Crypto Law Profile

AMF Digital Asset Service Provider Registration and Licensing Regime

France’s former AMF/ACPR framework for digital asset service providers required registration for core services and offered optional licensing. It was repealed July 1, 2026 as MiCA CASP authorization replaced it.

France Repealed Regulation May 24, 2019

At a glance

Status Repealed July 1, 2026; MiCA CASP authorization now controls in France.
Regulator AMF administered DASP registration and licensing, with ACPR input on AML/CFT checks.
Scope Covered custody, fiat/crypto exchange, crypto/crypto exchange, and trading platforms.
Transition Legacy DASPs could continue only until MiCA authorization/refusal or July 1, 2026.

Overview

The AMF Digital Asset Service Provider Registration and Licensing Regime was France’s national framework for crypto-asset intermediaries before the EU Markets in Crypto-Assets Regulation became the operative authorization route. It was introduced through Article 86 of the PACTE Law, which inserted a chapter on “prestataires de services sur actifs numériques” into the Monetary and Financial Code. As of July 6, 2026, this profile should be treated as a legacy and repealed national regime: the MiCA transition ended on July 1, 2026, and French law now centers on authorization as a crypto-asset service provider under MiCA.

Regime overview

The regime used the French term PSAN, commonly translated as digital asset service provider or DASP. It was administered by the Autorité des marchés financiers, with the Autorité de contrôle prudentiel et de résolution involved in fitness, reputation, and AML/CFT review. The original PACTE Law framework defined digital asset services to include custody or access to digital assets, buying or selling digital assets against legal tender, exchanging digital assets for other digital assets, operating a trading platform, and additional order, portfolio, advice, underwriting, and placement services.

The AMF described mandatory registration as applying to custody, fiat-to-crypto buying and selling, crypto-to-crypto exchange, and operation of a digital asset trading platform. The regulator’s registration checks included the good repute and competence of managers and beneficial owners, and AML/CFT compliance checks for custody and legal-tender buying or selling services. The framework applied to DASPs established in France and, under AMF policy, to certain non-French providers offering covered services in France.

Key provisions

  • Mandatory registration. Covered providers had to register with the AMF before offering specified services in France. The AMF handled the filing process and sought ACPR input where required.
  • Optional licensing. A DASP established in France could seek an optional AMF license. Licensed DASPs were subject to governance, capital or insurance, IT resilience, internal control, conflict-management, complaint-handling, and conduct rules.
  • AML/CFT and asset-freezing controls. The regime linked registration to anti-money laundering, counter-terrorist financing, and asset-freezing obligations, with ACPR involvement in the review of relevant controls.
  • Custody safeguards. Registered or licensed custody providers had to address client agreements, custody policy, restitution arrangements, segregation between client and own holdings, and limits on use of client assets or keys.
  • Public lists and withdrawal powers. The AMF published lists of registered and licensed DASPs and could withdraw registration for cessation, inactivity, non-compliance, or irregular registration, generally after ACPR input.

Enhanced registration and MiCA alignment

France tightened the DASP route before MiCA took full effect. AMF amendments announced in August 2023 made enhanced registration mandatory from January 1, 2024 for new participants seeking to provide the four services subject to mandatory registration. Those changes extended requirements on security, internal controls, conflicts of interest, pricing, claims handling, client information, custody arrangements, and IT resilience. The AMF also aligned optional DASP licensing with MiCA Title V requirements and introduced a simplified route for eligible registered or licensed DASPs applying for MiCA authorization.

Current status and transition

MiCA’s CASP provisions became applicable on December 30, 2024. Existing French DASPs registered or licensed under the PACTE regime could continue for a transitional period, but only for their existing approved service perimeter and without a MiCA passport. AMF notices stated that these providers had until June 30, 2026 to obtain MiCA authorization to continue beyond July 1, 2026. From July 1, 2026, entities offering crypto-asset services in France without MiCA authorization were required to cease those activities. The current French code provision prohibits acting as a crypto-asset service provider without authorization under Article 59 of MiCA.

Jurisdictional impact

The DASP regime was significant because it gave France an early national registration and licensing architecture for crypto services, but it no longer functions as the forward-looking authorization path. Editors should link this profile to France, MiCA, licensing and registration, AML/CFT, custody, consumer protection, and market-structure taxonomy pages. Related coverage should focus on the migration from French DASP status to EU CASP authorization.

Key provisions

Mandatory registration for core services

AMF registration covered custody, fiat exchange, crypto exchange, and trading-platform services, with checks on managers and beneficial owners.

Licensing Jan 1, 2024 Source

ACPR AML/CFT involvement

For certain services, AMF review incorporated ACPR input on AML/CFT, asset-freezing controls, fitness, and reputation requirements.

AML/CFT May 24, 2019 Source

Optional DASP licensing

France-based DASPs could seek optional licensing, adding own-funds or insurance, governance, IT resilience, internal control, and conduct rules.

Licensing Dec 20, 2019 Source

Enhanced registration

From Jan. 1, 2024, new applicants for mandatory services faced enhanced controls on security, conflicts, custody, pricing, and client information.

Consumer Jan 1, 2024 Source

Withdrawal and public lists

The AMF published DASP lists and could withdraw registration for cessation, inactivity, non-compliance, or irregular registration, generally after ACPR input.

Supervision May 24, 2019 Source

MiCA transition and repeal

Legacy DASP status did not confer a passport and ended as a route for service provision when the MiCA CASP transition closed on July 1, 2026.

MiCA Jul 1, 2026 Source

Timeline

  1. PACTE Law promulgated

    Article 86 created the French DASP/PSAN chapter in the Monetary and Financial Code.

    Enacted Source
  2. AMF DASP instruction created

    AMF DOC-2019-23 set application-file and related rules for DASP registration and licensing.

    Enacted Source
  3. Enhanced DASP amendments announced

    AMF updated its General Regulation and policy for enhanced registration and MiCA alignment.

    Enacted Source
  4. Enhanced registration applies

    New applicants for mandatory DASP services became subject to enhanced registration rules.

    In force Source
  5. MiCA CASP provisions apply

    MiCA became applicable to CASPs; France permitted qualifying legacy DASPs to use a transition.

    Partially effective Source
  6. DASP transition ends

    France’s national DASP route ended for continuing services without MiCA CASP authorization.

    Repealed Source

Who it affects

Actors

Autorité de contrôle prudentiel et de résolution, Autorité des marchés financiers

Asset classes

Crypto assets

Official sources

Editorial note

Profile covers France’s legacy DASP/PSAN registration and optional licensing framework under the PACTE Law. As of July 6, 2026, classify this national route as repealed and link forward-looking service-provider coverage to MiCA CASP authorization.