Why Foreign Payment Institutions Should Look at Italy Right Now

Italy is often seen as a complex market. High cash usage and a demanding regulator can feel like deterrents.
But if you look closer, that “complexity” becomes a defendable competitive advantage for those willing to
navigate it.
For structured, compliance-focused payment firms (PIs/EMIs), Italy right now offers a unique window of
opportunity. Here’s why.

The Italian Paradox: Digital Growth + Cash Resilience


Italy is digitizing fast:
  • E-commerce grew ~15% YoY
  • Digital wallets are booming (+11% expected in 2026)
  • BNPL is taking off
  • Yet, cash isn’t disappearing. Italians still prefer it for small payments, and for many, it remains the primary way
  • to manage money.

  • This creates a #hybrideconomy: a growing demand for digital services and a persistent need for cash
    touchpoints.
    The winners won’t be digital-only or cash-only. They’ll be those who can bridge the two securely and
    compliantly.

    The Low-Hanging Fruit: Regulated Online Gaming


    This is the immediate opportunity.
    Italy’s new gambling regulations are pushing gaming operators using physical points of sale (PVRs) away from
    anonymous cash: they must now use traceable payment instruments for customer top-up/withdrawals of on-line
    gaming accounts.
    The solution? #cashtodigital with full KYC.
    Foreign EMIs/PIs with robust KYC and compliant cash handling can become the essential infrastructure
    layer for an entire industry that needs to digitize its physical footprint overnight.

    The Next Wave: Crypto Distribution


    The acquiring space in Italy is quite crowded, but crypto? That’s a different story.
    The Italian crypto market is growing at a projected CAGR of ~10.5%, but there’s a missing piece: physical
    on/off ramps.

    For payment firms willing to build compliant physical touchpoints, this is a greenfield opportunity.

    The “Risk” That Protects You: Bank of Italy & The Central Contact Point


    Let’s address the elephant in the room.
    Yes, Bank of Italy is demanding.
    Yes, using local infrastructure (PVRs, agents, ATMs) may trigger the requirement to appoint a Central Contact
    Point (CCP) under Article 45-bis of the AML Decree.
    This adds cost and administrative weight.
    But here’s the reframe: it’s not a penalty, it’s a barrier to entry.
    Having a local #centralcontactpoint shows commitment, reliability, and maturity.
    It tells Italian authorities, partners, and customers that you’re here to do things right, not just test the waters.
    In an era of regulatory scrutiny, saying “we have a local compliance presence” is a competitive advantage.

    The Bottom Line


    Italy is not a market for quick experiments. It’s a market for operators who see regulation as a moat, not a wall.
    The demand is real:
    – Digital adoption is up
    – Cash isn’t going away
    – Entire sectors (gaming, crypto) are being stimulated to find compliant ways to connect the two
    For those willing to invest in compliance and local presence, Italy is open for business.