Ramp Network says it is now live serving EU customers under an approved Crypto-Asset Service Provider licence, with EU activity run under MiCAR requirements and Central Bank of Ireland supervision, according to its press release dated Jan 22.
The practical claim is straightforward: one authorisation, one rulebook, and the ability to serve users across all 27 EU member states via regulatory passporting.
What “MiCAR CASP Passporting” Means in Practice
MiCAR standardises how crypto-asset services get authorised and supervised across the EU, replacing the prior patchwork of national regimes with a single framework. ESMA describes an interim MiCA register that includes authorised crypto-asset service providers, with updates published regularly as data comes in from national authorities.
For a fiat on and off ramp, passporting is mainly about distribution.
- Product teams ship one compliance implementation rather than 27 country-by-country variants.
- Partnerships with wallets, fintechs, and exchanges become easier to scale across borders.
- User onboarding tends to become more consistent, because disclosures, governance, and operational resilience expectations become harmonised.
Ramp frames the “live” milestone as moving EU customer activity under a single MiCAR-aligned operating model rather than fragmented national regimes.
Which Ramp Entity Holds the Authorisation
Ramp’s communications identify the authorised entity as Ramp Swaps (Ireland) Limited, trading as Ramp Network.
Public regulator pages in other member states also reference the Irish authorisation when listing cross-border services.
For example, France’s AMF whitelist notes Ramp Swaps (Ireland) Limited is authorised to provide crypto-asset services in France under free provision of services, with the licensing date shown as 02/12/2025.
Which Services Are Covered
Ramp’s announcement language focuses on its core on and off ramp activity, meaning conversion between fiat and digital assets.
Where the exact MiCAR service taxonomy matters, member-state registers can add clarity.
- The AMF whitelist in France lists the authorised service as “exchange of crypto-assets for funds” for Ramp Swaps (Ireland) Limited under passporting.
- Estonia’s Financial Supervision Authority cross-border CASP page similarly lists “exchange of crypto-assets for funds” as the cross-border service provided.
This does not automatically mean every possible crypto-asset service is included. It indicates what at least some regulator registers explicitly show for cross-border activity at this stage.
Why It Matters
MiCAR-era compliance is becoming a distribution moat for ramps.
When multiple ramps offer similar UX, the differentiator becomes who can onboard and serve customers across the EU under a stable compliance model, without repeated licensing effort in each country.
For the market, this also tightens the infrastructure layer.
A MiCAR-authorised ramp can become a default integration choice for wallets, exchanges, and apps that want predictable compliance coverage across Europe.
Conclusion
Ramp’s claim that it is now live as a MiCAR-authorised CASP via Ireland is a meaningful infrastructure signal.
If the authorisation and passporting scope hold up cleanly across official registers and service definitions, it strengthens Ramp’s ability to scale fiat on and off ramps across Europe under one compliance framework, which increasingly functions as a real competitive edge in the MiCAR era.
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