Crypto Law Profile

AMF MiCA Crypto-Asset Service Provider Transition Regime

Temporary French MiCA bridge allowing eligible pre-30 Dec 2024 DASPs/PSANs to keep providing crypto-asset services until 1 Jul 2026 or earlier MiCA authorisation/refusal. The transition has expired; France now relies on MiCA CASP authorisation or Article...

France Expired Regulation Dec 30, 2024

At a glance

Status Transition expired on 1 Jul 2026; only MiCA-authorised CASPs or eligible Article 60 notifiers may provide services in France.
Who benefited Eligible pre-30 Dec 2024 DASPs/PSANs could continue covered services until authorisation, refusal or the deadline.
Regulator AMF handles French CASP authorisations; ACPR input applies for certain AML/CFT and prudential assessments.
Framework Implements MiCA Article 143 through France’s DDADUE law, 2024 ordinance and 2025 decree.

Overview

The AMF MiCA Crypto-Asset Service Provider Transition Regime was France’s temporary bridge from the national Digital Asset Service Provider, or DASP/PSAN, framework to the EU Markets in Crypto-Assets Regulation authorisation regime for crypto-asset service providers. The transition began when MiCA’s CASP provisions applied on 30 December 2024 and, as of 6 July 2026, has expired. France’s AMF stated that eligible providers could continue covered services only until 1 July 2026, or until a MiCA authorisation was granted or refused, whichever occurred first.

Scope of the French MiCA CASP transition regime

The regime applied to market participants that could show they were already providing crypto-asset services in accordance with French national law before 30 December 2024. AMF materials describe the eligible group as DASPs registered on a simple or enhanced basis, DASPs licensed in France, and certain providers of services listed in Article L. 54-10-2, 5° of the Monetary and Financial Code. For registered or licensed DASPs, the continued activity was tied to the services covered by the provider’s programme of operations at the time of registration or licensing.

The transition did not create a permanent alternative to MiCA authorisation. It temporarily preserved continuity for covered French DASP activity while France and the EU moved to the harmonised CASP framework. MiCA itself covers crypto-asset services, offers to the public, admissions to trading, stablecoin categories, and market-abuse rules, while excluding some assets and activities that remain subject to other financial-services regimes.

Current status after 1 July 2026

The transitional period has ended. From 1 July 2026, the AMF position is that crypto-asset services in France may be provided only by CASPs authorised under MiCA or by eligible financial entities that complete the Article 60 notification route for the relevant services. For French-established CASP applicants, the AMF is the national competent authority for authorisation, with ACPR involvement for certain prudential, internal-control, AML/CFT, management and suitability assessments under French implementation rules.

At EU level, ESMA has also told unauthorised CASPs to wind down EU activities in an orderly manner after the end of the transition. ESMA expects firms without MiCA authorisation to stop onboarding new EU clients, stop marketing and solicitation, limit services to exit actions such as sale, transfer or closure, and maintain AML/CFT controls during wind-down. This profile does not assess whether any named firm is authorised or eligible for an Article 60 notification.

French legal implementation

The French transition rests on several linked instruments. Article 143 of MiCA provides the EU grandfathering framework. France implemented the maximum 18-month period through the DDADUE Law of 9 March 2023 and then adapted the Monetary and Financial Code through Ordinance No. 2024-936 of 15 October 2024 on crypto-asset markets. Decree No. 2025-169 of 21 February 2025 amended regulatory provisions and adapted DASP registration and licensing procedures through 30 June 2026, with specified provisions taking effect on 1 July 2026.

The AMF also revised its DASP policy after the MiCA ordinance and decree. Its June 2025 update noted the end of new DASP registration or licensing under the PACTE regime, clarified the scope of the transition, and referred to new Instruction DOC-2025-05 on information deemed complete for CASP authorisation applications. That instruction is relevant to the simplified authorisation procedure for certain enhanced registered or licensed DASPs, but it does not remove the need for a MiCA authorisation decision.

Practical significance

For CryptoSlate readers, the regime is best understood as a status-and-timing profile rather than a standalone licensing manual. It marks the point at which France’s domestic DASP framework moved into extinction and MiCA became the controlling route for crypto-asset service provision in France. The key date is 1 July 2026: after that date, the French transition is no longer an operative basis for providing services. Readers should consult official AMF, ACPR, ESMA and Légifrance materials for provider-specific status checks and legal interpretation.

Key provisions

Grandfathering period

Eligible providers lawfully active before 30 Dec 2024 could continue covered crypto-asset services in France until 1 Jul 2026 or earlier MiCA decision.

Licensing Dec 30, 2024 Source

End of transition

From 1 Jul 2026, AMF says only MiCA-authorised CASPs or eligible Article 60 notified financial entities may provide crypto-asset services in France.

Perimeter Jul 1, 2026 Source

CASP authorisation route

French-established CASP candidates submit MiCA applications to AMF; eligible financial entities may use Article 60 notification for permitted services.

Authorisation Dec 30, 2024 Source

Simplified application policy

AMF DOC-2025-05 identifies information deemed complete for certain enhanced registered or licensed DASPs applying for CASP authorisation.

Applications Jun 17, 2025 Source

AMF and ACPR roles

French implementation assigns AMF CASP authorisation functions and gives ACPR roles for specified AML/CFT, internal-control and suitability reviews.

Supervision Oct 17, 2024 Source

Timeline

  1. DDADUE law enacted

    French law anticipated MiCA transition for DASPs under Article 8 III.

    Enacted Source
  2. MiCA entered into force

    EU MiCA Regulation entered into force and later applied in phases.

    In force Source
  3. CASP applications opened

    AMF allowed CASP applications for pre-examination ahead of MiCA application.

    Enacted Source
  4. French MiCA ordinance published

    Ordinance 2024-936 adapted the French Monetary and Financial Code for MiCA.

    Enacted Source
  5. CASP provisions applied

    MiCA CASP regime applied; French DASP transition began.

    In force Source
  6. AMF transition doctrine published

    AMF updated DASP policy and published DOC-2025-05 for simplified CASP applications.

    Enacted Source
  7. Transition expired

    AMF stated only MiCA CASPs or eligible Article 60 notifiers can provide services in France from this date.

    Expired Source

Who it affects

Actors

Autorité de contrôle prudentiel et de résolution (ACPR), Autorité des marchés financiers (AMF), European Securities and Markets Authority (ESMA)

Asset classes

Crypto assets

Official sources

Editorial note

Status verified on 2026-07-06 from AMF, ESMA and Légifrance materials. This profile treats the French MiCA CASP transition as expired as of 1 July 2026 and does not assess any individual provider’s authorisation status.