VASP registration and banking for a digital-asset treasury
A family-office allocator wanting a compliant on-ramp separate from the operating trading firm, with banking that would survive a source-of-funds review.
The brief
A family office allocating to digital assets was running exposure through the same entity as an operating trading firm. Banks were uncomfortable, counterparties were confused, and the source-of-funds narrative mixed two unrelated histories.
- Treasury and trading had to be genuinely separate entities with separate counterparties.
- The source-of-funds file had to reconstruct a decade of asset history to a bank's standard.
- Registration jurisdiction had to be one that banks would accept, not merely the fastest to obtain.
- Custody arrangements had to satisfy both the bank and the family's own risk committee.
Two entities, two narratives, two sets of counterparties — which is what made the banking possible.
- Fiat in
- Enters through the banked VASP entity against a documented source-of-funds file, never through the trading firm.
- Custody
- Assets held with a qualified custodian under the VASP entity's name, with policy limits set by the family risk committee.
- Reporting
- Travel-rule and AML obligations handled inside the VASP; the trading firm's file stays uncontaminated.
How it was built, in order
- 01Separation first
Split treasury from trading before approaching any bank, because no bank was going to underwrite the combined story.
- 02Jurisdiction chosen for bankability
Selected the registration jurisdiction by asking banks what they would accept, not by processing speed.
- 03Source-of-funds reconstructed
Ten years of asset history assembled into a single file with exchange records, on-chain evidence and tax filings cross-referenced.
- 04AML programme built
Policies, MLRO appointment, transaction monitoring and travel-rule handling implemented before registration was granted.
- 05Two banks, in parallel
Applied to both simultaneously with the same file so a single declined application would not stall the mandate.
- 06Custody and limits
Qualified custodian appointed and written policy limits agreed with the family risk committee.
- VASP registered in a jurisdiction that banking counterparties accept.
- Two crypto-capable banks onboarded, both clearing the source-of-funds file at first pass.
- Trading business insulated from the treasury's regulatory profile.
- Custody and policy limits documented and reviewed quarterly.
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