Crypto ATM / kiosk operator in Venezuela
Physical kiosks that exchange cash for crypto (and sometimes vice versa). High-cash AML risk profile.
Crypto ATM is conditionally permitted in Venezuela with a local entity, subject to AML obligations and high licensing burden.
Verdict Details
- Permitted
- conditional
- Local entity required
- Yes
- Licensing burden
- High
- Last updated
- 2026-07-13
AML Obligations
- Registration with SUNACRIP and obtain a license under the Constituent Decree on the Venezuelan Cryptoactive System (Article 5 requires prior authorization for any cryptoactive activity).
- Identify and verify identity of all clients/users for any transaction, regardless of amount (Article 8, Providencia N° 094-2020).
- Maintain records of all transactions and customer information.
- Implement risk-based AML/CFT approaches and internal policies/procedures.
- Suspicious Transaction Reporting (STR) to the National Financial Intelligence Unit (UNIF) – no blanket threshold, focus on suspicious activity.
- Compliance with Providencia N° 094-2020 (General Rules of Prevention and Control of ML/FT/Proliferation for VASPs) published in Gaceta Oficial N° 41.986.
- No explicit Travel Rule threshold, but robust KYC/CDD required for all transactions (spirit of FATF Travel Rule incorporated).
- Fit and proper requirements for directors and management.
Key Restrictions
- Must be a legal entity established and registered in Venezuela.
- Must meet minimum capital requirements (vary by license type, e.g., exchange house requirements).
- Must demonstrate technical and operational capabilities — including secure storage — as part of licensing (cold storage not explicitly mandated but implied best practice).
- No explicit segregation of client assets rules, though general sound financial management is expected.
- No specific insurance/bonding mandates for client digital assets.
- SUNACRIP has been subject to a major corruption scandal (PDVSA-crypto scandal, 2023) — the regulator was intervened and restructured, creating licensing and operational uncertainty.
- Crypto ATM operators are explicitly covered as 'other service providers' under Providencia 094-2020 (any natural or legal person that carries out operations related to virtual assets on behalf of a third party).
Key Risks
- Regulatory uncertainty: SUNACRIP was severely weakened and restructured after the 2023 PDVSA-crypto corruption scandal, with its former head arrested — licensing processes may be disrupted or unreliable.
- High enforcement risk for unlicensed operators: consistent crackdowns on unregistered crypto activities (mining and exchange operations) by SUNACRIP and law enforcement, including confiscation.
- Venezuela is under FATF increased monitoring due to strategic AML/CFT deficiencies — international compliance standards may not be reliably met.
- Political and economic instability creates operational risk; the regulatory framework is in flux and trust in government crypto institutions is low.
- No explicit cash-transaction reporting threshold specific to crypto ATMs identified in the provided facts — potential gap in regulatory clarity for cash-in/cash-out.
Evidence
This verdict synthesizes the following facts. Each fact links to its primary source(s).
Requirement: Any natural or legal person intending to carry out activities related to crypto assets in Venezuela, including providing services that would encompass custody, must register with SUNACRIP and obtain the corresponding license. The law does not define a separate "custody license" but rather general licenses for "providers of cryptoactive services."
Decreto Constituyente sobre el Sistema Criptoactivo Venezolano (Constituent Decree on the Venezuelan Cryptoactive System), published in Gaceta Oficial Extraordinaria N° 6.370 on April 9, 2018.
Article 3 broadly defines "cryptoactive activities" and establishes SUNACRIP as the governing body.
Article 5 mandates that the exercise of any cryptoactive activity requires prior authorization from SUNACRIP.
SUNACRIP Resolutions: Subsequent resolutions detail the requirements for different types of crypto service providers. For instance, Resolution N° 006-2020 (Normas que regulan la Prestación de Servicios de Intercambio de Criptoactivos y Casas de Intercambio de Criptoactivos, published in Gaceta Oficial N° 41.905 on June 18, 2020) outlines requirements for crypto exchange houses, which inherently perform custody functions. These requirements typically include:
Legal entity establishment and registration in Venezuela.
Minimum capital requirements (which vary by license type, e.g., for exchange houses).
Compliance with Anti-Money Laundering (AML) and Combating the Financing of Terrorism (CFT) regulations.
Technical and operational capabilities.
Fit and proper requirements for directors and management.
Segregation of Client Assets Rules:
Specific Requirements: There are no explicit requirements for custodians to obtain specific insurance or bonding for client digital assets against theft, loss, or operational failures.
Cold Storage Mandates:
Specific Mandates: Venezuelan regulations do not contain explicit mandates for the use of cold storage (offline storage) for digital assets.
Providencia N° 094-2020 (dated October 16, 2020): This is a key regulation that establishes the "General Rules of Prevention and Control of Money Laundering, Financing of Terrorism and Proliferation of Weapons of Mass Destruction, Applicable to Virtual Asset Service Providers (VASPs) and Users of the National Cryptoasset System." This providencia is crucial for AML/CFT compliance in the crypto sector.
Effective Date: October 16, 2020.
Identify and verify the identity of all clients/users for any transaction, regardless of amount (Article 8 of Providencia 094-2020).
Maintain records of all transactions.
Implement risk-based approaches.
Suspicious Transaction Reporting (STR) Threshold: The focus is on identifying and reporting suspicious transactions to the National Financial Intelligence Unit (UNIF), rather than a blanket information exchange for all transactions above a specific amount.
Other Service Providers: Any natural or legal person that, on behalf of a third party, carries out operations related to virtual assets (e.g., crypto ATM operators, wallet providers that facilitate transfers, etc.).
All must be registered with SUNACRIP.
Internal Systems and Reporting: VASPs are required to:
FATF Status: Venezuela has been under increased monitoring by the FATF due to strategic deficiencies in its AML/CFT regime. While it has made commitments to address these deficiencies, its overall compliance and effectiveness are still under scrutiny. This means that while regulations exist on paper, their practical implementation and alignment with global standards can be inconsistent.
Regulator Name: Superintendencia Nacional de Criptoactivos y Actividades Conexas Venezolanas (SUNACRIP), often in coordination with the National Electric Corporation (CORPOELEC) and various law enforcement agencies (e.g., SEBIN, CICPC).
Entity Targeted: High-ranking officials from the state oil company PDVSA, the Superintendency of Cryptoassets (SUNACRIP), the Venezuelan Guayana Corporation (CVG), and associated private businessmen. Notably, Joselit Ramírez Camacho, the former head of SUNACRIP, was among those arrested. Violation Type: Corruption, embezzlement, illicit enrichment, money laundering, and treason. The scheme involved diverting billions of dollars in oil sales by conducting transactions outside official channels, often using cryptocurrencies and an parallel financial system to bypass sanctions and hide funds. Penalty Amount: The Public Prosecutor's Office initially reported the embezzlement of over $21 billion USD, though later estimates varied. Penalties include the arrest of over 60 individuals, confiscation of luxury assets (vehicles, real estate), and ongoing trials.
Entity Targeted: Individuals and businesses operating cryptocurrency mining farms or crypto exchanges without the required licenses, permits, and registration from SUNACRIP. This also often included those engaged in electricity theft to power mining operations. Violation Type: Operating illegal cryptocurrency mining farms, facilitating unregistered crypto transactions, non-compliance with SUNACRIP's regulatory framework, and in many cases, electricity theft. Penalty Amount: Seizure and confiscation of high-value mining equipment (ASIC miners, GPUs), shutdown of operations, and arrests of operators. Specific monetary fines, while stipulated in SUNACRIP regulations, were less frequently publicized compared to asset seizures.
Outcome: A major political and economic scandal that led to a significant purge within the Venezuelan government and state-owned companies. SUNACRIP was effectively intervened and restructured, its functions curtailed, and its leadership entirely replaced. The scandal severely undermined trust in government-backed crypto initiatives and has had a chilling effect on the local crypto ecosystem, increasing regulatory uncertainty.
Outcome: Forced compliance with the government's centralized crypto regulations, reduction of informal or illicit mining activities, and an attempt to consolidate control over all crypto-related economic activity within the state's purview. These actions contributed to a more controlled and less decentralized crypto environment in Venezuela.
Verdict Attribution
- Source:
- AI-Generated · Unreviewed
- AI synthesized:
- 2026-07-13 (deepseek-chat)
- Last updated:
- 2026-07-13
- Confidence:
- low
This verdict was produced by an AI model from the underlying facts. Confirm with counsel before relying on it for material decisions.
Conditional — Crypto ATM operators are covered under Venezuela's VASP licensing regime (registration with SUNACRIP + license required), but the regulator is in turmoil after a 2023 corruption scandal, FATF monitors Venezuela for AML deficiencies, and no specific cash-transaction threshold or ATM-dedicated regulation was identified, creating significant operational and legal uncertainty.
Questions this verdict aims to answer
- What money-transmitter / kiosk-specific license is required?
- What cash-transaction reporting thresholds apply?
- What enhanced-KYC obligations attach to cash-in / cash-out?