The Dutch gambling regulator Kansspelautoriteit (KSA) has imposed a €4,228,000 administrative fine on Starscream Limited for offering illegal online gambling to Dutch players via Rantcasino, AllstarzCasino, and SugarCasino. The case underlines what FinTelegram has been documenting for months: these are not “minor violations,” but systematic breaches—and the payment stack enabling them is part of the risk surface.
KSA’s action matters because it quantifies the reality: illegal gambling supply targeting the Netherlands can generate tens of millions—and the operator still tries to run without licensing, age controls, and local safeguards. This is exactly why FinTelegram frames offshore casino operations as a financial-crime adjacent ecosystem rather than a “consumer choice” story.
FinTelegram has repeatedly flagged Starscream’s alleged “regulatory evasion” playbook and the role of regulated payment brands in keeping these casinos bankable. Most recently, our Winning.io / Scatters Group intelligence update documented a whistleblower claim tying parts of this network to Starscream-linked control structures—an indicator that “brand rotation + new shells + fresh rails” remains the operating pattern.
The Starscream case underscores that payment facilitators are not neutral pipes. KSA explicitly stresses its cooperation with payment service providers and banks as a tool against illegal gambling. In practice, casinos like Starscream’s brands and Winning.io depend on:
Read our reports on Open Banking facilitator Contiant here.
Given KSA’s explicit focus on “third parties such as payment service providers, banks, and big tech companies”, every facilitator that knowingly or negligently processes payments for Starscream‑type operators is exposed to regulatory, civil, and, in some cases, criminal liability.
The scale of the Starscream fine and the €70+ million in estimated illegal turnover should put all such intermediaries on notice: continuing to service these networks is no longer a low‑risk compliance bet but a direct exposure to enforcement and reputational damage.
Do you have documentary evidence on Starscream-linked payment rails (PSPs, merchant accounts, IBANs, acquiring banks, iDEAL routing, MiFinity flows, card descriptors), or on the broader Scatters/Wagercraft/Starkeast network and its facilitators? If you work at a PSP, bank, open-banking provider, or casino platform vendor with relevant compliance logs, submit securely via Whistle42.com.


