UK Gambling License: Complete Application Guide & UKGC Requirements 2025 GamingCompliance
If No is selected What do you think the maximum committed payment limit should be for the following machine categories (£)? Shown if No is selected What do you think the maximum deposit limit should be for the following machine categories (£)? (Optional response)Sliding scale (Mandatory response)£20 / £50 / £100 / No Limit / Other / I don’t know The current maximum amount of cash that can be inserted into a machine at one time is £50 as this is the highest denomination of bank note. Regulation 7 ensures that there is a maximum value that players can deposit onto a machine in a single action.
Plus, you’ll get access to ample responsible gambling tools to keep your gaming habits under control. Whatever your answer is, you should always choose British gambling sites running under a valid licence from the UKGC. Almost all UK casinos offer top-notch desktop sites you can access through your browser.
Step 1: Look for the UKGC Logo
A series of key proposals specifically relating to the land-based gambling sector were outlined in Chapter 6 of the White Paper, including measures to adjust outdated regulatory restrictions applying to the sector. The Department for Culture, Media and Sport (DCMS) published its gambling White Paper (opens in new tab) in April 2023, which set out the previous government’s plans for modernising the regulation of the gambling sector. While they are also reputable bodies, they do not permit operators to accept UK players. In your quest, you may also come across operators that feature licenses from other bodies, like the Malta Gaming Commission and the Government of Curacao. The UKGC is the body tasked with regulating gambling activities in the UK. Later in this guide, we’ll list and explain some of the importance of playing on a licensed operator.
Safe online casinos in the UK always display licensing info in the site’s footer. Whether you’re a new or a regular online gambler, always make sure that you play on casinos with a UKGC licence. Under strict regulations from the authority, online casinos are bound to offer you fair outcomes on every spin or hand.Legal UK casinos also offer you better safety and security. Though offshore casinos aren’t explicitly illegal, they must have a licence from the Gambling Commission to accept players from the UK.You’ll also find complaints online about fixed or rigged games on casino sites. Currently, there are more than 175 online casinos licensed by the UKGC.
The size of Britain’s land-based casino sector has remained relatively flat in recent years, in contrast to an expanding online market. Restrictions on supply were originally viewed as an important protection in the 2005 Act, but in the light of the availability of remote gambling the characteristics of products and quality of monitoring have assumed greater importance. Do you want to stay compliant with UK gambling regulations?
For example, some options may place further emphasis on achieving commercial flexibility than achieving customer choice of higher and lower staking machines, and vice versa. The objective of providing customers with a genuine choice of higher and lower stake machines is understood in terms of providing a safeguard against increased gambling harm. Gaming machines account for a significant proportion of energy costs, a substantial number of which are sited by operators purely to meet the 80/20 rule. The Gambling Commission raised concerns that arcade and bingo venues have sought to maximise their number of Category B machines under the current rules by providing Category C and D gaming on tablets and in-fill machines.

All options set out in this section are expected to lead to an increase in the total number of Category B machines across bingo and arcade venues. Any measure that increases the availability of Category B machines risks leading to increased gambling harm for those playing on the machines. This data was collected by the Gambling Commission from two of the major gaming machine manufacturers in Great Britain, representing approximately 35% of the machines in the bingo and arcade market. For comparison, these rates are above the at-risk and problem gambling rates for bingo games (12.9% and 3.3% respectively), but lower than the at-risk and problem gambling rates for online gambling on slots, casino or bingo games (44.2 % and 8.7% respectively). Therefore, this option would need to be accompanied by a requirement that Category B3 machines in these venues would have certain player safety controls, such as staff alerts where a player meets spend or time limits. Without any requirement in law for a balanced offer, it is possible that this option would result in Category B machines becoming the only product on offer.

The application fees are assessed pursuant to a somewhat complex online calculation engine on the regulator’s website. There are numerous charitable lottery operators that operate under certain regulatory constraints. On 1 February 2024, the Gambling Commission granted Allwyn Entertainment Ltd a 10-year licence to operate the National Lottery, replacing the previous licensee Camelot. Persons wishing to enter the British land-based casino market have typically purchased existing businesses. There are no tender or bidding processes, other than in the occasional case of land-based casino franchises being proposed.
The majority of responses stated that there should be the ability for customers to set voluntary limits on gaming machines accepting direct cashless payments. The vast majority of responses to the consultation agreed that card account verification should be required if direct debit card payments are permitted on gaming machines. We propose to align the lifting of the prohibition on direct debit card payments on gaming machines and the introduction of player protections within regulations with the Gambling Commission’s review of the Gaming Machine Technical Standards.
For UK players, a UKGC licence is the line between a protected experience and a gamble on the casino itself. You may see offshore casinos advertised as “non-GamStop” or promising bigger bonuses with fewer checks. For more on how these rules shape bonuses and play, see our casino bonuses guide and our responsible gambling page. See our top UK casinos or full reviews for casinos we’ve already checked.
(Mandatory response)Increased revenue / No impact Decreased revenue / I don’t know (Mandatory response)Significant increase / Slight increase / No impact / Slight decrease / Significant decrease / I don’t know / Not applicable Casinos that are currently permitted to offer betting may site a maximum of 40 Self-Service Betting Terminals (SSBTs). Additionally, an objective of this measure is to reduce average session duration, which is linked to gambling harm.
Verify a UK casino licence FAQs

But there’s more, we go above and beyond merely listing new online casinos in the UK. You’ll often find that players are more drawn to new British casinos and the sites that offer a better live gaming casino not on gamstop experience. Welcome to online.casino UK, your online casino comparison guide for playing at online casinos in the UK.

Robust AML casino laws safeguard the industry’s integrity. Staff must be trained to spot these signs, and operators face fines or license loss for failing to report. These steps deter money laundering and protect against underage gambling, ensuring a secure environment for all players. Independent bodies like eCOGRA test RNGs and ensure games meet casino compliance standards. Tools like self-exclusion programs allow players to block themselves from gambling, while deposit and time limits help manage spending. This legislation governs every aspect of casino operations, from game mechanics to player interactions, and non-compliance risks hefty fines or license revocation.
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CAP Code Section 16 specifically addresses gambling advertising, including promotional terms. Online casino promotions, including welcome bonuses and free spins, are subject to ASA/CAP code requirements on clarity and non-misleadingness. Several of the highest-value UKGC fines in recent years arose from casino-specific failures around customer interaction obligations and anti-money laundering processes. Enforcement actions in this category tend to be costly.
- This means that many FEC operators do not currently have age-controlled areas and would have to invest in creating such an area for what is a low stake product.
- Depending on the type of casino licence an operator holds, they are able to site a different number of gaming machines, and may be bound by other restrictions including a maximum machine-to-table ratio and limitations on their size and non-gambling area.
- 455.Subsection (6) allows the Secretary of State to make regulations that impose mandatory conditions on casino premises licences in relation to equipment used for playing automated games of chance.
- Unlike the arcade sector, bingo clubs would not remove substantial numbers of tablets as these machines are primarily used for playing the game of bingo itself.
The outcome of that consultation is not yet known.An “economic crime levy” is payable by entities that are regulated for anti-money laundering purposes (currently only casinos in the UK) and which generate more than £10.2 million in UK revenue. This process of formal review – Section 116 of the Gambling Act 2005 – can result in almost any sort of penalty from the regulator, including suspension and revocation of licences. The Gambling Commission also has powers to launch criminal investigations and bring criminal proceedings against companies and individuals (and, as at the time of writing, there is a live prosecution brought by the Commission against a company for providing unlicensed gambling facilities to consumers in Britain, illustrating the Gambling Commission’s willingness to exercise such power). Personal licences tend to have a five-year duration and must, however, be renewed. This distinction cannot be ignored, and the regulator has no power to grant a licence that authorises both remote and land-based activity.
A flat additional annual fee of £3,750 is payable for a licence that combines two of game host (casino), game host (bingo) and betting host (virtual events only). A flat additional application fee of £1,570 is payable for a licence that combines two of game host (casino), game host (bingo) and betting host (virtual events only). A flat additional application fee of £1,256 is payable for a licence that combines two of game host (casino), game host (bingo) and betting host (virtual events only). Some gambling software businesses provide facilities for remote gambling by making their games available to customers of other operators. Online.casino, or O.C, is an international guide to gambling, providing the latest news, game guides and honest online casino reviews conducted by real experts. One of the main benefits of a national gambling licensing system is that it can help casino customers regulate their gambling within the system.
Allowing direct use of debit cards on gaming machines – made negative statutory instrument. This response provides non-remote gambling operators with clear notice of our intention to introduce the measures set out within this government response. This licence is for existing casinos which were originally licensed under the Gaming Act 1968 (opens in new tab).
We believe it is appropriate to increase these fees so that local authorities can cover the costs of their gambling licensing and enforcement activity, and increase activity where needed. They are therefore essential for ensuring that licensing authorities can properly regulate gambling in their areas. Note that the different fees currently charged for large and small casinos may be subject to review and harmonisation following the consultation outlined in Chapter 1. Therefore, venues such as pubs and members’ clubs will not be impacted by any increases to premises licence fees. The fees payable for gaming machine notifications and gaming machine permits are not in scope of this review.
The data used in this section reflects activity from April to September 2019 and relates to a single session on a particular machine. These rates are lower than the majority of other gambling products, although remain above the at-risk and problem gambling rates for ‘any gambling activity’. These represent transition costs which are expected to be incurred in the first few years of implementation, with exact timescales depending on the option taken forward. For example, as previously highlighted, evidence provided by Bacta shows that the average stake placed on a Category B3 game is between £1.20 – £1.30, compared to 40p – 60p for a Category C machine. Under such circumstances, and given the relatively higher stakes and losses set out in the rationale for change, there is the potential for gambling-related harm to increase.
This means that many FEC operators do not currently have age-controlled areas and would have to invest in creating such an area for what is a low stake product. Secondly, it would be costly as most family entertainment centres (FECs) are unlicensed and do not offer Category C products. This view was most strongly argued by licensing authorities. We will also work with the relevant trade bodies and operators to understand the feasibility of implementing voluntary test purchasing to help understand whether operators are abiding by this new restriction.
However, given the relatively low level of annual fees per premises at present, we consider this to be unlikely. It is possible that there will be wider costs if the increase in fees means that existing premises are unable to afford their total fees and close down as a result, or if new premises decide not to open due to the higher fees. We assume that licensing authorities will increase their current charged fees in proportion with the increase in the maximum fee cap. This would potentially generate an additional £2,340,000 in total annual funding for local authorities and increase average annual costs per premises by £251. This would potentially generate an additional £1,560,000 in total annual funding for local authorities and increase average annual costs per premises by £167. This would potentially generate an additional £780,000 in total annual funding for local authorities and increase average annual costs per premises by £84.
For example, safer gambling functionality is now available and widely used on many gaming machines. The remote casino operating licence will be required (instead of an ancillary licence), in addition to a non-remote casino operating licence if you intend to link terminals located in one casino premises to gaming that takes place in another set of premises (for example, touch-bet roulette terminals in one casino linked to a roulette wheel in another casino). What impact would Options 1, 2 and 3 have on the overall number of Category B, C and D gaming machines Please rank these options in order of preference, with 1 being your preferred option. Q4.a Do you perceive there to be any issue with allowing multiple casino licences in the same physical location if gaming machine entitlements are increased as proposed? While the Commission licenses operators and individuals, local authorities in England and Wales and licensing boards in Scotland license premises and have the power to place conditions on premises licences as well as to grant or refuse them. The GGY impact of this measure will depend on the take up of cashless gaming machines by operators, but also on the player protections.
This license also allows for online gambling operations. Please see the casino (host) licence for further details. This includes poker, roulette, blackjack and other casino games, as well as online slot games. Since January 2026, UKGC licensed operators are not allowed to offer wagering requirements of more than 10x for any bonus offers advertised.