Same-Game Multi
Same Game Parlay
SGP
SGM
Sports Betting & Lottery
A multi-leg bet whose selections are all drawn from a single match or event.
Same-game multis are bet-builder variants and form the dominant single-event accumulator product in US sportsbooks, branded SGP. Because outcomes are statistically correlated, books use proprietary models and add margin compared to combining legs from independent events. They drive substantially higher hold percentages (often 15 to 25 percent) than straight singles for the operator.
Sanctions Evasion
AML & Financial Crime
Techniques used to circumvent sanctions, including front companies, ship-to-ship transfers, falsified documents and crypto obfuscation.
Sanctions evasion typologies catalogued by OFAC, OFSI and FATF include use of front companies in non-sanctioned jurisdictions, vessel AIS-spoofing for oil shipments, document falsification, layered correspondent banking and crypto mixing services. Following the 2022 Russia sanctions, FATF and the G7 Russian Elites, Proxies and Oligarchs (REPO) task force expanded typologies around luxury goods, real estate and gambling-sector exposure. Operators must include evasion typologies in transaction-monitoring rules.
Sanctions Screening
AML & Financial Crime
Checking customers and transactions against government sanctions lists to block prohibited persons, entities and jurisdictions.
Sanctions screening compares customer data against consolidated lists including the US OFAC SDN list, UN Consolidated Sanctions List, EU Consolidated Financial Sanctions List and the UK OFSI Consolidated List. Hits must be investigated and, if confirmed, the account frozen and the regulator notified. Screening is required at onboarding, on every list update (often daily), and before processing payments. Failure carries strict-liability penalties; OFAC has fined firms hundreds of millions of dollars for sanctions breaches involving even small dollar values.
Time-limited authorisation that lets new products or operators trade in a regulated environment under enhanced supervision.
Sandbox or pilot licences allow regulators to observe innovative products or business models, usually under capped player numbers, deposit limits, or geographic scope. Gibraltar and the Isle of Man both operate innovation routes for novel technology, and several US states use pilot frameworks for sports-betting market entry. Pilots typically convert to full licences after a successful trial period with reporting.
Seed Entropy
RNG Seed
Entropy Source
Game Technical
The high-randomness input used to initialise or reseed a pseudo-random number generator so its output is unpredictable.
GLI-19 requires that PRNG seeds come from a true-random source such as hardware noise, mouse jitter, or a TRNG chip, and that the generator be reseeded periodically. Predictable seeds are the most common RNG implementation failure in lab review; even strong algorithms fail if seeded from system time or low-entropy values. Operators must document the entropy source in the technical specification submitted for certification.
Requirement that operators hold player balances in accounts kept separate from the company's operating funds.
Segregation prevents customer balances from being used as working capital or exposed to operator insolvency. The UKGC classifies protection into three tiers: basic (segregation only), medium (quistclose trust), and high (independent statutory trust), and operators must disclose their level to players. High protection gives players the strongest legal claim if the operator becomes insolvent.
A player-initiated block on account access for a defined period to support responsible gambling.
Self-exclusion ranges from a 24-hour cool-off to permanent exclusion. National self-exclusion schemes such as GAMSTOP (UK), CRUKS (Netherlands), OASIS (Germany), and ROFUS (Denmark) bind all licensed operators in real time. Operators must terminate marketing, void open bonuses, and refuse account re-opening before the period expires; UKGC requires a minimum 24-hour cool-down even after expiry before play can resume.
Self-Exclusion Marketing Suppression
GAMSTOP Suppression
Marketing & Affiliates
Operator obligation to remove self-excluded players from every marketing channel, including affiliate audiences.
UK licensees must suppress GAMSTOP-registered users across email, SMS, push, paid social custom audiences, and lookalike seed lists. They must also instruct affiliates to scrub these users from retargeting pools. The UKGC has fined operators for failures here even when the marketing was sent by an affiliate, because licensee accountability is non-delegable.
SEPA Instant Credit Transfer
SEPA Instant
SCT Inst
Payments & Banking
Real-time euro credit transfer that settles in under 10 seconds, 24/7/365, up to EUR 100,000 per transaction.
SEPA Instant Credit Transfer (SCT Inst), launched 2017 and made mandatory by EU Regulation 2024/886 (Instant Payments Regulation) for all EEA PSPs by October 2025, settles euro transfers in under 10 seconds at any hour. The per-transaction ceiling was raised from EUR 15,000 to EUR 100,000 in 2020. For gambling operators it enables true real-time payouts in the EEA without card-scheme involvement and is rapidly displacing standard SCT for both deposits and withdrawals.
Architecture in which the game outcome is computed on a central server rather than on the player's device.
In server-based gaming the client is purely presentational; the RNG draw, reel stops, and payout calculation all happen on certified backend services. This pattern is required by most regulators including the UKGC, MGA, and AGCO because it lets the lab inspect a single instance of the RNG and the operator log every round centrally. The opposite pattern, client RNG, is generally not permitted for real-money play.
A cap on how long a player can stay logged in or actively wagering in a single session before being locked out.
Session limits address time-related harm, not money loss. Germany's GlüStV 2021 caps continuous online slot play at 1 hour, followed by a mandatory 5-minute break. Operators must display the elapsed session time and force a logout when the limit is reached. Some markets, like Spain and Sweden, require users to be offered configurable session limits at registration.
Shared Liquidity
Pooled Liquidity
Game Technical
Arrangement that pools players from multiple jurisdictions into a single game lobby, most often used for online poker.
Shared liquidity is necessary for poker because the game requires a critical mass of opponents. The France-Spain-Portugal-Italy compact has shared cash-game tables since 2018, and the US Multi-State Internet Gaming Agreement pools Nevada, Delaware, New Jersey, and Michigan players. GLI-44 is the standard for the technical platform; segregation of wallet, tax, and KYC records by jurisdiction-of-record is required.
Shell Company
AML & Financial Crime
A corporate entity with no significant operations or assets, often used to obscure beneficial ownership.
Shell companies are not illegal per se but are heavily exploited for laundering, sanctions evasion and tax fraud, as documented in the Pandora, Panama and Paradise Papers. FATF Rec. 24-25 require beneficial-ownership transparency to defeat shell-company abuse. Operators must apply EDD to corporate customers showing shell indicators: registered-agent-only address, no employees, nominee directors, opaque ownership chain across multiple secrecy jurisdictions.
Simplified Due Diligence
SDD
AML & Financial Crime
A lighter-touch CDD regime applied where the assessed ML/TF risk is demonstrably low.
SDD allows reduced identification, verification or monitoring measures when the customer, product and jurisdiction together present low money-laundering risk. It is permitted under FATF Rec. 10 and 6AMLD only where the risk assessment supports it, never as a default. Typical SDD use cases include small-stake recreational players verified through trusted government ID matches, but operators must still apply ongoing monitoring sufficient to detect changes that would trigger standard or enhanced CDD.
A shared data system that lets multiple operators identify a single high-risk customer across brands to coordinate RG interventions.
The Single Customer View is a UKGC-driven, GambleAware-funded initiative led by GAMPROTECT to share high-risk signals between licensees in near real time. The aim is to stop a self-excluded or markers-of-harm-flagged customer from migrating to another operator. Industry pilots launched 2023; full rollout has been delayed by data-protection design issues around UK GDPR Article 9 special-category processing.
Single Euro Payments Area
SEPA
Payments & Banking
The 36-country zone in which euro bank transfers are processed under a single set of rules and prices.
SEPA, governed by the European Payments Council, harmonises euro credit transfers and direct debits across the 27 EU member states plus Iceland, Liechtenstein, Norway, Switzerland, Monaco, San Marino, Andorra, Vatican City and the UK. A SEPA Credit Transfer settles next business day (D+1) at a maximum capped fee. For gambling operators it is the workhorse rail for non-card deposits and withdrawals across the EEA but is not real-time, hence the move to SEPA Instant.
Slovenia-based ISO/IEC 17025 accredited test lab offering RNG, platform, and sportsbook certification across European markets.
SIQ is accepted by regulators including Slovenia URSN, Croatia, Serbia, Romania ONJN, and the MGA. It performs full GLI-19 and GLI-33 attestations and is one of the smaller labs that operators choose for cost-effective entry to South-East European markets. Like all approved labs it must maintain ISO/IEC 17025 to keep its accreditation.
A self-exclusion request made directly to a single operator that blocks the user from that brand or licensee group only.
Site-level self-exclusion is the operator-administered counterpart to national registers like GAMSTOP or Spelpaus. Under UKGC LCCP 3.5.3, licensees must offer minimum periods of 6 months extendable to at least 5 years, close the account, return any balance, and prevent marketing for at least 5 years after the exclusion ends. Operators must also extend the exclusion to other brands they control under the same licence.
Sixth Anti-Money Laundering Directive
6AMLD
AML & Financial Crime
EU directive harmonising the criminal-law side of AML, extending corporate liability and predicate offences across member states.
Directive (EU) 2018/1673, transposed by 3 December 2020, defines 22 predicate offences for money laundering, criminalises aiding/abetting/attempt, and introduces corporate criminal liability with minimum 4-year maximum sentences for individuals. It complements the operational obligations of 4AMLD and 5AMLD. The EU's 2024 AML package replaces much of the directive structure with directly applicable Regulation (EU) 2024/1624 and creates the new EU AML Authority (AMLA).
Platform and regulator rules limiting how gambling brands can advertise on Facebook, Instagram, TikTok, X, and YouTube.
Operators must apply minimum age targeting of 18 (25 in some markets), exclude users showing affinity with under-18 content, and follow the under-25 talent rule in UK creative. TikTok and Snap restrict gambling ads to whitelisted advertisers in licensed markets. Spain bans most social influencer endorsement of gambling outright under the 2020 Real Decreto 958/2020.
A UK lottery promoted by a non-commercial society for its own charitable, sporting or cultural purposes.
Under the Gambling Act 2005, small society lotteries (ticket sales under 20,000 GBP per draw and 250,000 GBP per year) register with local authorities; larger ones need a UKGC operating licence. At least 20 percent of proceeds must go to the society's purposes, no more than 80 percent may be prizes/costs, and the single biggest prize is capped at 25,000 GBP or 10 percent of ticket sales.
A staged release of a new market, brand, or product to a restricted audience for monitoring before scale.
A soft launch limits visibility (geo-cap, paid-media off, invitation-only) so operations, payments, KYC, and game integrations can be stress-tested with real but small volume. Typical soft-launch metrics include payment success rate above 95 percent, KYC straight-through-processing above 80 percent, and zero P1 incidents over a 14-day window. MGA and UKGC both expect documented soft-launch evidence before a Go-Live sign-off.
Formal regulator approval that lets a vendor's gambling software be deployed by licensed operators in the jurisdiction.
Software supplier authorisation confirms that the vendor's games, RNG, and back-office systems meet the jurisdiction's technical standards and that the corporate entity has passed probity review. In Ontario, suppliers must be registered with AGCO as Gaming-Related Suppliers under the Gaming Control Act before any iGaming Ontario operator can use their content. Approval typically requires GLI or BMM certification of each game.
The origin of the specific monies a customer uses to fund a particular transaction or account top-up.
SoF refers to where the actual money used in a transaction came from, such as a salary credit, a property sale or a gambling win at another operator. It is narrower than Source of Wealth. Operators must request and evidence SoF when EDD is triggered, when a transaction is unusually large for the player profile, or when monitoring rules flag the deposit. UKGC enforcement cases (Entain, William Hill) have repeatedly cited inadequate SoF evidencing as a primary failure.
Source of Funds Declaration
SoF Declaration
AML & Financial Crime
A customer-signed statement, supported by documentary evidence, declaring the origin of funds used to deposit or transact.
SoF Declarations are the operational artefact through which operators evidence SoF for EDD or threshold reviews. UKGC enforcement (e.g. 2022 Entain GBP 17m settlement, 2023 William Hill GBP 19.2m settlement) has repeatedly cited acceptance of customer assertions without supporting evidence as a primary failing. Acceptable evidence includes recent payslips, bank statements showing salary credits, sale contracts or accountant letters; verbal assurances are not sufficient.
The origin of a customer's total accumulated assets and net worth, not just the funds used in a single transaction.
SoW describes how the customer built their overall wealth over time, for example inheritance, business sale, long-term salary, investments or property portfolio. It is broader and more structural than Source of Funds, and is required under FATF Rec. 12 for PEPs and other high-risk customers. Evidencing SoW typically requires tax returns, audited accounts, trust deeds or probate documents rather than a single bank statement.
Evidence-based check on how a player accumulated overall wealth, triggered when deposits exceed risk thresholds.
Source of Wealth differs from Source of Funds: SoW interrogates the origin of total accumulated wealth (inheritance, business sale, salary history) rather than a single transaction. UKGC expects SoW checks where cumulative deposits or losses cross operator-set affordability thresholds, often 2,000 GBP per 90 days as a soft trigger. Evidence typically includes payslips, audited accounts, tax returns, or estate documents and must be re-verified periodically for VIPs.
Sweden's national self-exclusion register run by Spelinspektionen; blocks the user from all Swedish-licensed gambling and gambling marketing.
Spelpaus.se is the mandatory Swedish self-exclusion service operated by the regulator Spelinspektionen under the 2019 Gambling Act. Every Swedish licensee must check the register before allowing play or sending direct marketing. A user can self-exclude for 1, 3, 6, or 12 months or until further notice; selecting Spelpaus also automatically blocks all gambling advertising directed at that person.
The minimum elapsed time between the start of one slot spin and the next, mandated to slow play in some jurisdictions.
The UK Gambling Commission requires a minimum 2.5-second cycle between slot spins under RTS 14A, enforced since October 2021. Germany requires 5 seconds under the GluStV 2021. The clock starts from the moment the player presses spin and includes the reel animation and win celebration. Operators must enforce the cycle server-side, not just visually, and certification labs verify it.
Manipulation of a specific in-game event (e.g. a no-ball, throw-in or first card) that may not affect the final result.
Spot-fixing targets discrete micro-markets such as a player to be booked in a specific minute, time of first throw-in, or pre-arranged no-balls. It is harder to detect than result-fixing because the overall result remains genuine. The 2010 Pakistan cricket no-ball scandal led to criminal convictions and an ICC ban and is the canonical case study.
A derivative-style wager where profit or loss scales with how right or wrong the bettor is, not a fixed payout.
The operator quotes a buy and sell spread on a numeric outcome such as total runs, total goal minutes or an index level. The bettor stakes per point above (buy) or below (sell) the spread and the result is the difference multiplied by stake, so losses can exceed the initial stake. In the UK financial spread betting is regulated by the FCA while sports spread betting is jointly regulated by the FCA and Gambling Commission.
Stablecoin Payout
Payments & Banking
Withdrawal paid in a fiat-pegged crypto token such as USDT or USDC instead of bank transfer or card credit.
Stablecoin payouts settle in tokens such as Tether (USDT), USD Coin (USDC) or Euro Coin (EURC) that are pegged 1:1 to a fiat currency. Crypto-licensed operators (Curacao, Anjouan, Isle of Man) use stablecoins because they settle in minutes to any compatible wallet, support 24/7 high-value withdrawals and avoid card-scheme fees. The EU MiCA regulation (Regulation 2023/1114), fully applicable from December 2024, requires e-money tokens used in the EU to be issued by an authorised EMI or credit institution.
The official odds at the moment a horse or greyhound race begins, used to settle bets taken at SP.
In the UK and Ireland, SP is calculated by the Starting Price Regulatory Commission from on-course bookmaker prices (or a digital SP for some meetings). Bets struck at SP are settled at that figure; BOG promotions pay the larger of the early price or SP. The SPRC publishes its methodology and audits compliance with industry standards.
US framework where each state licences and regulates online gambling within its borders, with no federal igaming regulator.
In the US, online casino and sports betting are regulated state-by-state under state gaming control boards or commissions, such as the New Jersey DGE, Pennsylvania PGCB, and Michigan MGCB. Each state issues its own operator and supplier licences, sets tax rates, and runs its own technical standards. The federal Wire Act and UIGEA constrain interstate transmission of bets except where multi-state compacts apply.
A bonus credit that can be wagered but is removed from the player's balance on the first withdrawal.
A sticky bonus inflates playable balance without ever being cashable; only winnings derived from it can be withdrawn. The opposite, a non-sticky or parachute bonus, lets the player withdraw deposit-funded wins without touching wagering requirements until the deposit is exhausted. Non-sticky structures have grown popular in Nordics and Ontario because they are easier to explain transparently under disclosure rules.
Strong Customer Authentication
SCA
Payments & Banking
PSD2 requirement that electronic payments use two of three factors: knowledge, possession and inherence.
Strong Customer Authentication is mandated by EU Directive 2015/2366 (PSD2) and the EBA Regulatory Technical Standards on SCA. A payment must be authenticated by two independent factors from the categories knowledge (PIN), possession (registered phone) and inherence (fingerprint or face). For gambling deposits SCA applies to every card-not-present transaction unless a TRA (transaction risk analysis) or low-value (under EUR 30) exemption is claimed. Non-compliant transactions are declined by EEA issuers.
Breaking a large transaction into multiple smaller ones to evade reporting or CDD thresholds.
Structuring (sometimes called smurfing when multiple individuals are used) is a placement-stage laundering technique designed to stay below thresholds such as the US Currency Transaction Report USD 10,000 trigger or the FATF Rec. 22 EUR/USD 3,000 casino CDD threshold. It is itself a standalone offence under 31 USC 5324 in the US, irrespective of whether the underlying funds are criminal. Modern TM rules detect velocity-based patterns, multiple deposits just below threshold, and aggregation across linked accounts.
Sub-Affiliate
Marketing & Affiliates
A downstream affiliate who works under a master affiliate's account and is paid from that master's commissions.
Sub-affiliate networks let one accredited partner recruit smaller publishers without each one signing direct operator contracts. Regulators dislike opaque sub-affiliate chains because liability for misleading creative or under-18 targeting blurs. Spain's DGOJ and Ontario's iGO require visibility of the ultimate marketing source, and the UKGC holds the licensed operator responsible for any sub-affiliate breach.
Suitability Assessment
Suitability review
Regulatory & Licensing
Regulator's structured evaluation of an applicant's integrity, competence, and financial capacity before granting a licence.
A suitability assessment reviews the applicant's corporate structure, ultimate beneficial owners, source of funds, business plan, and the personal background of key persons. The regulator weighs criminal history, prior regulatory action, civil litigation, and tax compliance, often using overseas police checks and credit data. In Ontario, AGCO's eligibility review explicitly tests honesty, integrity, and financial responsibility.
A confidential report filed with the national Financial Intelligence Unit when an operator knows, suspects or has reasonable grounds to suspect money laundering or terrorist financing.
Required by FATF Rec. 20, SARs (called STRs in many jurisdictions) are filed with the FIU - the UK NCA, US FinCEN, Canada FINTRAC, France TRACFIN, etc. There is no monetary threshold for suspicion-based reporting. Filing protects the operator from ML liability and is legally privileged in most regimes. Tipping off the customer about a SAR is a separate criminal offence under POCA s.333A (UK) and equivalent statutes.
Suspicious Betting Alert
SBA
Sports Betting & Lottery
A formal flag raised by an operator or integrity body about wagering patterns suggestive of manipulation.
An alert is generated when betting activity deviates significantly from modelled expectations, such as sudden line moves against public sentiment or coordinated bets on obscure markets. Operators in regulated markets must report alerts to the relevant integrity association and licensing regulator within defined SLAs, often 24 to 48 hours. IBIA publishes quarterly aggregate alert data by sport and region.
A US business model offering casino-style games using a dual-currency system (Gold Coins and Sweeps Coins) to avoid gambling licensing.
The sweepstakes model lets US operators (Chumba, Stake.us, McLuck) offer slots and table games without a state gambling licence by issuing two virtual currencies: Gold Coins purchased for entertainment and Sweeps Coins received free (with purchase, by mail-in or daily login) that can be redeemed for cash prizes. The model relies on no-purchase-necessary alternative entry to qualify as a sweepstakes rather than gambling. Several state AGs (Michigan, New York, Connecticut) have issued cease-and-desist actions in 2024-2025.
A combination wager covering multiple smaller accumulators from a list of selections so partial wins still pay.
A system bet generates all permutations of a chosen size from a selection list; for example a Trixie is three doubles and one treble from three picks. Unlike a straight accumulator, the bettor can lose one or more legs and still see a return on the surviving combinations. Stake is multiplied by the number of lines, so a 10 unit Lucky 15 costs 150 units.