Regulator's Profile — CBUAE (UAE)

CBUAE is the federal regulator of Payment Token Services (stablecoins) in the United Arab Emirates: who must obtain a licence or registration, the reserve and prudential requirements for Dirham-backed tokens, restrictions on foreign payment tokens, AML obligations, custody controls, and how issuers secure authorisation.

What We Deliver

We translate the CBUAE Payment Token Services Regulation (2024) into board-grade artefacts, reserve architecture design, white paper drafting, prudential capital modelling, AML/Travel Rule frameworks, governance documentation, and regulator-facing submission packs, and carry the file through authorisation to launch.

The Regulator

Who The CBUAE Is

The Central Bank of the United Arab Emirates (CBUAE) is the federal monetary authority regulating:

  • Digital payment services
  • Stablecoins (Payment Tokens)
  • Fiat-referenced virtual assets used as a means of payment
  • Issuers and custodians of payment tokens
  • Conversion (spot exchange) of payment tokens

Under the Payment Token Services Regulation (Circular No. 2/2024) issued pursuant to the Central Bank Law (Federal Decretal Law No. 14 of 2018), the CBUAE regulates:

  • Dirham Payment Token Issuers
  • Foreign Payment Token Issuers (registration regime)
  • Payment Token Custody and Transfer providers
  • Payment Token Conversion providers

🚫 No person may perform a Payment Token Service within or directed to the UAE without a CBUAE licence or registration.

Instruments the CBUAE Uses

Payment Token Services Regulation (Circular No. 2/2024)

Central Bank Law (Federal Decretal Law No. 14 of 2018)

UAE AML Law (Federal Decree Law No. 20 of 2018)

Consumer Protection Regulation

Outsourcing Regulation

Administrative enforcement powers under the Central Bank Law

The CBUAE framework is prudentially structured and reserve-backed. Stablecoin issuance is treated as a financial activity subject to banking-style oversight.

Scope

Scope & What's Covered (Stablecoins)

To perform a Payment Token Service in the UAE, firms must obtain either:

  • A CBUAE Licence (for UAE-incorporated entities), or
  • A CBUAE Registration (for foreign issuers and certain conversion/custody models)

Payment Token Services include:

1. Payment Token Issuing (primary issuance)

2. Payment Token Custody and Transfer

3. Payment Token Conversion (spot buy/sell)

The Regulation applies to services:

● Performed within the UAE, or

● Directed to persons in the UAE

Token Types

Types of Payment Tokens

AED-backed stablecoins

Dirham Payment Tokens

FOREIGN CURRENCY-BACKED STABLECOINS

Foreign Payment Tokens

Prohibitions

What Is Prohibited

The CBUAE framework expressly prohibits:

Licensing Structure

Licensing Structure — Stablecoin Regime

The CBUAE regime distinguishes between licensing and registration:

Licensed Activities (UAE Entities)

1. Dirham Payment Token Issuer

2. Payment Token Custody & Transfer

3. Payment Token Conversion (where principal activity)

Registered Activities

1. Foreign Payment Token Issuer

2. Foreign Payment Token Custody & Transfer

3. Certain Conversion Providers (Non-Objection Registration)

Capital, governance, reserve architecture and reporting obligations apply proportionately to risk.

Core Prudential Requirements

Reserve Of Assets - The Core Prudential Requirement

Reserve of Assets — Core Prudential Requirement

Dirham Payment Token Issuers must maintain:

⚠️ Reserve mismanagement is a primary enforcement trigger.

WHITE PAPER REQUIREMENT

Licensed issuers must publish a White Paper covering:

ℹ️ The White Paper is subject to audit and Central Bank scrutiny.

Standards

Conduct, Prudential & Technology — What "Good" Looks Like

Prudential Standards

Conduct Expectations

Custody & Technology Controls

AML & Travel Rule

AML, Travel Rule & Financial Crime Controls

All Licensees and Registrants are AML Obligors.

They must implement:

CBUAE expectations align with FATF standards and UAE federal AML law.

Merchant Acceptance

Merchant Acceptance Rules

Merchants in the UAE may only accept:

Licensed Dirham Payment Tokens, or

Registered Foreign Payment Tokens — for purchase of virtual assets only

🚫 No other virtual assets may be accepted as a means of payment.

Supervision & Enforcement

Supervision & Enforcement

CBUAE supervises through:

Periodic reporting

Reserve audits

Prudential review

AML supervision

On-site inspections

Thematic reviews

Administrative penalties

Licence suspension or revocation powers

Material events (capital, reserve shortfall, cyber incident, breach) must be escalated promptly.

Quick Facts

Quick Facts

CBUAE regulates stablecoins used as payment in the UAE.

Algorithmic stablecoins are prohibited.

Dirham-backed tokens must be fully reserve-backed.

Foreign payment tokens are restricted in domestic use.

Issuers must publish an audited White Paper.

Client assets must be segregated.

AML compliance is mandatory.

Services directed into the UAE fall within scope.

What We Deliver

What CRYPTOVERSE Legal Delivers

Regulatory Perimeter Analysis

(CBUAE vs VARA vs SCA)

Stablecoin Structuring

(Dirham vs foreign model)

Reserve Architecture

Design & safeguarding framework

White Paper Drafting

Drafting & audit coordination

AML/Travel Rule

Framework implementation

Governance and Board Docs

Board documentation

Capital Planning

Prudential modelling

Full CBUAE Submission

Management through authorisation

FAQs

Frequently Asked Questions

Do we need CBUAE approval to issue a stablecoin in the UAE?

Yes. Dirham-denominated stablecoins require a CBUAE licence. Foreign issuers must register if targeting the UAE.

Are algorithmic stablecoins allowed?

No. They are prohibited under the Payment Token Services Regulation.

Can merchants accept USDT or other stablecoins in the UAE?

Only if the token qualifies as a Registered Foreign Payment Token and is used within permitted scope.

Is custody included in issuance approval?

Not automatically. Custody and transfer is a separate regulated activity.

Does the Regulation apply if we are licensed by VARA or SCA?

Yes, if the asset functions as a “Means of Payment,” CBUAE jurisdiction applies.

Get Started

Launch Your PTS Under the CBUAE

From regulatory perimeter analysis and stablecoin structuring through reserve design, white paper drafting, and full CBUAE submission management — we carry the file through authorisation to launch.