How to Check a UKGC Licensed Casino in 2026
In these instances, the parent premises may be adjoined by an ‘electric casino’ that consists largely of gaming machines with a very limited table offer. As set out in the white paper, the availability of gaming machines in British casinos is also very low compared to international jurisdictions, and an increase will help to meet the expectations of overseas visitors. The current estimate is that 90 out of 122 casinos are limited to 20 gaming machines, regardless of overall size.
The License Conditions and Codes of Practice
This will ensure that gaming products, such as single-player games in which the player presses a switch or button, or pulls a plunger or lever, to release a ball or set of balls cannot count towards the machine to table ratio. We will amend these regulations so that gaming tables where staff are not present and the player operates or controls the gaming apparatus are also excluded for these purposes. Therefore both wholly automated gaming tables and table games of equal chance do not attract any gaming machine allowance for the purposes of meeting the machine to table ratio. Furthermore, the regulations stipulate that real equal chance gaming tables (e.g. poker) are not considered as gaming tables for the purposes of section 172(3) to (5) of the Act. In updating this ratio, we intend to amend the definition of “gaming table” for the purposes of section 172(3) to (5) of the Gambling Act 2005 so that only tables where the apparatus is controlled or operated by casino staff count for non gamstop casino the purposes of the ratio.
445.In addition, licensing authorities have power to set individual conditions for a premises licence when they grant it. These powers can apply to all premises licences, or classes of licence, or to licences in specified circumstances. These powers can apply to all premises licences, or classes of licence or to licences in specified circumstances. 443.The Secretary of State and the Scottish Ministers have power to issue mandatory conditions on premises licences, for England and Wales, and Scotland respectively. 437.Sections 206 to 209 set out the appeal rights in relation to a decision of a licensing authority to grant or reject an application for a premises licence.
Only tables for multi-player live gaming, operated by a casino dealer, will qualify for the purposes of this ratio. We do not intend on making any changes to when a gaming table will be treated as being ‘used’ for the purposes of the machine to table ratio as set out in the current Regulations. If you are an operator with more than one premises licence at the same location, do you intend to take up these new entitlements for each licence? Shown if Yes is selected Do you intend to site the maximum number of machines available to you? If you selected ‘No’, please provide an alternative proposal for gaming machine entitlements if you have one.
Wiggin serves as the leading advisor to the global gambling industry’s top players, setting itself apart by understanding both national and international laws and regulations like no other firm. He is a commercial and regulatory lawyer and specialises in all aspects of online and land-based gambling. It is also worth noting that, in recent months, the Gambling Commission issued an “Industry Warning Notice” to those B2B operators that it has licensed after observing that certain games developed by such licensees appear accessible to British consumers on B2C websites that are not licensed by the Commission. More generally, the Commission is known to issue cease and desist letters, carry out test purchasing, take steps to disrupt payment flows and engaging with search engines to prevent URLs belonging to unlicensed operators appearing in search results.
Financial Penalties
Many large international betting and casino brands are based in Gibraltar due to its business-friendly environment and established regulatory framework. It was created when Gibraltar passed its Gambling Act 2005 (Gibraltar), and its purpose is to ensure that all licensed operators maintain high standards of fairness, integrity, and player protection. The Gibraltar Gambling Commissioner is the regulatory authority responsible for overseeing gambling operations licensed in Gibraltar. ADR stands for Alternative Dispute Resolution, and it is a process used to settle unresolved complaints between players and gambling operators without going to court. If you’re playing at a licensed UK casino, there are several important rules designed to keep things fair, transparent, and safe.
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.
(3) In Part 5 of Schedule 1 (mandatory conditions attaching to converted casino premises licences)— (2) In paragraph 2(1) of Part 4 of Schedule 1 (mandatory conditions attaching to small casino premises licences), for “500m²” substitute “250m²”. (2) In section 172 (gaming machines), in subsection (5)(b)(i), for “twice” substitute “5 times”. The Gambling Commission’s Notice essentially makes clear that those B2B operators have a role in assisting the Gambling Commission in tackling unlicensed gambling in the British market and that such B2Bs place their own licence at risk by not taking sufficient steps to ensure that its content is only made available to British consumers via licensed B2C websites.
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.
Therefore, under Option 1, we believe there is significant potential for operators to offer predominantly Category B cabinets while meeting their Category C and D ratio through in-fills and tablets. This is a necessary objective to help mitigate against gambling-related harm. We are particularly concerned that Option 1 may encourage new operators to enter the market with the specific intention of maximising their Category B cabinet offer in this way. Therefore, some respondents argued that Option 3 would be the most sensible long-term approach for securing safer gambling functionality and messaging across these venues. However, overall almost half of respondents from the arcade and bingo sector acknowledged that Option 3 posed a risk of increasing gambling-related harm. There was a general consensus across respondents that Option 3 presented the greatest risk of increasing rates of gambling-related harm.
This includes online casinos, sports betting sites, bingo operators and land-based gambling premises. We do not see this as being an issue for operators or manufacturers as it is already widely available on Category B gaming machines within all land-based gambling premises. Very few responses were received by operators who hold more than one premises licence at the same location, but the majority of these indicated that they would not look to take up the maximum entitlement of 80 machines per licence were it to be an option.
Yet it remains the gold standard for European operators. The UK Gambling Commission operates one of the world’s strictest licensing regimes. Always verify licence details on the official Gambling Commission website.
Licensed casinos offer a wide range of games from reputable suppliers, and the regulations weed out less reputable providers. UK casinos are required to offer various tools and resources to promote responsible gambling. These casinos must follow strict regulations regarding player security, from financial information to the fairness of games. The gambling authority upholds some of the strictest standards in the world, from the quality of UK casinos to player protection. While UK-regulated casinos have strict regulations, the range of games they can offer is extensive. This makes sure that new online casinos in the UK generally maintain high standards.
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 even more enhanced effect. In the UK casino scene, the tool for choice for such regulation is Gamstop.
We did not receive GGY estimates for the arcade sector, however, industry responses indicated that they anticipated greater GGY returns under Option 3 than under Option 1. The evidence provided by the bingo club sector was more varied, with some operators projecting a small increase in GGY (though substantially less than Option 1 would generate for some bingo club operators), whilst others projected a small decrease in GGY. Option 2 produced the most varied projections out of the 3 options considered.
Remote licences are, in fact, a legal requirement for any business, wherever located, to offer facilities for gambling to British residents. Points to note are that land-based casino licences are not freely available and the rollout of major casino resorts envisaged when the legislation was passed has generally not occurred. The Gambling Act 2005 provides for a range of licences to be granted to both non-remote (i.e., land-based) as well as remote businesses. There is extensive gambling regulation in Great Britain, mostly imposed upon licensees by the various conditions and codes of practice attached to their gambling licences, which are colloquially referred to as the “Licence Conditions and Codes of Practice” or “LCCP”.
There are currently only three Small 2005 Act casinos in operation from the eight licences available. This requirement was intended to ensure a balanced offer of gaming products in 2005 Act casinos, which had a significantly higher gaming machine entitlement than 1968 Act casinos. The government is proposing to operate two regimes for 1968 Act casinos whereby they can either operate under the existing rules with no increase to their gaming machine allowance or they can take up their new gaming machine entitlements under the new rules. Casinos with multiple licences at the same physical location could site more than 80 machines under the new regime – it is not clear whether the current rules are clear enough to prevent this situation from arising in practice. The implications for operating and premises licence fees, bringing 1968 Act casinos in line with existing fee scales for 2005 Act casinos, are also discussed later in this chapter. It is our intention that these casinos can continue to operate under the existing regime, whereby they are permitted no more than 20 machines where at least one is of Category B (or they may elect to have any number of Category C or D machines instead).
Summary: How to Check if a Casino is UKGC Licensed Safely
- They also noted the cost of refloating machines, which has become more challenging for pubs where cash payments are not taken over the bar.
- The licence authorises games of chance, which includes slots, table games like blackjack and roulette, and live dealer products delivered via video stream.
- The first annual fee for a non-remote (2005 Act (opens in new tab)) casino licence is due six months after the licence is issued to you.
- Should access to a greater number of gaming machines require compliance with each of the three size requirements outlined above?
More information on the operating licences required is available in our guidance on the legislative changes. (2) A notice must be displayed in a prominent place in each part of the premises used for providing facilities for betting, setting out the terms on which persons are invited to bet on the premises. 4.—(1) This paragraph applies to larger converted casino premises and extended converted casino premises.
Small 2005 Act casinos will also experience a reduction in their required minimum table gaming area, from 500sqm to 250sqm. Despite respondents indicating a preference for venues to be made to reduce their gambling area, we think this is a fair exemption for the small number of casinos that it will apply to. The exemption for these casinos will apply from 16 May 2024 (the date on which the consultation response was published) and take account of any already submitted expansion plans. With regard to casinos that currently operate with a gambling area of 1500sqm or more, these casinos will be permitted to remain open with their current gambling area. When asked about the reduction in minimum table gaming area in Small 2005 Act casinos from 500sqm to 250sqm, more respondents were in favour of this being applied than opposed. A fairly even number of respondents were for and against the 12.5% rule applying for 1968 Act casinos, whereby any table gaming area would only count towards the minimum table gaming area if it constitutes 12.5% or more of the total table gaming area in the venue.
Categories include land-based, online, and ancillary licenses (e.g., phone or email betting). Remote gambling licenses cover online operations. The draft Casinos Regulations form part of a package of interlinked statutory instruments which make changes to the regulatory framework for land-based casinos. Draft statutory instruments that form part of the package of measures that will change the regulatory framework for land-based casinos. Many such sites promote unlicensed operators or are influenced by commercial relationships rather than player interests.
Where an authority invites applications, those applications may be in the form of an application for a provisional statement as well as in the form of an application for the grant of a full casino premises licence. Casino licence holders making changes to their gaming machine provision are expected to reflect these changes in their MLTF risk assessment and consider whether their policies, procedures and controls need updating. The Commission expects casino licence holders who introduce betting activity to update their MLTF risk assessments, considering all relevant risks and taking into account the betting sector risks published in the Commission’s risk assessment. The legislative changes allow for betting to be offered as an activity in converted casino premises. The changes allow casinos that were already operating when the Gambling Act 2005 (the Act) came into force, referred to as converted premises, to access new entitlements if certain conditions are met. This does not apply to a casino which was 1,500m² or larger on 12th May 2025, provided the size of that casino’s gambling area is not subsequently increased and the casino remains in the same premises.
For example, a person leaving a gaming machine to go to an ATM will be required to enter their PIN. It was also raised that these machines can be converted to adapt a card reader for contactless payment, but adding a chip and pin device for every transaction in most cases would either not be technically feasible or cost effective. Respondents from the pub sector also raised issues with verification for each transaction on Category D crane grab machines.
Under the increased gaming machine allowances that we propose, if a venue held multiple premises licences, it could theoretically gain access to 80 gaming machines per licence. In order to be entitled to an allowance of 80 gaming machines, 1968 Act casinos will need to comply with the same minimum requirements as a Small 2005 Act casino on gambling, table gaming and non-gambling area. A further 25 casinos have multiple licences within one premises, allowing them to supply 40 or 60 machines. Only 4 of the 8 Small casino licences have been developed, one has since closed, and none offer the maximum allowance of 80 gaming machines as it would be impractical to site the necessary tables. 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. In cases where providers perform several types of gambling activities (e.g., casinos + gaming machines), they need to apply for separate licenses.
The register is more than a licensed-or-not switch. The register notes that domain names and trading names are provided by the gambling business, and that the Commission cannot guarantee the accuracy of information supplied by third parties. A genuine UK-licensed brand will be on the register under the exact domain it trades from. The account number is the six-figure reference a licensed operator is given. A site without that licence owes you none of those protections under UK law, however polished it looks. A UK Gambling Commission licence is the difference between a site that must follow British rules and one that does not.
This would result in an overall decrease of over 900 cabinet machines across these venues, predominantly consisting of legacy Category C cabinets. Also, Category C and D gaming machine device types made available for use must be of similar size and scale to Category B. Significant increases in Category B machines may increase the amount of money staked by customers, and/or the risk of harm. While the intensiveness of energy expenditure will vary by machine device type and energy efficiency, the costs to industry of maintaining these machines can be significant.
When asked about the proposed minimum gambling area, table gaming area and non-gambling area requirements, the table gaming element received one-third less support than the other 2 requirements. Respondents were in favour of venues having to comply with all of the sliding scale requirements in order to increase their gaming machine allowances. • Any non-gambling area may consist of one or more areas within the premises.




