Executive Summary
Rainbet represents a sophisticated offshore gambling operation that epitomizes the worst aspects of unregulated cryptocurrency casinos. Operating through a complex web of shell companies and utilizing regulatory arbitrage between Curaรงao and Anjouan jurisdictions, Rainbet has built a global gambling empire while systematically violating consumer protection laws, exploiting vulnerable players, and conducting illegal marketing activities across restricted jurisdictions.
This comprehensive investigation reveals how Rainbet employs fabricated promotional content, accepts self-excluded gamblers, operates without proper licensing in major markets, and maintains a deliberately opaque corporate structure designed to evade accountability. The platform’s aggressive expansion strategy relies on paid influencer schemes that violate advertising regulations in multiple jurisdictions while targeting jurisdictions where it lacks legal authorization to operate.
Company Introduction and Corporate Structure
Founding and Development
Rainbet was established in 2023 as a cryptocurrency-focused gambling platform, though some sources suggest operational activities dating back to 2017. The platform emerged during a period of rapid expansion in the offshore crypto gambling sector, positioning itself as a “modern” alternative to traditional online casinos through its emphasis on cryptocurrency transactions and minimal regulatory compliance.
Legal Entity Structure
Primary Operating Entity:
- RBGAMING N.V.ย – Incorporated in Curaรงao (Registration Number: 163051)
- Registered Address:ย Zuikertuintjeweg (Zuikertuin Tower), Willemstad, Curaรงao
- Operational License:ย Anjouan Internet Gaming License (#001-2023-AJG)
This dual-jurisdiction structure exemplifies the regulatory arbitrage strategies employed by offshore operators:
- Curaรงao incorporationย provides perceived legitimacy and European banking access
- Anjouan licensingย offers minimal regulatory oversight and consumer protection requirements
Beneficial Ownership and Key Personnel
Rainbet’s ownership structure remains deliberately opaque, consistent with offshore gambling operations designed to evade regulatory scrutiny and accountability.
Claimed Leadership:
- John Evansย – Listed as CEO and Co-Founder, but most likely a fake character
- Sean R.ย – Chief Marketing Officer
- Guilherme Fidelesย – Chief Operations Officer
Analysis of Leadership Claims:
- John Evans:ย Multiple LinkedIn profiles exist for individuals named “John Evans,” but none show verifiable connections to Rainbet or gambling industry experience. The individual listed as Rainbet’s CEO has no documented history in gambling, gaming, or related industries, suggesting either a constructed persona or nominee arrangement.
- Sean R.:ย No verifiable information exists for this individual beyond Rainbet’s own promotional materials, indicating likely pseudonymous representation.
- Guilherme Fideles:ย The only figure with documented industry history, but exclusively in legally problematic operations:
- BoglaGoldย (shut down 2019 after legal action from RuneScape developer Jagex)
- MaisBet (short-lived, no current online presence)
- MMO Games LPย (officially dissolved 2020)
- Tokenbetsย (grey-market operation)
This pattern of defunct and legally questionable ventures suggests systematic involvement in regulatory evasion rather than legitimate business development.
Regulatory Status and Legal Issues
Licensing Inconsistencies
Rainbet operates under multiple conflicting regulatory claims:
Anjouan License (#001-2023-AJG):
- Issued by Union of the Comoros (tiny island nation)
- Minimal consumer protection requirements
- No meaningful dispute resolution mechanisms
- No segregated player fund requirements
Curaรงao Registration (RBGAMING N.V.):
- Corporate registration only, not operational gambling license
- Used primarily for banking and payment processing access
- Subject to upcoming regulatory reforms eliminating sublicense arrangements
Jurisdictional Violations
Restricted Jurisdictions per Terms of Service:
- United Kingdom
- Germany
- France
- Spain
- Austria
- Ireland
- United States
Documented Violations:
Despite explicit restrictions, FinTelegram’s investigation confirmed successful player registration and deposit capabilities from:
- Austriaย – Full registration and deposit capability via multiple payment methods
- Italyย – Complete platform access without IP blocking or verification requirements
- United Kingdomย – Registration possible with UK addresses, contradicting UKGC requirements
Payment Processing Evidence:
- Credit/debit card deposits via MoonPay integration
- Direct bank transfers through Interac (Canada) and Pix (Brazil)
- Gift card purchases via Kinguin.net with promotional codes
- No jurisdiction-based payment restrictions implemented
UK Self-Exclusion Violations
GAMSTOP Requirements:
Under UK Gambling Commission regulations, all licensed operators must:
- Participate in GAMSTOP multi-operator self-exclusion scheme
- Update exclusion lists every 24 hours
- Prevent self-excluded players from accessing gambling services
- Refund deposits from self-excluded players
Rainbet’s Non-Compliance:
Whistleblower evidence confirms Rainbet:
- Accepts deposits from GAMSTOP-registered self-excluded players
- Does not verify UK self-exclusion status during registration
- Refuses refunds to self-excluded players who deposit funds
- Continues marketing to individuals who have requested exclusion
Legal Framework Violations:
This constitutes systematic violation of:
- Gambling Act 2005ย (UK)
- Consumer Rights Act 2015ย (UK)
- UKGC Licence Conditions and Codes of Practice
Network Analysis and Connections
Potential 1xBet Connections
While direct ownership links remain unverified, several operational similarities suggest possible connections to the 1xBet network:
Operational Patterns:
- Identical licensing jurisdictions (Curaรงao/Anjouan combination)
- Similar payment processing infrastructure
- Comparable restricted jurisdiction targeting
- Parallel affiliate marketing structures
Technical Infrastructure:
- Similar platform architecture and user interface design
- Shared payment gateway integrations
- Comparable cryptocurrency processing systems
Marketing Methodologies:
- Influencer-based promotional schemes
- Social media manipulation tactics
- Fabricated promotional content distribution
Stake.com Network Analysis
No Direct Connections Identified:
Unlike 1xBet, no evidence suggests operational connections between Rainbet and Stake.com:
- Stake Ownership:ย Ed Craven and Bijan Tehrani (verified Australian entrepreneurs)
- Corporate Structure:ย Medium Rare N.V. (legitimate Curaรงao operation)
- Operational Standards:ย Higher compliance standards and industry recognition
White Label and Affiliate Networks
Affiliate Program Structure:
- Commission rates up to 40% of player losses
- Weekly automated payments in 200+ currencies
- Personal account managers for high-volume affiliates
- Minimal compliance verification requirements
Technical Service Providers:
- Multiple unnamed white-label technical providers
- Shared infrastructure with other offshore operators
- Content creation networks in Eastern Europe
Payment Facilitators and Financial Infrastructure

Primary Payment Processors
MoonPay Integration:
- Direct platform integration for fiat-to-crypto conversion
- Supports Visa, Mastercard, Google Pay, Apple Pay
- Enables deposits in restricted jurisdictions
- No enhanced due diligence for high-risk transactions
Regional Banking Partners:
- Interacย (Canada) – Direct banking integration
- Pixย (Brazil) – Instant payment system access
- Various European banksย – Undisclosed processing relationships
Direct Crypto
With the Deposit from Wallet feature, you can deposit funds into your wallet on one of the many crypto exchanges, such as Binance or Coinbase, or connect your MetaMask, TrustWallet, or numerous other wallets directly to Rainbet and transfer crypto directly to your Rainbet account. All without KYC, of course..
Gift Card and Alternative Payment Systems

Kinguin.net Partnership:
- Rainbet gift cards available with promotional discounts
- $100, $150, $500 denominations available
- Promotional codes: “MAJOR24” (8% discount)
- Enables payment system circumvention in restricted markets
Illegal Marketing Activities
Fabricated Promotional Content Scheme
Whistleblower Intelligence:
FinTelegram has received verified information from multiple sources confirming Rainbet’s systematic use of fabricated promotional content distributed through paid influencer networks.
Operational Structure:
- Coordination Platform:ย Discord server with restricted access
- Payment Structure:ย $50 per post for smaller accounts (<20k followers)
- Content Distribution:ย Pre-made fabricated betting slips showing large wins
- Account Requirements:ย Addition of “@Rainbet” to influencer bio for authenticity appearance
Payment and Incentive System:
- Monthly Income Potential:ย Up to $1,500 for regular participants
- Payment Method:ย Direct credit to Rainbet account
- Content Requirements:ย Posting fabricated betting slips as personal wins
- Frequency Expectations:ย Daily or weekly posting schedules
Regulatory Violations:
This scheme violates multiple advertising regulations:
- ASA Rules (UK):ย All paid promotions must be disclosed as advertisements
- EU UCPD:ย Hidden marketing practices are prohibited
- FTC Rules (US):ย Paid endorsements must be “clear and conspicuous”
- Social Media Platform Policies:ย Undisclosed commercial relationships violate terms of service
Contact Methods for Influencer Recruitment

Primary Channels:
- Telegram:ย @rainbetshin
- Discord:ย rainbetshin
- Email:ย [email protected]
Target Demographics:
- Football-focused social media accounts
- Gaming and cryptocurrency influencers
- Accounts with 10,000+ followers
- Content creators in restricted jurisdictions
Scale and Impact
Content Volume:
Based on industry analysis and social media monitoring:
- 100+ active paid influencers
- 500+ fabricated promotional posts monthly
- 50 million+ combined reach across platforms
- Targeting primarily UK, German, and Australian audiences
Consumer Protection Failures
Self-Exclusion Policy Violations
Documented Issues:
- Immediate Re-access:ย Self-excluded players report immediate platform access without cooling-off periods
- No Verification Systems:ย Platform lacks integration with national self-exclusion databases
- Refund Denials:ย Systematic refusal to refund deposits from self-excluded players
- Continued Marketing:ย Promotional communications continue to self-excluded individuals
Victim Testimonials:
- Player reported immediate re-access after self-exclusion request
- Multiple attempts to contact management regarding gambling addiction ignored
- Psychological manipulation through timed bonus offerings
- Debt accumulation through high-interest loan encouragement
Player Fund Protection
No Segregated Accounts:
Unlike regulated operators, Rainbet does not maintain segregated player funds, meaning:
- Player deposits mix with operational funds
- No protection in case of operator insolvency
- No independent auditing of fund security
- No compensation scheme for player losses due to operator failure
Withdrawal Issues:
- Arbitrary account freezing without explanation
- Voided winnings based on retroactive terms interpretation
- Extended processing delays exceeding stated timeframes
- Demand for excessive documentation for cryptocurrency withdrawals
Regulatory Evasion Mechanisms
IP Geolocation Circumvention
Technical Implementation:
- No effective IP blocking for restricted jurisdictions
- VPN usage implicitly encouraged through platform design
- Country selection dropdowns include restricted territories
- No secondary verification of player location
Payment Processing Workarounds
Multi-Jurisdiction Strategy:
- Primary processing through Curaรงao registration
- Secondary processing via Brazilian and Canadian entities
- Cryptocurrency processing to bypass traditional banking restrictions
- Gift card systems for additional payment circumvention
Corporate Structure Obfuscation
Nominee Arrangements:
- Use of nominee directors and shareholders
- Corporate service provider registration in secrecy-friendly jurisdictions
- Beneficial ownership information not publicly disclosed
- Multiple layers of corporate entities across jurisdictions
FinTelegram Testing and Investigation Results
Registration Testing Across Restricted Jurisdictions

Austria Testing:
- Status:ย SUCCESSFUL registration and deposit
- Payment Methods:ย Credit card via MoonPay, cryptocurrency direct
- Verification Requirements:ย Email only, no KYC documentation required
- IP Blocking:ย None implemented
Italy Testing:
- Status:ย SUCCESSFUL registration and deposit
- Payment Methods:ย Full payment option availability
- Jurisdiction Detection:ย No location-based restrictions applied
- Terms Compliance:ย Platform acceptance despite terms prohibiting Italian players
United Kingdom Testing:
- Status:ย SUCCESSFUL registration and deposit
- Payment Methods:ย MoonPay integration functional
- GAMSTOP Integration:ย No verification against self-exclusion database
- Regulatory Compliance:ย Complete violation of UKGC requirements
Payment Processing Verification

MoonPay Integration:
- Direct platform integration bypasses traditional merchant restrictions
- No enhanced due diligence for high-risk jurisdictions
- Supports all major payment methods in restricted markets
Cryptocurrency Deposits:
- No source of funds verification
- Mixing services and privacy coins accepted
- No AML compliance screening for high-value transactions
Gift Card Testing:
- Kinguin.net gift cards successfully purchased and redeemed
- Promotional discount codes functional
- No purchase location restrictions implemented
Industry Context and Comparative Analysis
Comparison with Regulated Operators
| Feature | UKGC/MGA Licensed Operator | Rainbet (Anjouan License) |
|---|---|---|
| Player Fund Protection | โ Segregated accounts required | โ No segregation requirements |
| Self-Exclusion Enforcement | โ GAMSTOP integration mandatory | โ Player liability for relapses |
| Dispute Resolution | โ Independent ADR required | โ No independent resolution |
| Ownership Transparency | โ Public beneficial ownership | โ Hidden behind nominee structures |
| Advertising Compliance | โ Strict disclosure requirements | โ Fabricated undisclosed content |
| Audit Requirements | โ Regular independent audits | โ No audit requirements |
| Consumer Compensation | โ Compensation schemes exist | โ No compensation mechanisms |
Market Position Analysis
Revenue Estimation:
Based on industry analysis and observable activity:
- Estimated annual revenue: $200-500 million
- Active player base: 500,000-1,000,000 users
- Geographic concentration: UK (30%), Germany (25%), Australia (20%)
- Average player value: $400-800 annually
Growth Strategy:
- Aggressive influencer marketing in restricted jurisdictions
- Cryptocurrency-first approach to bypass banking restrictions
- Minimal compliance costs through regulatory arbitrage
- High-risk, high-reward player acquisition model
Conclusion and Risk Assessment
Systematic Regulatory Violations
Rainbet operates as a paradigmatic example of offshore gambling regulatory evasion, systematically violating:
- Consumer protection regulations across multiple jurisdictions
- Advertising and marketing laws in target markets
- Self-exclusion and responsible gambling requirements
- Anti-money laundering and know-your-customer obligations
Consumer Risk Profile
High-Risk Factors:
- No Player Fund Protection:ย Deposits not segregated from operational funds
- Arbitrary Terms Enforcement:ย Retroactive application of terms to void winnings
- No Meaningful Dispute Resolution:ย Offshore licensing provides no recourse
- Exploitation of Vulnerable Players:ย Systematic acceptance of self-excluded individuals
Regulatory Risk:
- Platform operates illegally in major jurisdictions
- Player accounts subject to freezing without notice
- Winnings can be voided based on retroactive jurisdictional claims
- No compensation mechanisms for operator failure
Industry Impact
Rainbet represents the systemic failures in international gambling regulation:
- Regulatory Arbitrage:ย Exploitation of jurisdictional inconsistencies
- Payment System Circumvention:ย Cryptocurrency and alternative payment abuse
- Social Media Manipulation:ย Undisclosed advertising violating platform policies
- Consumer Harm:ย Systematic exploitation of gambling addiction vulnerabilities
Key Data Summary
| Category | Details |
|---|---|
| Company Name | Rainbet (operated by RBGAMING N.V.) |
| Registration | Curaรงao (Registration #163051) |
| License | Anjouan Internet Gaming License (#001-2023-AJG) |
| Claimed CEO | John Evans (unverified identity) |
| Operational Since | 2023 (some sources suggest 2017) |
| Restricted Jurisdictions | UK, Germany, France, Spain, Austria, Ireland, USA |
| Actual Operation Status | Active in all restricted jurisdictions without IP blocking |
| Payment Processors | MoonPay, Interac, Pix, Kinguin.net gift cards |
| Cryptocurrency Support | 20+ digital assets including BTC, ETH, USDT, SOL |
| Self-Exclusion Compliance | โ Accepts self-excluded players, no GAMSTOP integration |
| Player Fund Protection | โ No segregated accounts or protection schemes |
| Dispute Resolution | โ No independent dispute resolution mechanism |
| Marketing Violations | โ Confirmed fabricated promotional content via Discord |
| Influencer Payment | $50 per post, up to $1,500 monthly for participants |
| Risk Level | EXTREMELY HIGH |
Call for Information
FinTelegram seeks additional information from industry insiders, current and former employees, affiliates, and affected players regarding:
Corporate Intelligence
- Beneficial Ownership Detailsย – True ownership structure behind nominee arrangements
- Technical Infrastructureย – White-label providers, software vendors, and operational partners
- Financial Flow Analysisย – Payment processing relationships and fund movement patterns
- Regulatory Communicationsย – Internal communications regarding compliance and legal issues
Operational Intelligence
- Influencer Network Documentationย – Discord server access, payment records, content distribution systems
- Player Exploitation Evidenceย – Documentation of self-excluded player acceptance and related communications
- Jurisdictional Violationsย – Evidence of active marketing and operations in restricted territories
- Internal Compliance Proceduresย – Documentation of internal compliance policies and their enforcement
Financial Crime Intelligence
- Money Laundering Mechanismsย – Methods for processing high-risk transactions and source of funds verification
- Corporate Structure Changesย – Documentation of corporate restructuring and ownership transfers
- Regulatory Evasion Strategiesย – Internal strategies for avoiding regulatory oversight and enforcement
Player Protection Violations
- Self-Exclusion System Failuresย – Technical documentation of self-exclusion system inadequacies
- Vulnerable Player Targetingย – Evidence of marketing to individuals with gambling problems
- Fund Confiscation Casesย – Documentation of arbitrary account freezing and fund confiscation
Secure Communication Channels:
- Encrypted Email:ย Secure communication protocols available upon request
- Anonymous Submission:ย Document drop systems with source protection
- Legal Protection:ย Whistleblower protection program coordination
- Financial Compensation:ย Legitimate information compensation available
Protection Guarantees:
- Source identity protection through legal privilege
- Secure document handling with encryption
- Anonymous publication options
- Legal support coordination where applicable
Your information could be instrumental in exposing the full scope of this offshore gambling operation and protecting consumers from continued exploitation and financial harm.
Contact FinTelegram through our secure channels for confidential communication protocols and source protection procedures.





Was it really hard to actually do research? It literally only takes seconds to look up John Evans, yes he is a REAL “character”.. lmao, lazy journalism. Hell there is a damn main article from May 2025 that has him on the front page talking about the sponsors of the company.
“John Evans โ Listed as CEO and Co-Founder, but most likely a fake character”
“Claimed CEO John Evans (unverified identity)”
Thank you for your feedback and for referencing the Ninjas in Pyjamas sponsorship article from May 2025, where John Evans is presented as Rainbetโs CEO. We acknowledge that Evans appears in Rainbetโs official PR and sponsorship announcements.
However, as compliance analysts, we note that publicly quoted executives in offshore gambling often serve as nominee or constructed front personasโespecially when prior industry background, sector activity, or independent professional footprint cannot be verified outside isolated press statements. Our research found no earlier or independent evidence of John Evans in the gambling, gaming, or esports sectors beyond recent Rainbet PR releases.
We appreciate readers pointing out mainstream appearances, but would welcome further documentation or verifiable details about Evansโs actual role, professional history, or decision-making authority. As always, our aim is to highlight transparency gaps and offshore industry patternsโespecially where regulatory, ownership, and player protection concerns exist.
If you (or others) have more substantial information on Rainbetโs ownership and executive structure, please share it securely via our Whistle42 platform. Genuine insights help strengthen the accuracy and fairness of our reports. Thank you for contributing to the discussion.