Key dates
- ~October 4, 2022 Deadline
- - Two-month deadline for VPR to remediate compliance issues (from suspension date)
- August 3, 2022
- - CySEC issues partial suspension decision based on AMF findings, effective immediately for French operations
- September 29, 2025
- - CySEC fully withdraws VPR's CIF authorization pursuant to the firm's renunciation
- October 13, 2025
- - CySEC publicly announces license withdrawal
- Post Deadline
- August 22, 2022 (exact date unspecified); - CySEC revokes partial suspension after demonstrated compliance
Suggested considerations
- For VPR/Alvexo (during suspension): Cease all new client onboarding, advertising, and general deposits in France; complete pending transactions and return client funds/instruments; remediate tied agent oversight, marketing compliance, and suitability processes within two months.
- Client protection: Existing French clients retain rights to close positions and withdraw funds without hindrance.
What changed
- This is an enforcement action rather than new rules, imposing specific prohibitions on VPR Safe Financial Group Limited in France:
- Ban on accepting new French clients or entering business relationships with them.
- Prohibition on advertising or marketing investment services to current or potential French clients, directly or via tied agent France Safe Media.
- Restriction on receiving new deposits from existing French clients, except to cover initial margins for open positions upon explicit client request.
These stem from suspected breaches of Cyprus'...
Compliance impact
Urgency: Low (as of January 2026). The 2022 suspension is historical, resolved via revocation and superseded by full license withdrawal in 2025, posing no ongoing restrictions. It matters as a precedent for AMF-CySEC coordination on retail misconduct (e.g., CFD marketing, tied agents), urging firms to prioritize MiFID II conduct rules to avoid similar escalations; prior €100,000 CySEC fine in 2021 adds pattern risk for repeat offenders.