The transition ended on 1 July 2026. What remains is perimeter, remediation and exit.

The CSSF transitional period for registered virtual asset service providers ended on 1 July 2026. A provider without a CASP authorisation may now only facilitate the orderly exit of its customers — conversion to fiat, transfer to an authorised provider or to the client's own wallet — and take on no new business. For firms on either side of the MiFID II line, the questions are which regime the instrument falls under, what to stop, and how to move clients without creating a second problem.

Who it is for

What you receive

How it runs

Indicatively two to four weeks for a perimeter memorandum; six to twelve weeks for an exit plan.

  1. Scoping call. Instruments, activities, customer base, current registration status.
  2. Engagement letter. Perimeter memorandum, remediation plan and/or exit plan as deliverables.
  3. Delivery. Classification → plan → customer communications → execution support.
  4. Review session; handover to counsel or the liquidator where the entity closes.

Where the text and practice diverge

Next step

Book a 20-minute scoping call.