Carey Olsen
  February 9, 2023 - Bermuda, Bermuda

Part III: Virtual asset service providers
  by Carey Olsen

Overview

A VASP will need:

A Part III VASP Licence is required unless an exemption is available under the LCF Law or the "Notice with respect to the disapplication of the requirement to hold a licence under section 40 of the Lending, Credit and Finance (Bailiwick of Guernsey) Law, 2022" (the "LCF Notice").

We have set out below a detailed analysis of the provisions of Part III of the LCF Law in relation to VASPs. To facilitate the analysis, we have prepared a Part III VASP Flowchart.

Carey Olsen comment

The LCF Law now provides regulatory certainty to virtual asset service providers wishing to use the Bailiwick to provide services to wholesale and institutional investors. With the spotlight currently on the use of blockchain technology in business operations and the issue and trading of crypto currencies, this is a welcome step forward for the Bailiwick in the digital space.

Detailed Analysis

A Part III VASP Licence is required where a person (either in or from within the Bailiwick) or a Bailiwick body (in or from within any place whatsoever):

any of the following services or activities:

"By way of business"

Under the LCF Law, a person who provides any service or carries on any activity shall (unless the Commission decides otherwise) be deemed to do so "by way of business" if that person receives any income, fee, emolument or other consideration in money or money's worth for doing so.

"Virtual asset"

Under the LCF Law, a "virtual asset" means a digital representation of value that can be digitally traded, or transferred, and can be used for payment or investment purposes.

The LCF Law specifically provides that virtual assets do not include digital representations of:

Exemptions

Section 21

Section 21(1) of the LCF Law provides that a Part III VASP Licence is not required by any person or class or description of person specified by regulations of the States of Guernsey Policy and Resources Committee.

No such regulations have yet been proposed or published.

LCF Notice

Section 40(1) of the LCF Law enables the Commission to exempt persons from the requirement to hold a licence under any part of the LCF Law. The LCF Notice provides the following exemptions in respect of the requirement to hold a Part III VASP Licence:

in the course of providing administration or management services, as services offered under that licence, to VASPs which either hold a Part III VASP Licence issued under the LCF Law or are exempt under the first paragraph above; and




Read full article at: https://www.careyolsen.com/briefings/part-iii-virtual-asset-service-providers