TWINFIN ← Back to site

— Legal / Compliance

Compliance

Last updated: May 2026 · Version 2.0

Pre-launch notice. Twinfin is not currently authorised by CySEC. The framework below describes the controls Twinfin is building and will operate from the date the relevant authorisations are granted. Each control is marked operational today, in design, or from authorisation. Nothing on this page is an offer of services or a representation that any authorisation has been granted.

Twinfin Ltd. is building a payment and crypto settlement platform on the MiCA CASP and EMI authorisation pathways from Cyprus. This page summarises the regulatory frameworks we are designing toward and the controls we maintain. It is intended for partners, customers, and regulators who want a single reference point.

1. Regulatory pathway

2. Interim fiat partnership

Until Twinfin's own EMI authorisation is granted, fiat payment services will be delivered under an agency arrangement with a regulated EMI partner. All fiat flows, safeguarding, and settlement will be performed on the partner's regulated ledger, under their authorisation, in segregated accounts in accordance with EMI safeguarding rules. The MiCA CASP scope, once granted, will cover the crypto side in parallel. The named partner will be disclosed in customer Order Forms prior to onboarding.

3. AML / KYC program — design (operational from authorisation)

The pillars below describe the AML/KYC programme Twinfin is designing to operate as an obliged entity once authorisations are granted. Until then, Twinfin is not yet an obliged entity under Cyprus AML law and does not file Suspicious Activity Reports.

Customer due diligence
Identity & verification
Identity document verification, liveness, address proof, UBO mapping. Corporate onboarding layered with UBO declarations and source-of-funds / source-of-wealth checks.
Screening
Sanctions & PEP
Continuous sanctions screening (EU, UN, UK, OFAC lists), PEP and adverse-media checks. Blockchain analytics on all crypto flows via Chainalysis.
Monitoring
Transaction monitoring
Rules-based plus behavioural analytics, risk scoring, and case management. From authorisation, suspicious activity will be reported to MOKAS within statutory timeframes.
Risk-based approach
Enhanced due diligence
EDD triggers for high-risk jurisdictions, high-volume activity, privacy-preserving assets, or unusual counterparty patterns.

4. Governance & controls

5. Custody & safeguarding

6. Security

7. Reporting & transparency

8. Forward-looking statements

Statements about future authorisations, services, partners, controls, and timelines are forward-looking. They are contingent on regulatory approvals and may change. Nothing on this page is an offer of services or a representation that any authorisation has been granted.

9. Contact

Compliance queries: compliance@twinfin.tech. MLRO designate (statutory MLRO from authorisation): mlro@twinfin.tech — Sergey Semeniuk. Data Protection Officer: dpo@twinfin.tech.

© 2026 Twinfin Ltd. All rights reserved.