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Fast Offshore

Source review

Fast Offshore is a non-legal corporate and licensing-coordination brand operated through Vanthorpe Advisors Ltd.; its contracting and local-provider chain still needs independent verification.

This profile is not published as a verified review

The old unverified draft remains withheld. Where a normalized research record exists, the checked scope, unresolved questions, and source trail appear below without implying eligibility or a recommendation.

Research identity
Mapped legal name
Vanthorpe Advisors Ltd.
Entity type
brand
Provider lifecycle
active
Identity check
partially verified
Identity reviewed
2026-07-12
Profile reviewed
2026-07-12

Fast Offshore is an active advisory brand whose current privacy policy and website footer identify Vanthorpe Advisors Ltd. as its British Columbia operating company and give a Vancouver address. The Canadian Gaming Association's official directory independently confirms current Fast Offshore membership at the brand level, but no authoritative British Columbia company record, registration number, directors, incorporation or status date, signatory, contracting document, or invoice was matched. The brand-to-company and engagement-counterparty mapping therefore remains provisional.

These are source-reviewed records from a provider profile that is still withheld from publication. A product module can be verified while the supplier identity, category placement, or review freshness remains unresolved. Confirmed, vendor-reported, and unresolved statements stay labeled below; nothing shown here is eligible for a provider comparison until the profile and placement reviews also pass.

Fast Offshore Licensing Coordination

ResearchingMulti ProductMixedAvailability: Standalone and Bundled

Fast Offshore currently markets gambling-license application coordination, corporate and compliance administration, document support, and introductions to banks, payment providers, lawyers, and other third parties. The pages establish a marketed service scope, not delivery quality, regulator approval, license ownership, professional authority, account success, or target-market permission.

The current privacy policy identifies Vanthorpe Advisors Ltd. in Vancouver as the brand operator and expressly says the business is not a law firm, regulator, licensing authority, bank, payment institution, trust company, or financial institution. That identity remains vendor-reported until an independent registry record is matched.

Delivery is mixed: Fast Offshore may coordinate a file, while the applicant, regulator, qualified professionals, local company-service providers, banks, and payment providers retain their own work, authorization, and decisions. The current FAQ says merchant-account application assistance is free and bank partners remain unnamed until onboarding, but it does not disclose the compensation source, referral economics, actual invoice payee, complete provider chain, or engagement-specific responsibility and data map.

Products in this research record
License application coordination: Jurisdiction assessment, document planning, submission support, correspondence, and issue tracking only when the applicant, regulator, license class, filing authority, responsible providers, and deliverables are named in the engagement.
Corporate and compliance administration: Company, KYC, policy, renewal, and administrative coordination that requires a disclosed authorized local provider, a responsibility map, and separate verification of every regulated task.
Banking and payment introductions: Introductions and application-document support only. No reviewed source establishes Fast Offshore as a bank, payment institution, underwriter, processor, merchant of record, or approval guarantor.
Third-party professional coordination: Legal, tax, accounting, fiduciary, banking, payment, and other regulated work must be supplied by the named qualified third party under its own authorization, liability, conflict, and data terms.

Integration evidence: Before sending identity, ownership, source-of-funds, source-of-wealth, bank, or regulatory material, require an order that names the contracting and invoicing entity, signatory, applicant, regulator and license class, qualified lawyers and other professionals, every local company-service provider, filing authority, bank and payment recipient, deliverables, official and professional fees, referral commissions and markups, compensation received from banks, acquirers, registered agents, authorities, or other providers, payment recipient, refund and cancellation rules, milestone acceptance, conflicts, liability, rejection and remediation scope, document ownership, termination, records access, and exit handover. Require a project-specific DPA and data map covering controllers, processors, independent recipients, referral partners, subprocessors, regulator portals, international transfers, retention, deletion, incidents, and access logs. A consultation, package, filing, or introduction is not regulator, bank, or payment approval.

Checked facts
Identity Boundary

Fast Offshore's current privacy policy and website footer identify Vanthorpe Advisors Ltd. as the British Columbia company operating the brand from a Vancouver address

Current vendor self-identification only; no independent British Columbia registry match, company number, signatory, or engagement document was verified

Vendor Reported2026-07-12
Trade Association Presence

The Canadian Gaming Association's current official member directory lists Fast Offshore

Current brand-level trade-association membership only; not a legal-entity match, professional credential, regulator appointment, service authorization, or licensing outcome

Independently Checked2026-07-12
Commercial Terms Boundary

Fast Offshore's current FAQ says it accepts bank-wire and cryptocurrency payments, offers no refunds, does not charge for merchant-account application assistance, keeps bank-partner identities private until onboarding, and leaves the final account decision to the acquirer

Vendor-reported general FAQ only; it does not identify the invoice or payment recipient, disclose referral or commission economics, establish jurisdiction-specific registered-agent authority, or replace project-specific engagement terms

Vendor Reported2026-07-12
History Boundary

Current sources do not establish when Vanthorpe Advisors Ltd. began operating the Fast Offshore brand or whether it inherited the brand's claimed history, engagements, outcomes, or liabilities dating from 1998

Entity-continuity boundary; historical brand claims must not be normalized as Vanthorpe Advisors Ltd. performance

Unresolved2026-07-12
Current Service Scope

Fast Offshore currently advertises gambling-license application coordination, corporate and compliance administration, filing support, and banking or payment introductions

Current marketed scope only; not verified delivery, professional authority, approval, account success, or performance

Vendor Reported2026-07-12
Non Professional Role Boundary

Vanthorpe Advisors Ltd. says it is not a law firm, regulator, licensing authority, government agency, bank, payment institution, trust company, financial institution, or investment dealer and does not itself supply the corresponding regulated services

Vendor-defined service boundary; qualified third-party identity, authorization, insurance, liability, and engagement terms remain contract requirements

Vendor Reported2026-07-12
Legal Privilege Boundary

The privacy policy states that communications with Fast Offshore are not lawyer-client communications and should not be assumed to be legally privileged

Fast Offshore communications only; privilege must be established directly with named qualified counsel under applicable law

Vendor Reported2026-07-12
Regulator Responsibility Boundary

For Curaçao, the applicant submits through the CGA portal, must meet the LOK eligibility and suitability requirements, and receives the decision and conditions from the CGA

Curaçao application responsibility only; not Fast Offshore accreditation, regulator representation, approval authority, or a universal jurisdiction process

Regulator Confirmed2026-07-12
Local Provider And Referral Boundary

The privacy policy describes work with professional providers, corporate providers, banks, payment providers, sales partners, referral partners, and intermediaries but does not publish the engagement-specific provider chain, authorization, conflicts, commissions, rebates, markups, or success-fee economics

Provider-chain and conflict-disclosure gap; absence of public economics is not proof that a referral payment exists

Unresolved2026-07-12
Data Boundary

The privacy policy permits collection of sensitive identity, ownership, source-of-funds, source-of-wealth, screening, bank, and application data and broad disclosure or international transfer to regulators, providers, professional advisors, technology vendors, and referral intermediaries, while provider roles may vary

Published policy boundary; no project-specific DPA, recipient map, controller and processor allocation, subprocessor list, retention schedule, deletion plan, or file-handover terms were verified

Unresolved2026-07-12
Anjouan Comoros Mwali Exclusion

Fast Offshore markets an Anjouan licensing route, while GIABA's July 2026 follow-up states that lotteries and all other games of chance are prohibited in the Union of the Comoros; Anjouan, Comoros, and Mwali are excluded from verified licensing scope

Material national-law conflict requiring exclusion; not a final court ruling on a specific commercial certificate

Unresolved2026-07-12

Documented delivery scope

Managed Service
Delivery model

A scoped coordination engagement delivered by the named contracting entity with disclosed qualified professionals, local company-service providers, filing authority, regulator, and banking or payment recipients.

Operator license
Operator
Merchant of record
Operator
Player data controller
Unknown

Included

  • + Jurisdiction and license-scope assessment assigned in the engagement
  • + Application checklist, document coordination, and issue tracking assigned to Fast Offshore
  • + Corporate or compliance administration expressly listed in the order
  • + Coordination with disclosed third parties and the regulator within written authority

Not included

  • ! The gambling license, regulator approval, guaranteed outcome, or target-market permission
  • ! Anjouan, Mwali, or the Union of the Comoros as verified gambling-licensing routes while the national-law conflict remains unresolved
  • ! Published price, timing, tax, recognition, bankability, crypto, license-coverage, or market-access claims as verified facts
  • ! Legal advice, tax advice, legal privilege, or regulated professional work without a named qualified provider and governing terms
  • ! Undisclosed local providers, referral partners, commissions, rebates, markups, or success-fee economics
  • ! Bank or payment underwriting, approval, gambling acceptance, processing, safeguarding, settlement, or account continuity
  • ! Operation of a casino, sportsbook, wallet, payment flow, player account, or player-data system
Research conclusion: Research record only. Do not shortlist Fast Offshore until Vanthorpe Advisors Ltd. is matched to a current authoritative company record and the engagement identifies the contracting and invoicing entity, payment recipient, signatory, qualified professionals, jurisdiction-specific authorized local providers, referral and provider-paid economics, regulator authority, responsibility map, data terms, refund and exit rules, and current named outcome for the target jurisdiction.
What remains to be verified
  • ! The operating-company identity is self-reported. Independently match Vanthorpe Advisors Ltd. to a current British Columbia registry record and verify the company number, status, directors, signatory, invoice issuer, and liability terms before onboarding.
  • ! Fast Offshore is not a law firm or regulator. Do not infer legal advice, legal privilege, professional insurance, regulator appointment, filing authority, approval power, or target-market permission.
  • ! Require the complete local-provider and professional chain, current authorization evidence, responsibility allocation, conflicts, referral commissions, rebates, markups, and success-fee economics in writing.
  • ! Exclude Anjouan, Mwali, and the Union of the Comoros while the GIABA and national-law conflict remains unresolved. Do not publish or rely on the page's price, timing, tax, game-coverage, recognition, bank-access, crypto, or market-access claims.
  • ! A bank or payment introduction is not underwriting, account approval, gambling acceptance, processing, safeguarding, settlement, or account continuity.
  • ! No reviewed source establishes one Fast Offshore entity, provider chain, engagement model, regulator outcome, bank outcome, or payment outcome across the marketed jurisdictions.
  • ! Obtain a project-specific DPA and data map for identity, ownership, source-of-funds, source-of-wealth, bank, compliance, and application files, including controllers, processors, independent recipients, referral partners, subprocessors, transfers, retention, deletion, incidents, access logs, and file handover.
  • ! The brand's claimed history since 1998, 2,500-plus licenses, and 5,000-plus incorporations cannot be attributed to Vanthorpe Advisors Ltd. without a documented brand-ownership and operating-history chain.
  • ! The FAQ says merchant-account application assistance is free while bank partners remain undisclosed. Require written disclosure of commissions, revenue share, rebates, lead fees, provider-paid compensation, markups, conflicts, and the actual invoice and payment recipient.
  • ! The FAQ's generic claim that Fast Offshore is a registered agent is not jurisdiction-specific evidence. Require the appointing authority, authorization number, legal entity, permitted functions, status, and current official register entry for every jurisdiction in which that role is asserted.
  • ! The public no-refund statement is not an adequate engagement framework. Require written milestones, acceptance criteria, cancellation, regulator rejection, remediation, third-party fee, refund, liability, records-return, and exit terms before payment.
  • ! Canadian Gaming Association membership is an industry-association relationship, not a professional qualification or regulator authorization. The separate IAGA membership claim remains independently unresolved.
Module status ResearchingModule reviewed 2026-07-12Source labels and methodology
  • Fast OffshoreVendorchecked 2026-07-12Current policy effective June 7, 2026 identifies Vanthorpe Advisors Ltd. as a British Columbia company operating the Fast Offshore brand at 925 West Georgia Street, Suite 1600, Vancouver. It defines the service as non-legal support, says the company is not a law firm, regulator, licensing authority, bank, payment institution, trust company, or other listed regulated institution, and describes broad third-party, referral, KYC, regulatory, and international-transfer data flows. It is a vendor disclosure, not an independently matched corporate record or project-specific DPA.
  • Fast OffshoreVendorchecked 2026-07-12Current homepage and footer identify Fast Offshore as a Vanthorpe Advisors Ltd. trading brand and market iGaming licensing, corporate structuring, compliance, M&A, banking, and merchant-account support. Canadian Gaming Association membership is independently confirmed by the association's current directory. The separate IAGA membership, operating-history, volume, testimonial, response-time, and scale statements remain unverified vendor claims. The brand's claimed history since 1998 must not be attributed to Vanthorpe Advisors Ltd. without evidence showing when that company acquired or began operating the brand.
  • Canadian Gaming AssociationDirect Checkchecked 2026-07-12The Canadian Gaming Association's current official member directory lists Fast Offshore. This independently confirms current brand-level industry-association membership only; it does not identify Vanthorpe Advisors Ltd., supply a company number, establish a professional qualification, confer regulatory authority, or verify licensing outcomes.
  • Fast OffshoreVendorchecked 2026-07-12The current FAQ says Fast Offshore accepts bank-wire and cryptocurrency payments, offers no refunds, does not charge for merchant-account application assistance, withholds bank-partner identities until a prospect becomes a client, and acknowledges that the acquirer makes the final account decision. It also describes Fast Offshore as a registered agent across unspecified jurisdictions without naming an appointing authority or registration. The page does not identify the invoice or payment recipient, disclose referral commissions or other compensation, publish engagement terms, or establish jurisdiction-specific professional or registered-agent authority.
  • Fast OffshoreVendorchecked 2026-07-12Current gaming-advisory page markets jurisdiction assessment, application submission, licensing coordination, and continuing support. Its processed-license count, operating history, market value, license coverage, price, tax, timing, crypto, recognition, and market-access statements are vendor claims and are excluded from verified scope.
  • Fast OffshoreVendorchecked 2026-07-12Current page markets an Anjouan application, company setup, filing, maintenance, bank or payment introductions, and regulatory liaison. Its issuing-authority, legality, price, timing, tax, game-coverage, recognition, bank-access, and international market-access claims are excluded because they conflict with current Union-level Comorian evidence and were not independently established.
  • GIABARegulatorchecked 2026-07-12GIABA's July 2026 enhanced follow-up states under Recommendation 22, criterion 22.1(a), that lotteries and all other games of chance are prohibited in the Union of the Comoros under Article 201 of Law No. 20-038/AU. The report also leaves the prior Recommendation 28 casino criterion analysis applicable. This creates a material national-law conflict and does not validate an Anjouan or Mwali commercial issuing chain.
  • Curaçao Gaming AuthorityRegulatorchecked 2026-07-12Current CGA application page states that applications must be submitted to the CGA portal, only eligible Curaçao legal entities may apply, the applicant must meet ownership, funds, liquidity, responsible-gaming, and other requirements, and the CGA decides the application and conditions. It establishes the applicant-and-regulator responsibility boundary for Curaçao, not Fast Offshore accreditation or approval authority.

Category review

Placement labels record editorial review state only. They do not make this research profile eligible for a comparison.

Role: service provider

Fast Offshore has a current marketed licensing-coordination scope, a vendor-named operating company, and independently confirmed Canadian Gaming Association membership at the brand level. It remains a research candidate because Vanthorpe Advisors Ltd. has not been matched to an authoritative company record, no contracting or invoice document was verified, no named professional qualifications or jurisdiction-specific registered-agent authorizations were established, and the local-provider chain, referral economics, data roles, named outcomes, entity-history continuity, and Anjouan authority conflict remain unresolved.