A February 2026 compliance review confirms that offshore broker RoboForex Ltd (Belize) continues onboarding EU retail clients and directing SEPA deposits to a Lithuanian bank account held with AB Mano Bankas. Despite clear EU residency disclosure during KYC, the broker accepted the account and issued an invoice instructing payment to its Belize entity. The structure raises material MiFID and AML governance questions.
RoboForex Ltd is the operator of the offshore broker RoboForex.com. The entity is:
Under EU law, the active onboarding of EU residents and acceptance of funds via SEPA banking rails constitutes cross-border financial service provision.
The review demonstrates:
This is not incidental access.
This is structured onboarding.
The deposit flow is straightforward:
EU client
↓
RoboForex platform
↓
SEPA instruction
↓
Transfer to Lithuanian IBAN
↓
Beneficiary: RoboForex Ltd (Belize)
The invoice confirms:
This is retail funding of an offshore broker.
AB Mano Bankas (website) is a Lithuanian-regulated credit institution supervised by the Bank of Lithuania and subject to:
Where a bank maintains an account for an offshore broker accepting retail EU funds, compliance questions arise:
The IBAN is not used for corporate treasury transfers. It is used for direct EU client deposits. That changes the risk profile materially.
From a compliance perspective, this structure may expose the bank to:
This report does not allege wrongdoing. It documents a factual structure that warrants supervisory examination.
The review documentation includes:
All materials are preserved.
The central issue is simple:
Can an offshore broker licensed in Belize accept EU retail deposits through a Lithuanian bank account without MiFID authorization?
And if not:
What is the supervisory expectation of the EU-regulated bank providing the IBAN?
FinTelegram invites regulators, compliance officers, and insiders with knowledge of cross-border SEPA facilitation of offshore brokers to contact us confidentially via Whistle42.com.


