Hong Kong's SFC issues Virtual Asset Trading Platform (VATP) licences under the Anti-Money Laundering Ordinance — establishing HK as a regulated hub for compliant virtual asset exchange operations in Asia.
Hong Kong introduced mandatory VATP licensing under the Anti-Money Laundering and Counter-Terrorist Financing (Amendment) Ordinance 2022, effective June 2023. All centralised virtual asset exchanges operating in or targeting HK must hold an SFC VATP licence. The regime positions HK as a regulated alternative to less supervised offshore crypto jurisdictions.
Marensa Advisory advises on VATP licence applications — covering corporate setup, AML/CFT programme, cybersecurity framework, insurance arrangements, token admission policy, and ongoing SFC reporting obligations.
Discuss Your VATP ApplicationThe SFC's VATP requirements are among the most comprehensive for crypto exchanges globally. These are the key areas assessed during application.
VATP licensing is complex and requires genuine operational infrastructure — not just paperwork. Insurance, cold storage custody, and blockchain analytics are practical requirements that must be in place, not just planned.
Marensa Advisory advises VATP applicants with deep knowledge of both the SFC's documented requirements and the operational realities of building a compliant virtual asset exchange.
Start the ConversationYes. Since June 2023, all centralised virtual asset exchanges operating in or actively marketing to HK investors must hold a VATP licence or have applied for one under transitional arrangements.
Yes — this is a key distinction from most other jurisdictions. However, retail investor access requires additional conduct controls, knowledge assessments, and concentration limits not required for professional investors.
The SFC has not published a firm timeline. Given the volume of applications and the depth of assessment, 12–24 months from submission is a realistic expectation for full VATP licensing.
VATPs that provide dealing or asset management services alongside exchange operations may also need standard SFC Regulated Activity licences (e.g., Type 1 for dealing). Dual licensing is common for full-service VATP operators.