Axum B.V.
OGL/2024/196/0574
GrantedCustomer
- Contact
- Gouloud Hammoud
- axum@G-force-corporate-services.com
- Company
- Axum B.V.
Review Timeline
JPJemy-Ree Pilgrim (GCB User 3)
AAAnton Axiaq (AAX)
PWPhilippe Warzee (PW)
AAAnton Axiaq (AAX)
STSarah Tua (ST)
KMKevin Mallia (KM)
HSHilary Stewart Jones (HSJ)
CHCeline Houareau (CLHR)
CPCedric Pietersz (Managing Director GCB)
CPCedric Pietersz (Managing Director GCB)
DEDennis Engelhardt (CGA User DE)
MMMario Marques Ricardo (CGA User 60)
DIDenneth Isidora (DEI)
Compliance Checklists
Application Verification ReviewCritical6 items
The Brand Name field must be filled.
Kindly resubmit brand name.
The Brand Name field must be filled.
Kindly resubmit brand name.
Share ledger: Share ledger of Axum Limited is missing.
Kindly submit document.
Directors list for Axum Limited is missing.
Kindly submit document.
PAGE 1: APPLICATION DATE: The application date must be filled and within six month’s of today’s date.
Kindly resubmit with correct date.
Criminal record: The enclosed criminal record is expired.
Kindly resubmit a valid certificate not older than 6 months.
Application Due Diligence ReviewCritical14 items
Kindly note that you must fill out and sign the PHDF digitally. Please resubmit.
Kindly note that you must fill out and sign the PHDF digitally. Please resubmit.
Please submit more SOW along with certified supporting evidence in order to support the business.
Please submit more SOW along with certified supporting evidence in order to support the business.
Please submit more SOW along with certified supporting evidence in order to support the business.
Please submit more SOW along with certified supporting evidence in order to support the business.
Missing Proof of address & Reference Letter
Missing Proof of address & Reference Letter
Please submit a utility bill that reflects your residential address.
Please submit a utility bill that reflects your residential address.
Corporate structure is unsigned. Resubmit signed by director
Corporate structure is unsigned. Resubmit signed by director
Share ledger of applicant company is uncertified. Resubmit certified
Share ledger of applicant company is uncertified. Resubmit certified
Advise if any key persons in the organisational structure have been hired, and if affirmative, identify key persons
Advise if any key persons in the organisational structure have been hired, and if affirmative, identify key persons
Submit FS for year 2023, as well as signed financials in whatever form which are not older than 6 months
Submit FS for year 2023, as well as signed financials in whatever form which are not older than 6 mont
Submit recent and certified documentation showing how the operations of the business are funded and by whom, including documents which show funds owned by the company through cashflow or other means
Submit recent and certified documentation showing how the operations of the business are funded and by whom, including documents which show funds owned by the company through cashflow or other means
1. Submit a certified copy of the Articles of Incorporation 2. Submit a recent and recent certificate of good standing confirming current shareholders and directors
1. Submit a certified copy of the Articles of Incorporation 2. Submit a recent and recent certificate of good standing confirming current shareholders and directors
Q1 : Brand name still missing. Complete and resubmit form
Q1 : Brand name still missing. Complete and resubmit form
AML policy makes reference to HighWeb Ventures,also please upgrade AML to reflect Curacao AML obligations.
AML policy makes reference to HighWeb Ventures,also please upgrade AML to reflect Curacao AML obligations.
Since segregation of funds was not selected please upload funds management policy explaining how player funds are segregated.
Since segregation of funds was not selected please upload funds management policy explaining how player funds are segregated.
Responsible GamingCritical15 items
ID verification procedure
The RG policy must outline the procedure carried out by the operator to verify the player's age.
Account closure procedure upon the operator becoming aware that the player is a minor post-registration.
The RG policy must outline the procedure for post-registration account closure upon the operator becoming aware that the player is a minor.
Procedure on how the player can contact the operator regarding RG concerns via email or chat
The RG policy must describe the procedure for how the player can contact the operator regarding RG concerns via email or chat.
Must be available in English and target market language
The RG page/policy must be available in English and the site's target market language.
RG policy should include a structured process on flagging potential vulnerable gamblers
The RG policy must include a structured process on flagging potential vulnerable gamblers.
Must have a structured process for responding to indicators of problem gambling
The RG policy must contain a structured process for responding to indicators of problem gambling. The key monitoring factors include: - Deposit and wagering frequency - Repeated failed transactions due to insufficient funds - Reversing withdrawals - A pattern of inexplicable extended play sessions - Unreasonable increased communication with customer support, including requests for bonuses - Frequent changes to RG tools - Players maxing out a credit card - Attempts to open multiple accounts to bypass deposit or loss limits
Adopt RBA to determine level of monitoring and intervention
The RG policy must adopt RBA to determine level of monitoring and intervention
Procedure to follow for players identified as vulnerable persons
The RG policy must define the procedure to be followed for players identified as vulnerable persons
Operator must offer players option to activate a cooling-off period
The operator must offer players the option to activate a cooling-off period
Options for cooling-off must include duration and marketing opt-out at minimum
The options for cooling-off may include Duration, brand, vertical and marketing, of which the duration and marketing opt-out are mandatory. Furthermore, the duration must be for a minimum of at least 24 hours
Operator must offer players the option to self-exclude themselves for a duration of at least 1 year
Operator must offer players the option to self-exclude themselves for a duration of at least 1 year
Players must be able to set limits on the total amount they deposit
Players must be able to set limits on the total amount they deposit
The operator is advised to remind adults that they should take precautions when sharing devices with minors
The operator is advised to remind adults that they should take precautions when sharing devices with minors, such as safeguarding usernames, passwords and payment details.
When a player exhibits behaviour that reasonably suggests they may be a Vulnerable Player, the operator must initiate direct contact
When a player exhibits behaviour that reasonably suggests they may be a Vulnerable Player, the operator must initiate direct contact
Other limits may be considered including loss limits, time limits or wager limits, in line wth the operator's target player and/or market
Other limits may be considered including loss limits, time limits or wager limits, in line wth the operator's target player and/or market