In recent Rail Atlas reviews of the FGS Software Solutions casino cluster (including Monixbet, Rakoo Casino, and VoltSlot), we documented repeatable deposit flows where “Pay by Bank / Open Banking” rails appear to route through PayOp → Tink (Visa subsidiary) → Revolut OBA, with deposits attributed to FairGame G.P. N.V. as the receiving party. This looks less like an anomaly and more like a normalized pattern. Compliance teams should explain—clearly—who screens what, and why this is allowed to run.
link.tink.com) → Revolut OBA consent (oba.revolut.com) → payment attributed to FairGame G.P. N.V. (as shown in deposit flows).paymentproccesing.net), underscoring a broader multi-rail obfuscation pattern.Read our report on the FairGame Payment Rails here.
FinTelegram has been mapping payment chokepoints around offshore casinos for months. What we are seeing now is uncomfortable in its simplicity: open banking has become the cleanest deposit rail for merchants that would struggle to sustain card acceptance under normal scheme scrutiny.
In the FGS cluster, the “bank transfer” experience presented to players is not a simple bank transfer. It is a structured consent-and-initiation pipeline: PayOp acts as the front-end payment option; Tink appears as the open-banking layer; and Revolut’s OBA interface is invoked to authorize Tink as the third-party provider. The payment recipient is presented as FairGame G.P. N.V., suggesting a central payment agent structure. This is exactly the kind of stacked accountability that allows risk to “fall between chairs.”
This letter is addressed to those chairs.
To the Compliance and Financial Crime teams of Visa, Tink, PayOp, Revolut, and partner financial institutions:
We are publishing this as an evidence-led compliance challenge, not as a verdict. We do not ask you to “take our word for it.” We ask you to answer the questions that the industry has been avoiding—because this pattern is no longer exceptional.
Across multiple offshore casino brands in the same operator family (Monixbet, Rakoo Casino, VoltSlot), we documented deposit journeys where:
link.tink.com) with language indicating the payment is processed through Tink.oba.revolut.com) to authorize Tink AB.We also documented parallel rails (crypto conversions and opaque gateway domains), which suggests an intentional multi-rail resilience strategy.
How can a Visa-owned open-banking provider (Tink) integrate a PSP (PayOp) in a way that appears to enable offshore casino deposits into EU consumer bank accounts—while the downstream merchant and local-legality context remain blurred?
If your answer is “because we only onboard PayOp,” then the next question is: what exactly do you require PayOp to do, how do you verify it, and what do you do when it fails?
In open-banking flows, the bank’s interface is focused on authorizing the third-party provider (here: Tink AB) to initiate a payment or access account information. The bank may not see a merchant brand in a way that triggers meaningful risk classification—especially when a payment agent entity sits as the payee.
Result: The bank layer is not where merchant legality gets solved.
If Tink’s direct customer is PayOp, then downstream casinos may be treated as sub-merchants. That can create a compliance “handoff”:
Result: Everyone has a piece of the puzzle; nobody holds the whole picture.
Sanctions screening and typical transaction monitoring do not reliably flag “casino marketed into NL/BE without local authorization,” especially when:
Result: The activity can look “normal” to automated systems—until a targeted investigation occurs.
Pay-by-bank is cheaper, has fewer chargeback dynamics, and scales. If policy and controls are ambiguous, volume wins—until a regulator, partner bank, or reputational event forces a change.
Result: The system drifts toward permissiveness.
This is the compliance truth: open banking is now a primary deposit rail for offshore gambling ecosystems. If the industry doesn’t clarify accountability, regulators will clarify it for you—likely through enforcement that redefines what “embedded open banking” can do in high-risk verticals.
If you operate any layer of this stack, you should be able to answer—immediately and in writing:
If you work at Visa, Tink, PayOp, Revolut, a partner bank, or within the FGS/“FairGame” payment chain—and you have onboarding policies, sub-merchant agreements, KYB/UBO requirements, risk memos, monitoring rules, escalation tickets, regulator correspondence, or settlement descriptors tied to these flows—submit evidence securely via Whistle42.com. Redact personal data; focus on contracts, process documents, and transaction metadata.


