Animoca Brands announced on 16 February 2026 that it has received a Virtual Asset Service Provider (VASP) licence from Dubai’s Virtual Assets Regulatory Authority (VARA), positioning the firm to run regulated virtual-asset services from the Emirate. The announcement frames the approval as a milestone for expanding operations in Dubai and the broader Middle East.
The scope matters because the licence is not described as a generic market entry. It is presented as authorization to commence operations and to provide two service lines: virtual asset (VA) Broker-Dealer Services and VA Management and Investment Services. The announcement also specifies the jurisdictional carve-out: operations are authorized in and from the Emirate of Dubai, excluding the Dubai International Financial Centre (DIFC).
What The Licence Appears To Enable
In practical terms, the permission set described by Animoca points to two regulated rails that institutional counterparties care about: broker-dealer activity and investment management style activity. The firm also states it can serve global institutional and qualified investors under this framework, which signals a focus on professional client segments rather than a broad retail rollout.
This kind of licence can change how counterparties evaluate risk. When a firm operates under a defined supervisory regime, banks, custodians, and regulated trading counterparties typically have clearer due-diligence hooks: who is accountable, what services are permitted, and what compliance obligations attach to those services. That clarity often becomes the difference between “can engage” and “cannot engage,” especially for partners that need documented regulatory posture.
VARA itself is positioned as Dubai’s dedicated virtual-asset regulator under Dubai Law No. 4 of 2022, with oversight of virtual asset activities across the Emirate. That governance layer is the core mechanism that turns a regional office into a regulated operating base rather than a purely commercial presence.
Why Dubai Keeps Winning These Mandates
Dubai’s appeal for large Web3 firms is usually not just tax or branding. It is about operating under a single, recognizable licensing model that can be explained to global partners. When a firm can point to a specific permitted-activities list and a local regulator with a public registry, it reduces friction in onboarding with financial institutions and large counterparties.
That is also why the “excluding DIFC” line is important. DIFC has its own financial regulator and separate rules, so the announcement is effectively clarifying which legal perimeter the permission applies to. For counterparties and compliance teams, those boundary conditions matter as much as the headline.
For readers who want a second point of reference beyond company communications, VARA maintains a public register of licensed VASPs and in-principle approvals, including the licensed activities associated with each listing.
Key Details Still Missing
The announcement confirms the licence and describes the service categories at a high level, but three operational details will determine how meaningful the shift is in practice.
First is the exact permissions and constraints inside the broker-dealer and management categories. Even when two firms share a category label, conditions around client types, instruments, and operational requirements can differ.
Second is timing. The announcement says the licence authorizes Animoca to commence operations, but it does not provide a go-live date or a first-product launch window. That matters because a licence can be received before the market sees any active service delivery.
Third is how this status ties into partnerships. In regulated hubs, licences often serve as a foundation for bank relationships, custody partnerships, and institutional onboarding. The next signal to watch is whether Animoca pairs the new status with named counterparties or a specific product expansion plan that leverages the regulated perimeter.
Taken together, the announcement is a clear regulatory footprint upgrade. The market significance will be decided by scope, go-live timing, and whether follow-on partnerships appear that convert regulatory approval into operational scale.
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