Rainbet: Offshore Gambling Empire Built on Regulatory Arbitrage and Deceptive Practices
Executive Overview
Rainbet illustrates the most concerning aspects of unregulated offshore cryptocurrency casinos. Established through a multi-layered corporate network and exploiting legal inconsistencies between Curaçao and Anjouan, the company has expanded into a global gambling operator while disregarding consumer protection laws, breaching self-exclusion policies, and marketing unlawfully in prohibited jurisdictions.
An investigation by FinTelegram highlights how Rainbet employs fabricated promotions, fails to safeguard player funds, and sustains an intentionally non-transparent ownership structure designed to evade accountability.
Company Profile and Legal Structure
Establishment and Development
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Officially launched in 2023, though sources suggest activities dating back to 2017.
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Marketed as a “modern” casino focused on crypto payments, minimal compliance obligations, and global reach.
Legal Entities
Primary Operating Entity:
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RBGAMING N.V. – Curaçao registration (#163051)
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Address: Zuikertuintjeweg (Zuikertuin Tower), Willemstad, Curaçao
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License: Anjouan Internet Gaming License (#001-2023-AJG)
Regulatory Strategy:
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Curaçao incorporation: provides legitimacy and access to banking.
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Anjouan license: minimal oversight, no meaningful dispute resolution, and virtually no consumer protection.
Ownership and Management
Claimed Leadership
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John Evans – CEO & Co-Founder (identity unverified)
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Sean R. – Chief Marketing Officer (no public record)
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Guilherme Fideles – COO (documented links to grey-market gambling projects).
Analysis of Backgrounds
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John Evans: Multiple LinkedIn profiles exist but none verify industry experience. Likely a constructed persona.
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Sean R.: No independent record outside Rainbet’s own PR.
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Guilherme Fideles: Connected to defunct or problematic ventures, including BoglaGold, MaisBet, MMO Games LP, and Tokenbets.
Regulatory Status and Compliance Issues
Licensing Discrepancies
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Anjouan License: lacks consumer fund protection, no external audit, no self-exclusion enforcement.
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Curaçao Registration: only corporate incorporation, not a full gambling license.
Restricted Market Access
Rainbet’s terms prohibit operations in: UK, Germany, France, Spain, Austria, Ireland, USA.
However, FinTelegram testing confirmed active registration and deposits from:
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Austria – full payment functionality.
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Italy – unrestricted platform access.
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United Kingdom – user sign-ups and deposits processed despite UKGC regulations.
Payment Systems Used:
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MoonPay (Visa/Mastercard)
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Interac (Canada), Pix (Brazil)
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Gift cards via Kinguin.net
Self-Exclusion Failures (UK)
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No GAMSTOP integration.
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Self-excluded gamblers still accepted.
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Deposits not refunded.
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Targeted marketing continues post-exclusion.
These constitute breaches of the UK Gambling Act 2005, Consumer Rights Act 2015, and UKGC codes.
Networks and Operational Links
Similarities to 1xBet
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Same licensing jurisdictions (Curaçao/Anjouan).
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Identical payment gateways.
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Affiliate models built on aggressive jurisdiction targeting.
Distinction from Stake.com
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Stake owned by Ed Craven and Bijan Tehrani under Medium Rare N.V.
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Unlike Rainbet, Stake adheres to recognized compliance standards.
Marketing Tactics and Influencer Recruitment
Fabricated Promotions
FinTelegram received evidence showing Rainbet systematically pays influencers to publish fake winning slips.
Operational Scheme:
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Coordination: private Discord servers.
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Influencer Payments: $50 per post, up to $1,500 monthly.
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Content: pre-made betting slips portraying fabricated wins.
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Requirements: influencer bio must include “@Rainbet.”
Contact Channels for Recruitment
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Telegram: @rainbetshin
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Discord: rainbetshin
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Email: [email protected]
Regulatory Breaches:
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ASA (UK): undeclared ads.
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EU UCPD: hidden marketing banned.
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FTC (US): endorsement disclosure required.
Consumer Protection Deficiencies
Player Risks
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No segregated accounts; deposits mixed with operating funds.
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Arbitrary freezing of withdrawals.
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Refusal to refund deposits from self-excluded players.
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Continued targeting of gambling-addicted individuals.
Testimonials
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Users reporting instant re-access after self-exclusion.
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Addiction support requests ignored.
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Debt encouraged through bonus structures.
Comparative Industry Table
|
Feature |
Regulated Operators (UKGC/MGA) |
Rainbet (Anjouan License) |
|
Player Fund Security |
✅ Segregated accounts |
❌ None |
|
Self-Exclusion Systems |
✅ GAMSTOP enforced |
❌ Ignored |
|
Ownership Transparency |
✅ Public disclosure |
❌ Hidden |
|
Dispute Resolution |
✅ Independent ADR |
❌ Absent |
|
Advertising Rules |
✅ Disclosed ads |
❌ Fabricated promos |
Risk and Market Impact
Estimated Scope
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Annual Revenue: $200M–$500M
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User Base: 500k–1M active players
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Key Regions: UK (30%), Germany (25%), Australia (20%)
Risk Levels
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Consumer Risk: Extremely high.
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Regulatory Risk: Persistent violations in key jurisdictions.
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Industry Risk: Highlights failures in cross-border gambling regulation.
Call for Information
FinTelegram is collecting insider intelligence, including:
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Ownership documentation
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Payment processor details
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Evidence of AML violations
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Records of self-exclusion breaches
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Influencer contract data
Submission Methods:
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Encrypted email (by request)
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Anonymous drop services
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Legal support for whistleblowers
Conclusion
Rainbet stands as a case study in offshore regulatory evasion. Through fabricated marketing, systemic consumer protection failures, and deliberate opacity, it poses a severe risk to players worldwide.
FinTelegram’s investigation calls on insiders, regulators, and affected players to share evidence to help expose the full scope of this operation.
