← Digital, E-Commerce & AI

Crypto · MiCA

Legal opinion on the classification of a crypto-asset under MiCA

A token may be a crypto-asset regulated by MiCA, a financial instrument, a genuinely unique NFT, a non-transferable right or an asset subject to another regime. The legal opinion documents the facts and applies the classification test before an offer, listing or service launch.

token classification white paper issuer and CASP
RuleEconomic substance prevails over the token’s name
MiCA categoriesARTs, EMTs and other crypto-assets
Exclusions to checkFinancial instruments, unique NFTs and other regulated assets
01

Required technical and economic facts

The analysis starts with the smart contract, white paper, tokenomics, holder’s rights, stabilisation mechanism, reserve, governance and financial flows. The public offer, admission to trading and services provided around the token are relevant.

Classification may differ from the team’s intention if the documents, marketing or actual use promise rights different from those in the code or official name.

02

The MiCA classification test

The Regulation and European guidelines require a structured examination, first excluding assets subject to other regimes.

  • Transferability and storage: a digital representation of a value or right using DLT or similar technology.
  • EMT: stable value by reference to a single official currency.
  • ART: stabilisation by reference to another value, right or combination, under the Regulation’s conditions.
  • Other crypto-assets: including utility tokens, if they do not fall within the first categories or an exclusion.
  • Financial instrument: the MiFID analysis prevails and takes the asset outside MiCA.
  • NFT: actual uniqueness, series, fractionalisation and actual use.
03

Consequences of classification

Crypto-assets within MiCA may trigger obligations concerning the issuing or offering entity, white paper, notification, marketing communications and conduct. ARTs and EMTs have stricter regimes than other crypto-assets.

Providing custody, exchange, execution, placing, transfer or other services listed in MiCA may require CASP authorisation. The Regulation on transfers of crypto-assets adds information requirements and controls in the situations covered.

04

Structure of the legal opinion

The opinion includes an executive summary, facts and assumptions, legislation, the test applied, the conclusion and next steps. Annexes may contain a flow diagram, technical extracts and the list of documents analysed.

Limitations are explicit: unaudited code, unimplemented functions, unconfirmed markets or services provided by third parties. The conclusion must be updated if the project changes the token’s rights, stabilisation mechanism or distribution method.

05

How we work together

  1. 01
    MiCA questionnaire

    We collect tokenomics, rights, actors, offer, trading, services and target jurisdictions.

  2. 02
    Technical and legal review

    We analyse the documents, available smart contract and consistency between the code, white paper and marketing.

  3. 03
    Classification test

    We apply MiCA and ESMA guidelines, including checks of exclusions and other regimes.

  4. 04
    Opinion and next steps

    We deliver the reasoned conclusion, assumptions, risks and compliance actions.

QUESTIONS

Frequently asked questions

If a token is called a utility token, does it automatically fall into that category?

No. Classification follows the actual rights and use. The name in the documentation is only one element of the analysis.

Is an NFT always outside MiCA?

No. Only genuinely unique and non-fungible assets are excluded; series, collections and fractionalisation may change the conclusion.

Does the opinion guarantee that the authority will accept the classification?

No. It provides a reasoned analysis and a compliance basis, but the authority may take a different interpretation or receive additional facts.

Need a legal opinion on MiCA classification?

Send your documents for a legal assessment and a solution tailored to your commercial objective.