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Enforcement Statistics

118 Total Actions
Showing 20 of 118 enforcement actions

Enforcement Actions List

Harry Smith and Elsie Blockley Smith

Harry Smith and Elsie Blockley Smith

Minor Warning

Following a review, the Gambling Commission found that Harry Smith and Elsie Blockley Smith breached licence conditions related to anti-money laundering and failed to comply with social responsibil...

Operator: Harry Smith and Elsie Blockley Smith
Vanipenta Anusha

Vanipenta Anusha

Critical License Revocation

The Commission revoked the Personal Functional Licence of Ms Anusha Vanipenta following a licence review. The revocation was due to her failure to report a dismissal for gross misconduct and a fail...

A B Bet Limited

A B Bet Limited

Minor Warning

A B Bet Limited received a warning following a licence review which found it breached Licence Condition 15.1.2(1a) regarding the reporting of suspicious offences. The operator also failed to adequa...

AG Communications Limited

AG Communications Limited

Significant Regulatory Settlement

Following a regulatory review, AG Communications Limited was found to have failings in its Anti-Money Laundering (AML) and Social Responsibility (SR) controls. The operator agreed to a regulatory s...

Thomas Leshante Lakim Romeo

Thomas Leshante Lakim Romeo

Critical License Revocation

The Gambling Commission revoked the Personal Functional Licence of Thomas Leshante Lakim Romeo following a review. The licensee was found to have breached a licence condition by failing to notify t...

Heaven James Ronald

Heaven James Ronald

Critical License Revocation

The Commission revoked the Personal Functional Licence of James Ronald Heaven following a review. The licensee was found to have breached a licence condition by failing to notify the Commission of ...

Merkur Slots UK Limited

Merkur Slots UK Limited

Moderate Financial Penalty

Following an investigation, the Gambling Commission found that Merkur Slots UK Limited breached Social Responsibility Code Provision 3.4.1 related to premises-based customer interaction. The failur...

R & F Wilmot Limited

R & F Wilmot Limited

Moderate Financial Penalty

Following an investigation, the Gambling Commission found that R & F Wilmot Limited breached Licence condition 15.3.1 concerning general and regulatory returns. Consequently, the Commission imposed...

Tamara Simmers

Tamara Simmers

Critical License Revocation

The Commission revoked the Personal Functional Licence of Tamara Simmers following a review. The licensee was found unsuitable after repeatedly failing to report Key Events and being convicted of r...

Greentube Alderney Limited

Greentube Alderney Limited

Significant Regulatory Settlement

A regulatory review found failings in Greentube Alderney Limited’s Anti-Money Laundering and Social Responsibility controls between 2022 and 2023. The operator agreed to a regulatory settlement, ...

£1m penalty Operator: Greentube Alderney Limited
IMG Arena US, LLC

IMG Arena US, LLC

Moderate Financial Penalty

Following an investigation, the Gambling Commission found that IMG Arena US, LLC breached Licence condition 15.3.1 regarding general and regulatory returns. As a result of this breach, the Commissi...

£450 penalty Operator: IMG Arena US, LLC
Svagzdys Rokas

Svagzdys Rokas

Critical License Revocation

The Commission revoked the Personal Functional Licence of Mr Rokas Svagzdys following a review. The decision was based on his dismissal for gross misconduct being inconsistent with licensing object...

Fairbetter Limited

Fairbetter Limited

Critical License Revocation

The Gambling Commission revoked Fairbetter Limited's operating licence following a review. The operator was found to have breached several licence conditions and social responsibility codes, includ...

Amatic Industries Gmbh

Amatic Industries Gmbh

Moderate Financial Penalty

Following an investigation, the Gambling Commission found that Amatic Industries Gmbh breached Licence condition 15.3.1 for failing to submit regulatory returns on time. The Commission imposed a fi...

Sportito SRL

Sportito SRL

Moderate Financial Penalty

Following an investigation, the Gambling Commission found that Sportito SRL breached Licence condition 15.3.1 regarding general and regulatory returns. As a result of this breach, the Commission im...

Clacton Pier Company Limited

Clacton Pier Company Limited

Moderate Financial Penalty

Following an investigation, the Gambling Commission found that Clacton Pier Company Limited breached Licence condition 15.3.1 regarding the submission of general and regulatory returns. The Commiss...

DK Crown Holdings Inc

DK Crown Holdings Inc

Moderate Financial Penalty

DK Crown Holdings Inc received a financial penalty of £28,750 for breaching Social Responsibility Code Provision 3.5.3(1) regarding self-exclusion. The licensee identified and proactively reported...

£28,750 penalty Operator: DK Crown Holdings Inc
Goode Michael Edward

Goode Michael Edward

Minor Warning

Following a licence review, Mr Michael Goode, a Personal Management Licence (PML) holder and CFO for Eaton Gate Gaming Limited, was issued a warning. The Commission determined he failed to take rea...

Lee Charles Nicholas

Lee Charles Nicholas

Minor Warning

Following a licence review, Lee Charles Nicholas, a Personal Management Licence (PML) holder and CEO for Eaton Gate Gaming Limited, was found to have breached several anti-money laundering and soci...

888 UK Limited

888 UK Limited

Moderate Financial Penalty

Following a self-reported key event, 888 UK Limited was found to have breached licence condition 6.1.2 regarding the use of credit cards. The Commission imposed a financial penalty of £23,000, not...

What UKGC enforcement action means

UKGC enforcement action is a formal regulatory process. It isn't a criminal prosecution, and it doesn't work like a court case. When the UKGC investigates an operator, it's exercising powers granted under the Gambling Act 2005 to hold licence holders accountable for how they run their operations.

Investigations can start in several ways. The UKGC conducts thematic reviews across sectors, responds to patterns in consumer complaints, and acts on whistleblower disclosures. An operator can also self-report a failure, which may influence how the case is handled but doesn't remove the possibility of formal action.

When the UKGC investigates an operator

Not every UKGC contact with an operator becomes a public enforcement action. The regulator can engage informally, issue guidance, or raise concerns without proceeding to formal sanction. A public enforcement action means the UKGC found evidence of a licence condition breach serious enough to record and publish.

The conditions in scope come from the Licence Conditions and Codes of Practice, known as the LCCP. The LCCP covers how operators run their anti-money laundering controls, how they identify and interact with customers showing signs of gambling harm, and how they present terms and promotions. Most enforcement actions trace back to failures in one of these areas.

The difference between regulatory and criminal proceedings

This distinction matters. A UKGC enforcement action doesn't result in a criminal conviction. The regulator can impose financial penalties, suspend or revoke a licence, or issue a formal warning, but it can't imprison individuals or pursue criminal prosecution directly. Where evidence of criminal conduct exists, the UKGC can refer cases to law enforcement agencies. That referral is separate from the regulatory action itself.

The practical effect for consumers is that an operator facing enforcement action will usually continue to trade unless its licence is suspended or revoked. A fine, however large the headline figure, leaves the operator active in the market.

What licence conditions are in scope

Social responsibility conditions
Operators must have systems to identify customers at risk of gambling harm, interact with them appropriately, and apply protections such as deposit limits and time-outs. Failures here are the most frequently cited category in UKGC enforcement.
Anti-money laundering conditions
Operators must apply controls to detect and report suspicious financial activity, including source-of-funds checks on high-spending customers. AML deficiencies are the second most common violation category.
Fair and transparent terms
Operators must ensure their bonus terms, withdrawal conditions, and marketing claims are clear and not misleading. This category has been the focus of specific UKGC thematic reviews in recent years.
Management and governance
Operators must maintain accurate records, report material changes, and ensure their key personnel meet fit-and-proper requirements. Governance failures often appear alongside AML or social responsibility breaches rather than in isolation.

The four types of enforcement action

Not all enforcement actions carry the same weight. The UKGC has four distinct tools available, and they differ in what they signal and what consequences follow. Reading enforcement records without understanding those differences produces a misleading picture of an operator's compliance history.

Action type Effect on licence Typical application Reversible?
Licence revocation Permanent removal of licence Repeated serious breaches, fundamental failure of fit-and-proper, criminal referral No — requires a new application
Licence suspension Temporary restriction, operator can't trade Serious breach where remediation is possible; pending investigation outcome Yes — conditional on completing required remediation steps
Formal warning No change to licence status Isolated or less serious breach where the operator has taken corrective steps N/A — licence remains active
Financial penalty / regulatory settlement No change to licence status Breach where harm or loss is established; settlement under Section 117 of the Gambling Act 2005 N/A — licence remains active

Licence revocation and suspension

Revocation is the most serious outcome the UKGC can impose. It's rare, and it's reserved for operators where the regulator has concluded that continued licensing can't be justified. Suspension sits below revocation on the severity scale. It's a conditional restriction, meaning the operator is prevented from trading until it meets specific requirements set by the UKGC. Suspension often precedes a final decision on whether revocation follows.

Formal warnings and requirements

A formal warning is a regulatory rebuke. It records that a breach occurred, but the operator keeps its licence and can continue operating. Warnings are often paired with requirements, meaning specific steps the operator must take within a defined period. Failing to meet those requirements can escalate the matter to a more serious action.

Financial penalties and regulatory settlements

A financial penalty is imposed directly by the UKGC following formal proceedings. A regulatory settlement under Section 117 of the Gambling Act 2005 is different. It's a negotiated outcome that typically includes a payment in lieu of penalty, agreement to remediation steps, and a payment directed to a UKGC-approved third party rather than to the regulator itself. Settlements don't require a formal finding that the operator is guilty of the breach. That distinction matters when you're reading enforcement records, because settlement and direct penalty aren't equivalent outcomes.

How Saferwager scores enforcement severity

Listing enforcement actions without a common scale makes them hard to compare. A formal warning and a licence suspension are both public enforcement outcomes, but they don't represent the same level of regulatory concern. Saferwager's severity scoring gives every recorded action a score from 1 to 5, using four inputs: action type, violation category, evidence of customer harm, and whether the operator has prior enforcement history.

The 1-5 severity scale and what each level indicates

Score Description Typical profile
1 Minor Formal warning, isolated incident, no evidence of customer harm, first action
2 Low Warning with requirements, or small financial penalty, limited harm, single violation category
3 Moderate Financial penalty or regulatory settlement, identifiable harm, two or more violation categories
4 Serious Significant financial penalty, AML or social responsibility failures with customer harm, or repeat action within five years
5 Critical Licence suspension or revocation, widespread customer harm, criminal referral, or persistent repeat violations

Factors that increase a severity score

Action type sets a baseline. A formal warning starts lower on the scale than a financial penalty, which starts lower than a licence suspension. From that baseline, two factors can push the score upward.

AML failures carry more weight than most other violation categories because they indicate a systemic breakdown in financial controls, not just a customer-facing error. Social responsibility failures that involve customers who suffered demonstrated harm also increase the score. And any operator that appears in the enforcement record a second time within five years receives an additional uplift, because a repeat action signals that the first outcome didn't produce lasting compliance change.

Common violation categories and their typical scores

Social responsibility failures and AML deficiencies together account for the bulk of recorded enforcement actions. That pattern reflects where the UKGC has directed its most intensive scrutiny, but it also reflects the structural difficulty operators face in running compliant safer gambling and financial crime controls at scale.

A social responsibility failure with no evidence of specific customer harm typically scores 2 or 3. The same category failure with documented harm to identifiable customers scores 4. AML deficiencies follow a similar pattern. Missing a source-of-funds check on a handful of customers is a different compliance failure from operating without a coherent AML policy for years. Saferwager's scoring tries to reflect that difference rather than treating all AML actions as equivalent.

Enforcement history and operator Trust Scores

Every enforcement action in this hub connects directly to the Trust Score for the relevant operator's page. Enforcement history isn't a separate track. It's one of the explicit inputs into how Saferwager rates an operator's overall safety for consumers.

How past enforcement actions enter a Trust Score

When an enforcement action is recorded, the operator's Trust Score goes under review. The severity score from the action feeds into the calculation, with actions from the past five years carrying more weight than older ones. A single score-1 warning from eight years ago has a limited effect on a current Trust Score. A score-4 action from last year has a material one.

Operators don't earn their way back to a full Trust Score automatically. The recency weighting means older actions diminish over time, but a clean compliance record following a serious action is what drives the recovery. An operator that received a serious enforcement action and then received another one shortly after won't see that first action age out at the same rate.

Why fine size alone isn't a reliable measure of risk

Headline fine figures get reported as a proxy for how seriously the UKGC treated a case. That's a poor proxy. A £6 million penalty against an operator generating hundreds of millions in annual gross gambling yield is arithmetically different from the same figure against a much smaller licensee. The proportional burden, and so the deterrent effect, isn't the same.

Fine size also doesn't tell you what the operator did wrong. Two operators could receive the same financial penalty for entirely different violation types, with entirely different implications for how they treat customers going forward. Saferwager's severity scoring uses the violation type, the evidence of harm, and the action type as the primary inputs, not the fine amount.

What repeat enforcement signals about an operator

An operator that appears more than once in the enforcement record carries a materially elevated risk signal. A single enforcement action can reflect an isolated failure, meaning a specific system that broke down or a gap that's since been closed. Two enforcement actions within a short window suggest something different: that the compliance function isn't producing durable change, or that the organisation's approach to regulatory requirements is deeply inadequate.

Holding a valid UKGC licence doesn't mean a high Trust Score. An operator can hold a current licence in good standing and still carry a materially reduced Trust Score on Saferwager because of its enforcement history. Licence status and Trust Score are separate assessments. The UKGC's job is to maintain minimum standards across the market. Saferwager's Trust Scores are designed to help consumers identify which operators consistently exceed those minimum standards.

Frequently Asked Questions

What triggers a UKGC enforcement action?
Enforcement is typically triggered by a UKGC investigation following a thematic review, consumer complaint patterns, or a whistleblower disclosure. The most common triggers are failures in AML controls and social responsibility procedures, though fair and transparent terms violations also appear regularly. Operators can self-report compliance failures, which may affect how the case is handled but doesn't prevent the UKGC from taking formal action. The investigation process can take months from initial contact to a published outcome.
What's the difference between a UKGC fine and a regulatory settlement?
A financial penalty is imposed directly by the UKGC following formal proceedings and constitutes a finding that a licence condition was breached. A regulatory settlement under Section 117 of the Gambling Act 2005 is a negotiated outcome where the operator agrees to a payment in lieu of penalty alongside remediation steps. Settlements are often directed to a UKGC-approved third party rather than to the regulator, and they don't require a formal finding of breach in the same way a direct penalty does. Both types appear in Saferwager's enforcement records and both contribute to a severity score.
Can a gambling operator keep its licence after an enforcement action?
Yes. In the majority of recorded enforcement actions, the operator retains its licence. Only revocation or suspension directly restricts trading. Financial penalties and formal warnings are issued while the licence remains active, so an operator fined for social responsibility failures can continue taking bets the same day the decision is published. Retaining a valid licence doesn't mean the operator's Saferwager Trust Score is unaffected. Enforcement history feeds directly into how that score is calculated.
Which violation categories appear most often in UKGC enforcement?
Social responsibility failures are the most frequently cited category, covering inadequate safer gambling controls and failure to interact appropriately with customers showing signs of harm. AML deficiencies, particularly gaps in source-of-funds checks and suspicious activity reporting, are the second most common. These two categories together account for the bulk of recorded actions. Fair and transparent terms violations are less frequent but have been the subject of specific UKGC thematic reviews, which means they tend to appear in clusters.
How does Saferwager use enforcement history in its Trust Scores?
Each enforcement action gets a severity score from 1 to 5 based on action type, violation category, evidence of customer harm, and whether the operator has prior enforcement history. Actions from the past five years carry more weight in the Trust Score calculation than older ones. Operators with more than one enforcement action receive an additional impact reflecting the elevated risk signal that repeat violations represent. An operator with a current UKGC licence can still carry a materially reduced Trust Score if its enforcement history is substantial.