Licensed gambling premises National Data Library
These options supplanted their stated preference for Option 1 in the original consultation. The majority of responses received came from respondents within the bingo and arcade sectors. Do you have any additional insights or evidence relating to recent trends in GGY, profit and costs for bingo and AGC operators? The 2 additional options consulted were Option 2(a) and Option 2(b).
Do you agree with the proposed (i) minimum gambling area; (ii) table gaming area; and (iii) non-gambling area requirements for 1968 Act casinos under the new regime? Only areas that comprise 12.5% of the minimum table gaming area can be taken into account when determining the total table gaming area for 1968 Act casinos that access the new machine entitlements. Amending the regulations so that Small 2005 Act casinos only need a minimum table gaming area of 250sqm, reduced from 500sqm. Maximum gambling area for 1968 Act casinos will be decided following responses to the consultation.
More information is available in the consultation response on proposals for changes to Gambling Commission fees (opens in new tab). By checking license details and only playing at trusted sites, such as those we recommend, you can enjoy peace of mind knowing the casino is properly regulated and your rights as a player are protected at all times. The UK Gambling Commission demands extremely high standards of fairness, responsible gaming measures, and player protection. We suggest that you choose from our list here at TopRatedBingoSites, as we are careful to only recommend sites that are properly regulated and compliant with all UK gambling laws. Clicking this link should take you directly to the casino’s profile on the UKGC Official Register, where you can verify the license number, trading names, and any conditions or sanctions in place.
Multi-staking category B cabinets provide customers with the choice of staking at different levels and therefore below the maximum stake permitted. However, over the longer term, some industry representatives have non gamstop casino suggested that operators would likely further reduce their number of Category C and D cabinets in favour of multi-staking Category B cabinets. Unlike Option 1, it would be much more difficult for an operator to increase the number of B3 cabinets on their premises by increasing the number of Category C or D in-fills and tablets that they site. The equalising of these machine types may come at significant costs for some businesses.
Under the scenario outlined in Option 2, it is anticipated that a genuine balance and choice of higher and lower stake machines would be achieved across venues. It would also provide greater flexibility in determining the make-up of their machines and potentially lead to the removal of machines, such as tablets and in-fills, that are infrequently played. Consequently, under Option 2 industry as a whole would have the flexibility to reduce the number of Category C and D machines and/or increase the overall number of Category B machines across the sector, saving energy and/or increasing overall GGY. Consequently, it would deter operators from offering tablets and in-fill devices as a way to increase the number of Category B cabinets on their premises.
Recent and Upcoming Regulatory Changes
Well-trained staff enhance player safety and align with casino staff regulations UK. From dealers to security personnel, employees must be trained and treated fairly, with compliance extending to workplace regulations and gambling-specific requirements. Non-compliant operators risk fines, reputational damage, or license revocation, underscoring the need for casino compliance. This involves checking government-issued IDs, utility bills, or bank statements, aligning with casino licensing requirements UK. KYC processes require casinos to verify a player’s identity, address, and age before allowing deposits or withdrawals. In 2025, new rules cap online slot stakes at £2 for players aged and £5 for those 25 and older, reflecting a push for responsible gambling.
The Key Responsibilities of the UKGC
413.The general position for premises licensing is that premises may only be subject to one premises licence at a time. 410.Under Part 1 of the Act, the Secretary of State will make regulations defining classes of casinos. A provisional statement may be obtained from a licensing authority, in advance of a premises licence, where premises are to be constructed or altered, or where someone has yet to acquire the right to occupy premises. 405.Premises licences, unlike operating licences, are transferable between occupiers (who hold operating licences), on application to the licensing authority. 404.Applicants for premises licences are required to hold a relevant operating licence before being granted a premises licence under this Part, except in the case of tracks, where an operating licence need not be held in all cases.
The UKGC actively publishes enforcement actions on its website, and multiple major operators had their licences suspended or revoked in 2025–2026 for breaching the new White Paper rules. All UKGC-licensed casinos must also participate in the GamStop self-exclusion UK scheme, which blocks you from all licensed sites simultaneously. Always verify the specific licence type when you check if a UK casino is UKGC licensed to make sure it covers the games you want to play. When you check if a UK casino is UKGC licensed for online play, confirm the operator holds a Remote Casino Operating Licence.
These included provisions which entitle any AGC or bingo premises licences granted before 13 July 2011 to retain their existing entitlements of Category B gaming machines (four for AGC premises and eight for bingo premises) notwithstanding the new 80/20 rule. Do you agree with the proposal that casino operators will be required to notify licensing authorities and the Gambling Commission if they decide to take-up their entitlement to additional gaming machines under the new regime? This amendment will mean that 1968 Act casinos that meet the same size requirements of Small 2005 Act casinos (subject to our final position on maximum size of gambling space) will be entitled to 80 gaming machines. From data provided by industry, we understand that there are eight 1968 Act casinos that have a gambling area of 1500sqm or over, and a similar number that are close to 1500sqm and which could be expanded if they decide to site more gaming machines and tables. In order for a 1968 Act casino to be entitled to 80 gaming machines, we propose that it must have a gambling area of at least 500sqm, the same minimum requirement for Small 2005 Act casinos. While we anticipate that many casinos of a suitable size will take up the option to increase their gaming machine allowances under these proposals, we are aware that some casinos will not want to site more than 20 gaming machines.
For those customers who switch from other casino products to gaming machines as a result of this measure, the risk of increased gambling harm as a result of these measures may be limited. Data from the National Gambling Treatment Service shows that a relatively small proportion of patients report participating in gaming machines in casinos. Taken together, the three measures will determine the maximum number of gaming machines that casinos will be entitled to.
If a non-gambling area is to become used for gambling, then that change would require a premises licence variation. The Gambling Act 2005 (Premises Licences and Provisional Statements) Regulations 2007 (opens in new tab) requires applications for a premises licence to include a scale plan, which shows the gambling and non-gambling areas. For other scenarios, and in deciding whether an application to vary a premises licence is necessary, licence holders and licensing authorities should have regard to the following.
The minimum table gaming area for Small 2005 Act casinos, which is currently 500sqm, will be reduced to 250sqm to align the minimum space requirements for these different regimes. Allowing 1968 casinos to increase their machine offering above their current allowance of 20 could result in greater customer willingness to take breaks, which will likely increase reflection and reduce risk. This includes many casinos monitoring customer expenditure across all gaming products, enhanced due diligence measures with trigger values for spend and loss applied to customers and algorithmic systems that use predictive models to identify customers at risk. We also intend to permit a smaller increase in machines for venues that do not meet these size requirements, proportionate to overall size and non-gambling area. The white paper set out the government’s intention to bring the two regimes closer together, with similar requirements on machine numbers proportionate to size, non-gambling area and gaming tables. In practice, operators elect to site Category B machines and typically have an offering of 20 Category B1 machines.
Casinos would not have the option of reverting back to their legacy rights under the existing regime, once they decide to increase their machine allowance in this way. As at present, a 1968 Act casino with a gambling area of at least 200sqm would also need to provide a non-gambling area equivalent to at least 10% of its total gambling area. This relates to ensuring that casinos which share the same building, or adjoin or are adjacent to another casino, are wholly distinct and separate from one another.
Up to 20 percent of total gaming machines can be Category B. This rule mandates that at least 80 percent of all gaming machines in Adult Gaming Centres (AGCs) and bingo halls must be Category C and D. As above, 1968 Act casinos will retain the option of continuing to operate under the existing regime should they not wish to increase their machine allocations.
We propose to move the voluntary commitment into legislation, introducing a legal age limit of 18 on Category D ‘cash-out’ slot-style machines. In order to future proof the gaming machine industry and adapt to modern payment technologies, we are seeking views on a range of player protections that will ensure players can use modern payment methods whilst mitigating the risk of harm. Without intervention, there is a risk that machines could become obsolete as we move towards a “cashless” society. The white paper proposed to reform the 80/20 rule in response to evidence that the current rule does not allow operators to adequately meet consumer demand, while still providing a balanced product offer to customers.
How to verify any casino’s licence in 60 seconds
As outlined in the white paper, we strongly encourage operators to continue to improve player safety controls on Category B3 machines. Premises licence fees are collected by licensing authorities for applications and annual renewals to cover the cost of administration of their gambling duties and gambling enforcement. Currently, annual fees for 1968 Act casinos are between 65% and 90% of the annual fees that 2005 Act casinos in the equivalent fee category are required to pay.
- Players often ask exactly where to go to check if a UK casino is UKGC licensed.
- The Gambling Commission has a range of powers, including the ability under the Gambling Act 2005 to investigate and bring prosecutions against those that provide unlicensed gambling facilities to consumers in Britain.
- We propose that the table gaming area for casinos that have less than 500sqm of gambling space must be equal to or greater than half the size of the gambling area.
- We propose that Category D machines are not required to display safer gambling messaging beyond the current requirements placed on these machines.
- Such conditions will be specified in regulations, and must be included in all premises licences, or classes of premises licence, to which they apply.
- Whether you’re launching a high-street venue or a digital platform, understanding casino licensing requirements UK is the first step.
In the financial year to 2022, the average GGY per Category B machine (across all licenced land-based venues) was £30,360, compared to £2,030 per Category C machine and £1,350 per Category D machine. Another key benefit is the increased GGY from Category B machines in bingo and arcade venues. The proposed measure will allow venues to remove unused Category C and D machines and save on the costs of maintaining and powering them. The primary benefit of this measure is a reduction in energy and maintenance costs from unused machines. The Gambling Commission will conduct a future review of the gaming machine technical standards. The increase in Category B machines is expected to be even higher for Option 3, where no restrictions would be applied.
Category C machines, which have a maximum stake of £1 and a maximum prize of £100, can only be played by adults in certain venues, such as pubs, betting shops, arcades and bingo halls. Firstly, it would split family groups, requiring adults who wish to play these machines to leave the group playing on non-gambling products. Industry responses highlighted that it is disproportionate to require that these machines be moved to an age-restricted area for 2 key reasons. For example, Bacta commented that ‘cash-out’ Category D slot-style machines are substantially different from harder gambling slot machines, and are better described as fruit machines or amusement with prizes machines.
Any 1968 Act casinos that wish to remain on the existing regime will be able to do so and are not required to adjust their product offering (unless they decide to take up the opportunity to offer facilities for betting). We will give further consideration to these casinos having the option of reverting back to the existing (current) regime, as this will be a decision unavailable to 2005 Act Small casinos. We also acknowledge concerns about an increased availability of machines potentially leading to greater opportunities for gambling-related harm.
It is intended as an informational reference for operators, compliance professionals, and researchers. This guide covers the legal framework, licence types, application process, fees, ongoing compliance obligations, and the significant regulatory reforms that have reshaped the UK market between 2023 and 2026. With 2,662 active operator records tracked in the Gambling License Register, the UK represents the largest single jurisdiction in this database by licence count. The United Kingdom Gambling Commission (UKGC) is widely regarded as one of the most rigorous gambling regulators in the world. You can now view the full LCCP online, search, save, or print it off. The Licence conditions and codes of practice set out the requirements all licensees must meet in order to hold a Gambling Commission licence.
View licence details, trading names and authorised domains. Before allowing any wagering, operators must confirm a player’s identity. These apply to staff members who perform key roles within gambling organizations. Granted by local councils, these allow physical locations to be used for gambling. Issued by the Gambling Commission, these are mandatory for businesses offering gambling services in the UK. The Gambling Act 2005 is the central legal framework governing gambling.
Overall, they would either prefer the current contactless payment restrictions to apply for debit card payments on machines or for chip and pin to only be required at the beginning of any session. While this option does not provide as great an increase in commercial flexibility as Option 3, Option 2(b) and, potentially for some operators, Option 1, the evidence received suggests that the vast majority of operators would benefit under this option. This option balances our 2 key priorities, the first being to support arcade and bingo premises through increased commercial flexibility within the context of many businesses operating at a loss post-COVID-19.
This consultation relates to land-based gambling provided to customers in Great Britain, by operators who are consequently required to hold the appropriate licence from the Gambling Commission. The government is considering raising maximum licence fees for gambling premises. If you are a local authority/ licensing board, how many premises licence applications did you receive in the 22/23 financial year? We expect that wider benefits will arise from the increase in oversight and enforcement activity by licensing authorities of gambling premises in their area and are seeking further information to better understand these benefits. The primary cost of this measure is the additional costs incurred by gambling operators resulting from the increased licensing fees.




