🚨 There is a new compliance obligation for e-commerce sellers. Watch the video below to learn more. Thank you @thewebonaut, it was a pleasure talking to you! 👏🏻
Are you compliant? I've read so many confusion online about it, that I decided to ask @Rob_Legal from @KiropteraConsul about the new EU Right of withdrawal to demistify it! Sharing is caring 💫 Check it out👇🏼
https://t.co/12Hdb2Ro0g
#WordPress#ecommerce
🚀 Are you running a B2C company, then you definitely need CRD compliance! Check out the full guide below and DM me for further guidance 👇🏻
#business#startup
$2,500 for Balkan teams building cross-chain on Solana.
We partnered with @lifiprotocol to add a local track to the @Colosseum Frontier startup competition. https://t.co/oM5R37YUK4 is cross-chain infrastructure: swaps, deposits, multi-step transactions across chains.
Ljubljana showed up 📷
@dantrilosol from Phase Labs came in and told us exactly what it took to build on Solana — from zero to a working product.
No slides. No pitch. Just real talk about the messy parts of building in crypto.
more coming 📷 @superteamblkn
Another Solana Meetup is coming to Slovenia! 🇸🇮 We are joined by
@dantrilosol , a brilliant mind from the
@phase_ core team, who will share his journey of building a business in the @solana ecosystem.
Special thanks to @Rob_Legal!
Sign up using the link in the reply
Another Solana Meetup is coming to Slovenia! 🇸🇮
We are joined by @dantrilosol, a brilliant mind from the @phase_ core team, who will share his journey of building a business in the @solana ecosystem.
Special thanks to @Rob_Legal!
Sign up using the link in the reply 👇
📰 EU Crypto Law Update: March 2026 – MiCA Enforcement Accelerates
Big developments in EU crypto regulation. The transitional period for crypto firms handling Electronic Money Tokens (EMTs/stablecoins) as payment services ended on or around 2 March 2026.
The European Banking Authority (EBA) issued guidance to national regulators in February 2026:
•Firms can continue EMT payment services only if they meet strict conditions, such as having applied for proper PSD2 authorisation and demonstrating MiCA compliance.
•Non-compliant providers must immediately cease those services.
•Regulators are required to cooperate with MiCA authorities and enforce wind-downs as necessary.
This reflects the interplay between MiCA and the Revised Payment Services Directive (PSD2)—the grace period from EBA’s 2025 No-Action Letter has now expired, spurring numerous CASP applications.
Next Major Deadline: 1 July 2026
MiCA’s full EU-wide enforcement for Crypto-Asset Service Providers (CASPs) begins. National transitional regimes end.
•Grandfathering for existing firms ceases.
•Unauthorised CASPs must exit the market or face enforcement actions.
•ESMA maintains an updated non-compliant entities list as part of its Interim MiCA Register (recently active with weekly changes into 2026).
Also in Effect Since 1 January 2026:
DAC8/CARF tax reporting rules require CASPs to collect and report detailed user and transaction data to tax authorities (first reporting exchanges in 2027). Non-compliance may result in penalties, including asset freezes in certain jurisdictions.
Key Stats for Businesses & Investors:
MiCA passporting allows EU-wide operations for authorised firms, but licences remain limited—dozens issued so far (e.g., first six in Czechia by early 2026; total unique CASPs around 57 across 11 states earlier this year). Many smaller players are consolidating or exiting.
Action Items for CASPs, Exchanges, Stablecoin Issuers, or Wallet Providers:
✅ Check your status on ESMA’s Interim MiCA Register.
✅ Pursue PSD2/MiCA dual-authorisation if handling EMTs.
✅ Bolster AML, governance, and reporting frameworks.
The EU leads globally in crypto regulation—clarity exists, but compliance demands are intensifying. Opportunity or challenge? Share your thoughts below. Need jurisdiction-specific details? DM me.
#MiCA #EUcrypto #CryptoRegulation #DAC8 #Stablecoins
(This is not legal advice. For personal guidance contact our team or another qualified professional.)