Gambling Commission Licensed Casinos
Securing UKGC licenses, prioritizing AML and responsible gambling, and staying updated on UK casino regulations are non-negotiable. Under the Proceeds of Crime Act 2002, casinos must implement strict AML casino laws to prevent illicit funds from entering the gambling ecosystem. Gaming machines and gambling software extract The UKGC is a strict licensor and regulator, meaning that licensed casinos must be provably safe.
Surrendering your licence, partial surrender and leaving the GB market

White-label casinos sharing a common platform tend to cluster at similar Domain Score levels, because they’re running on the same underlying infrastructure. Live dealer casinos stream real-time video of physical game tables, typically operated from studios in regulated jurisdictions. The UKGC requires that RNGs used in licensed casino products are tested and certified by an approved test house. A casino can operate within its licence in many respects while falling short on technical infrastructure or transparency. Each category sits within the same licence type but carries specific product obligations.
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If you contract with any of the participants who use your gambling facilities (that is if any of those participants are your own customers) then you will need this licence instead of the casino (game host) operating licence. This licence allows you to offer casino games to customers via a website, mobile phone, TV or other online service. The UKGC has banned credit card deposits in UK licensed casinos since 2020. Since April 2020, it’s been a rule that UKGC licensed casinos can’t accept credit card deposits. It’s worth noting that for some casinos, one operator can run a number of different brands under the same licence, these are often called white label sister sites.

However online casinos do have to operate fairly and adhere to a very strict code of conduct and should pay out withdrawals without long waiting times. This isn’t a legal requirement of the UKGC licence and the gambling laws in the UK don’t set a specific time frame for a casino to pay out winnings. One of the UKGC’s main objectives is to protect and help vulnerable casino players and the organisation sets out very strict guidelines for casinos in the UK to adhere to, which include gaming limits, time out periods and self exclusions for players. If you play at a casino with a UKGC licence then you can expect to have verification checks carried out using your basic details when you first open your account, the UKGC implemented these checks to help prevent underage gambling. Below, we have compiled a list of the best UKGC-licensed casinos for 2026 that are in our portfolio.
As outlined in the white paper, we strongly encourage operators to continue to improve player safety controls on Category B3 machines. Premises licence fees are collected by licensing authorities for applications and annual renewals to cover the cost of administration of their gambling duties and gambling enforcement. Currently, annual fees for 1968 Act casinos are between 65% and 90% of the annual fees that 2005 Act casinos in the equivalent fee category are required to pay.
Under Option 1, the vast majority of industry respondents projected that there would be an increase in GGY for arcade and bingo operators. A summary of these responses is outlined below. Licensing authority responses were predominantly in favour of Option 2, though a number restated their original position that the current 80/20 ratio should not be changed in the liberalising manner proposed. The majority of industry responses expressed a preference for either Option 1 or Option 3, and were strongly opposed to Option 2. This section of the consultation received 40 responses. Further details of proposed new operating licence fees will follow in due course.
Personal Management Licence Holders

This will ensure that Category C and D machines made available by operators have genuine customer appeal and/or are genuinely available for use, as opposed to being used as a means to increase the number of Category B cabinets a venue can site. The Gambling Commission has raised concern that some of these machines appear to have been designed primarily to maximise the number of Category B cabinet machines which can be sited by an operator, rather than to provide a genuine lower stake gambling offer to customers. However, to mitigate against gambling-related harm, the reform of the rule also seeks to ensure that a genuine offer of lower staking Category C and D machines remain available for customers. Additionally, the reform seeks to allow operators to reduce their energy costs through the removal of unused but energy intensive Category C and D machines and/or increase GGY through increased numbers of higher yielding Category B machines. Some operators were keen to highlight the increasing cost burden for land-based casinos in other areas, but acknowledged the logic of applying consistency across regimes. However, we do not intend on changing any of the requirements placed on operators as we think that the current regulatory framework will ensure that licensing authorities and the Commission are notified when changes are proposed to premises under these circumstances.
Remote casino game host operating licence
(b)the converted casino premises licence is not varied under section 187 of the 2005 Act(4) so as to relate to premises to which it did not relate on that date. (3) Sub-paragraph (2) does not apply to premises in which the floor area of the gambling area of the casino was 1,500m² or greater on 12th May 2025 provided that, after that date— (5) No gambling is permitted in the table gaming area of the premises other than gambling by way of table gaming. “(1) This paragraph applies to all premises in respect of which a converted casino premises licence has effect.”;
We would like to understand whether these types of protections are already available on these machines, or whether it would require investment in new machines or software. In addition, while customers could stake lower than the maximum on a multi-stake Category B machine, evidence suggests that on average players tend to stake more on Category B machines than Category C and D machines. These machines can also offer customers Category C or D content on the same device. For example, a customer could stake 50p on these machines which is also below the maximum stake permitted on Category C machines. Industry trade bodies have provided evidence which suggests that the removal of the 80/20 rule would result in a large-scale reduction of tablets and in-fill machines, although the extent to which tablets will be removed will vary by operator.
Make sure to check your local regulatory requirements before you choose to play at any casino listed on our site. If you are serious about wanting to quit gambling altogether, it could be a good idea to use Gamban in conjunction with Gamstop for an casino not on gamstop even more enhanced effect. In the UK casino scene, the tool for choice for such regulation is Gamstop.
New paragraph 3 of Part 5 of Schedule 1 to the 2007 Regulations attaches additional mandatory conditions to converted casino premises licences that apply only if the holder decides to exercise the extended entitlement. Paragraph (3) of regulation 4 of these Regulations amends the mandatory conditions attaching to converted casino premises licences in Part 5 of Schedule 1 to the 2007 Regulations. By paragraph (2) of regulation 4, the minimum size of the table gaming area in small casinos licensed under the Act is reduced from 500m² to 250m².
Some respondents stated that any transaction time should at least ensure a break from the machine that is equivalent to the time it takes to access additional funds from an ATM. Our aim throughout the development of this policy has been to replicate the experience of playing on a machine with cash and the deposit and committed payment limits play an important role in the current customer journey. The government will ensure that these regulations will apply to direct debit card payments when amending the secondary legislation. There was not a uniform view on what an alternative deposit limit should be, with responses ranging from £50 to £500.

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. As with the original consultation, Option 3 continued to be the preferred option for bingo operators. The supplementary consultation was shared with all of the initial respondents to the land-based gambling consultation who left contact information, and received 16 responses.
Many of the responses from outside of industry were strongly in favour of staff alerts but argued that they needed to be complemented by staff training so that they can intervene in a meaningful way. Non-industry responses were supportive of staff alerts being mandated, while views were split across industry. The Behavioural Insights Team’s response to the consultation recommended that voluntary limits that are strongly encouraged are used over mandatory limits as the evidence of the impact of the latter is limited. However, what the mandatory limits should be and how long the cooling-off period should be once the limits are hit prompted a wide range of responses. The government’s preference is for a 30 second minimum cooling-off period, but we would be content with a longer minimum time period if evidence provided in response to the Gambling Commission’s consultation suggests that longer is needed in order to protect players. Other responses from outside of industry thought that the cooling-off period should be longer, with respondents stating either 60 or 120 seconds.

432.Additional procedures apply in the case of applications for a casino licence. The exception to this is an applicant for a premises licence that authorises a track to be used for accepting bets. A premises licence will not be issued until to an applicant until he holds an operating licence. Only people with a right to occupy premises are eligible to apply for a premises licence.
Looks are the cheapest thing for an unlicensed operator to buy. Our overview of your rights when a casino is not on GamStop sets out what is realistic. The absence of a UK licence narrows the easy routes; it does not always close every door. It does not automatically mean you have no options if you have already lost money.
- To keep yourself safe and to keep your gaming experience enjoyable, we recommend that you only sign up and play at duly licensed online casinos.
- As part of the increase in premises fees, industry responses highlighted that they would like to see licensing authorities invest in further staff training to increase knowledge and understanding of gambling legislation, which in their view, would improve engagement.
- Always verify licence details on the official Gambling Commission website.
- It could also mean that the same gambling facilities are compressed into a smaller gambling area, with potentially a worse customer experience and no player protection benefits.
- Please explain why this is your preferred option.
Originally the Gambling Act 2005 applied only to those persons who had a physical connection with Great Britain; for example, land-based gambling businesses located in Great Britain or items of remote gambling equipment located in Great Britain. GamingCasino gaming (including slots and casino table games such as roulette & blackjack)The Gambling Commission of Great Britain (“Gambling Commission”).The Gambling Commission (for Operating Licences). If your equipment is based in the UK or if you offer gambling to UK residents, you need a UK Gambling Commission licence. In addition, where the business is based at premises, you will require a premises licence. He leads the firm’s cross-departmental alcohol and gaming licensing teams.
The interaction design of slot machines and table games creates specific compliance obligations that don’t apply to betting or bingo products in the same way. The LCCP sets out licence conditions and social responsibility codes that all licensees must follow, but some provisions hit casino operators with particular force. Every UK online casino listed here holds a Remote Casino Operating Licence from the UKGC, but licensing is only the starting point. If you manufacture gambling software, but also provide facilities for gambling only in circumstances in which you host those facilities through other operators’ platforms, then you may be eligible to hold a host operating licence. Remote gambling and software technical standards do not apply to the software you provide for overseas operators who are not licensed by the Gambling Commission.
Such casinos may operate as card clubs without offering casino games. Most of these casinos fall below the size thresholds of the other two categories. This activity allows you to provide remote casino under specific circumstances. However, unlike Gamstop, Gamban is not licensed by the UK Gambling Commission and is instead a third-party service that blocks access to gambling-related sites. If you have signed up to Gamstop and are still struggling with finding yourself playing on casinos not on Gamstop.
Under the scenario outlined in Option 2, it is anticipated that a genuine balance and choice of higher and lower stake machines would be achieved across venues. It would also provide greater flexibility in determining the make-up of their machines and potentially lead to the removal of machines, such as tablets and in-fills, that are infrequently played. Consequently, under Option 2 industry as a whole would have the flexibility to reduce the number of Category C and D machines and/or increase the overall number of Category B machines across the sector, saving energy and/or increasing overall GGY. Consequently, it would deter operators from offering tablets and in-fill devices as a way to increase the number of Category B cabinets on their premises.
The higher end takes into consideration that some local authorities may need additional funding to carry out the full extent of administration of their gambling duties and gambling enforcement, such as the development of policy statements. We do not currently have sufficient evidence to inform an appropriate percentage increase to the current cap on licensing fees. Any fee increase must be linked to the cost to that particular local authority of carrying out its gambling functions. We recognise that the maximum for licensing authority fees has not been updated since 2007, during which time inflation has inevitably reduced its value. Some have expressed a desire to do more to apply local considerations in their areas when making licensing decisions. For example, existing powers, such as local policy statements, allow licensing authorities to account for factors such as public health and crime.
Remote gaming machine technical – full licence Non-remote 2005 Act casino operating licence Non-remote 1968 Act casino operating licence Non-remote pool betting operating licence
Subsequent annual fees are due on each anniversary of the licence issue date. The first annual fee is due 30 days after the licence is issued and is reduced by 25%. In 2024–25, 3,491 personal licence applications were submitted, with 95% processed within eight weeks. Personal licence applications require identity documentation, address history, employment history, a police report, a credit report, and (in some circumstances) a statement of assets and liabilities. In the 2024–25 reporting year, 156 new operating licence applications were submitted and 75% were processed within 16 weeks. Small-scale operators (SSOs) may be exempt from the PML requirement and instead hold an Annex A authorisation.