bindingin force
- T3 · Arthur Cox LLPMiCA Article 143(3) transitional/grandfathering regime (Ireland) — 30 December 2025 - Ireland exercised its Article 143(3) national discretion to shorten the MiCA transitional/grandfathering period to 12 months (running from 30 December 2024), rather than the EU-wide 18-month backstop of 1 July 2026; VASPs not authorised as CASPs by that Irish-specific date lost transitional cover, or earlier upon grant/refusal of MiCA authorisation.retrieved M4bindingin forceupdated
- T4 · The BlockCentral Bank of Ireland CASP authorisation pipeline — Multiple CASPs including Payward/Kraken, enabling passporting of crypto-asset services across up to 30 EEA member states from an Irish CASP licence.retrieved M4bindingin forceupdated
- T4 · The BlockCoinbase and Ripple (pre-MiCA VASP registrants) — Virtual Asset Service Providers with the Central Bank of Ireland under the Criminal Justice (Money Laundering and Terrorist Financing) Act 2010, prior to MiCA CASP authorisation.retrieved M2non-binding
- T4 · The BlockEC/ECB CASP-supervision centralisation proposal — ESMA, away from national competent authorities such as the Central Bank of Ireland; the proposal is non-binding pending negotiation and not yet enacted.retrieved M3non-binding
- T3 · Ripple Labs Inc.Ripple and Crypto.com licensing attribution — Luxembourg's CSSF (Ripple, full EU MiCA CASP licence announced 6 July 2026) and Malta's MFSA (Crypto.com), respectively - neither is authorised by the Central Bank of Ireland, correcting an erroneous grouping of these entities among Irish CASP examples in the crypto_licensing narrative.retrieved M3non-bindingnew