Obtaining a VASP licence in Lithuania now means securing a full Crypto‑Asset Service Provider (CASP) authorisation under Regulation (EU) 2023/1114 the Markets in Crypto‑Assets Regulation (MiCA). Lithuania’s legacy VASP registration regime once one of Europe’s lightest touch gateways for crypto businesses has been overtaken by MiCA’s harmonised framework. Under Article 143(3), each EU Member State could set its own transitional grandfathering window; Lithuania elected a shortened 12‑month period, meaning legacy VASP protection expired at the end of December 2025.
For founders, compliance officers, and fintech teams exploring how to get a crypto licence in Lithuania, the practical consequence is clear: you must now prepare a comprehensive MiCA CASP authorisation file not a lightweight registration and submit it to the Bank of Lithuania, the designated competent authority. This page provides a step‑by‑step guide covering eligibility, capital requirements, AML officer obligations, the full documentation pack, and a realistic application timeline.
Before diving into the detail, use this at‑a‑glance checklist to orient your application project:
Download full PDF checklist a one‑page condensed version and a 12‑page annotated application pack manifest are available as downloadable assets on this page.
MiCA defines eight categories of crypto‑asset services that require CASP authorisation. Your choice of service determines your prudential class and minimum capital obligation. The eight services are:
Applicants should map each proposed business line to one or more of these categories at the outset, as this mapping feeds directly into the capital calculation and the risk profile the Bank of Lithuania will assess.
Any entity that is not already authorised as a credit institution, investment firm, e‑money institution, or other regulated financial entity must apply for a standalone CASP authorisation under MiCA Article 63. Entities that already hold a qualifying EU financial‑services licence may instead use the Article 60 notification route, which carries a shorter processing window but still requires submission of supplementary information covering their proposed crypto‑asset services. It is important to confirm early whether the notification or full‑authorisation path applies, as the documentary burden and timelines differ significantly.
The most frequent Lithuanian CASP applicants operate in one or more of the following areas:
The overwhelming majority of CASP applicants in Lithuania incorporate as a UAB (uždaroji akcinė bendrovė), the Lithuanian private limited company. A UAB offers flexible share‑capital structures, access to the Bank of Lithuania’s English‑language guidance, and once authorised full MiCA passporting rights across the European Economic Area. Lithuania’s established fintech infrastructure and relatively efficient corporate‑services ecosystem make the UAB an attractive vehicle for both EU‑resident and non‑resident founders.
Yes Lithuanian law does not restrict non‑residents from incorporating a UAB or applying for CASP authorisation. However, the Bank of Lithuania expects genuine substance: at least one locally‑resident executive or director with genuine decision‑making authority, a physical place of business, and evidence that real management and AML controls operate from Lithuania. Applicants relying on virtual offices or nominee directors without demonstrable involvement are likely to face significant pushback during the assessment phase. How to set up a UAB for crypto business in Lithuania is explored in greater detail in a dedicated companion guide.
The Bank of Lithuania assesses applicants’ governance arrangements rigorously. Board members and senior managers must demonstrate individual good repute, relevant professional experience, and collectively adequate knowledge spanning IT, risk management, compliance, and financial markets. The BoL’s guidance expects applicants to present a collective‑suitability matrix showing that the management body, taken together, covers all critical competences. Criminal‑record checks, declarations of conflicts of interest, and detailed professional CVs are standard submissions.
MiCA Article 67, read together with Annex IV, sets the initial capital and ongoing own‑funds minima by CASP class. As at 20 July 2026, the applicable thresholds are:
| CASP Class | Services Covered (Illustrative) | Minimum Capital (Annex IV) |
|---|---|---|
| Class 1 | Advice, order reception/transmission, placing | €50,000 |
| Class 2 | Execution of orders, exchange, custody | €125,000 |
| Class 3 | Operation of a trading platform | €150,000 |
In all cases, a “higher of” test applies: the applicant must hold the greater of (a) the Annex IV minimum, or (b) one quarter of fixed overheads of the preceding year. New entrants without a full‑year trading history must supply 12‑month financial projections as the basis for the fixed‑overheads calculation. The Lithuania crypto licence capital requirement is therefore determined both by the chosen service category and by projected or actual operating costs.
The Bank of Lithuania charges both an application fee and ongoing supervision fees. Fee structures are published on the BoL FAQ portal and are subject to periodic revision. Applicants should also budget for professional advisory costs (legal, compliance, ICT audit), which can vary widely depending on the complexity of the proposed services. Exact current amounts should be confirmed directly with the Bank of Lithuania before submission.
Lithuanian CASPs must comply with the Republic of Lithuania’s Law on the Prevention of Money Laundering and Terrorist Financing, which transposes the EU’s Anti‑Money Laundering Directives and incorporates the FATF’s risk‑based approach guidance for virtual assets and VASPs. The Financial Crime Investigation Service (FNTT) is Lithuania’s national authority responsible for AML supervision and suspicious‑activity‑report (SAR) processing. The Bank of Lithuania evaluates the adequacy of the AML/CTF programme as a gating criterion for CASP authorisation.
A VASP licence in Lithuania now a MiCA CASP authorisation requires the appointment of a dedicated AML officer. This individual must be of sufficient seniority to have direct access to the management body and the authority to halt transactions. The Bank of Lithuania expects applicants to submit the AML officer’s CV, evidence of relevant qualifications (e.g., certified anti‑money laundering specialist credentials or equivalent experience), and a formal appointment letter specifying reporting lines. The AML officer is responsible for overseeing KYC/KYB processes, monitoring transaction flows, managing SAR filings to the FNTT, and conducting periodic internal risk assessments.
Applicants must demonstrate the deployment or concrete plan for deployment of the following controls:
The following policy documents are expected in every CASP application:
AML/CFT controls & officer responsibilities for Lithuanian CASPs are covered in a companion article with an operational focus.
The full VASP licence documents Lithuania applicants must compile for Bank of Lithuania submission are grouped as follows:
Two downloadable assets accompany this guide: a condensed one‑page checklist suitable for initial project planning and a comprehensive 12‑page annotated application pack manifest mapping every required document to the corresponding MiCA article and Bank of Lithuania expectation. Both are available for download on this page.
The Bank of Lithuania is the competent authority for CASP authorisation in Lithuania. Applications are submitted through the BoL’s designated electronic channels. Documentation must be provided in Lithuanian or, in many cases, English the Bank of Lithuania’s published guidance and FAQ are available in both languages. Applicants should confirm current language‑acceptance policies before filing, as supporting documents in other languages may require certified translations.
The Bank of Lithuania operates a fee schedule covering both the initial application review and ongoing supervisory levies. High‑level fee structures are outlined in the BoL FAQ, though exact amounts are subject to change and depend on the scope and complexity of the applicant’s proposed services. In addition to regulatory fees, applicants should budget for legal advisory, compliance consulting, and ICT audit costs, which collectively can represent a significant portion of total set‑up expenditure. Always verify the current fee schedule directly with the Bank of Lithuania before submission.
| Phase | Timing (Working Days) | Key Activity |
|---|---|---|
| Submission | Week 0 | Submit complete application and all core documents to BoL. |
| Completeness check | Weeks 1–5 (25 WD) | BoL reviews for completeness; issues request for missing items if applicable. |
| Substantive assessment | Weeks 6–14 (40 WD from complete file) | BoL evaluates governance, capital, AML programme, ICT, and business model. Expect regulator information requests around day 20; response windows may pause the timeline (suspension of up to 20 working days per request). |
| Clarifications & decision | Weeks 15–18 | BoL reviews clarification responses; issues final decision communication. |
Realistic commercial planning guidance: total calendar time from submission to authorisation decision is typically 3–6 months for a well‑prepared applicant. Where substantive remediation is required strengthening AML controls, restructuring governance, or addressing ICT audit gaps the process can extend materially beyond six months. The MiCA standard processing timelines (25 working days for completeness, 40 working days for decision) serve as statutory baselines, not guarantees.
Once authorised, Lithuanian CASPs are subject to periodic financial reporting, prudential returns, and notification obligations to the Bank of Lithuania. The BoL maintains a supervisory engagement programme, and CASPs should expect regular dialogue, on‑site inspections, and thematic reviews. ESMA also collects aggregated data from national competent authorities, meaning Lithuanian CASPs contribute to EU‑wide reporting frameworks.
CASPs that custody or administer client crypto‑assets must maintain segregated safeguarding arrangements and submit to independent control reviews. Annual financial statements must be audited by a qualified auditor, and internal audit functions proportionate to the firm’s size and complexity are expected to operate independently of management.
A key advantage of MiCA CASP authorisation over legacy VASP registration is the ability to passport services across the EU and EEA. A Lithuanian CASP can notify the Bank of Lithuania of its intention to provide services in another Member State; the BoL then communicates with the host‑state competent authority. MiCA passporting explained is addressed in a dedicated guide covering notification mechanics, timelines, and practical considerations for cross‑border expansion.
Post‑authorisation, CASPs must maintain their AML/CTF programme on a living‑document basis updating risk assessments, calibrating monitoring rules, and filing SARs as needed. ICT security must align with the EU’s Digital Operational Resilience Act (DORA), with ongoing penetration testing, incident reporting, and third‑party ICT risk management forming part of the supervisory baseline.
| Criterion | Legacy VASP Registration | MiCA CASP Authorisation |
|---|---|---|
| Legal basis | Lithuanian national AML law | Regulation (EU) 2023/1114 (MiCA) |
| Allowed activities | Virtual currency exchange & custody only | Eight defined crypto‑asset service categories |
| Minimum capital | €2,500 (UAB minimum) | €50,000 / €125,000 / €150,000 (by class) |
| Substance expectations | Minimal formal requirements | Governance matrix, local management, ICT audit |
| EU passporting | No national scope only | Yes single passport across EU/EEA |
| Enforcement risk | National enforcement only | BoL + ESMA supervisory cooperation |
To proceed to a VASP licence Lithuania application (now MiCA CASP authorisation), applicants must have the following in place:
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