April 26, 2025
Please note that the below is intended to be an illustrative guide and not to constitute legal advice. The regulations for the marketing of virtual assets are extensive, and we strongly recommend that any readers of this article seek independent counsel before implementing any marketing initiatives in the territory of the UAE.
Quick checklist for Marketing at Token2049Sl. No. | Topic | Quick Tip |
1. | User Onboarding | Do not onboard users based in the UAE. If the project is not VARA-licensed, restrict all marketing activities strictly to the Token2049 events. |
2. | Risk Warning | Include a clear and visible disclaimer on all marketing materials, such as: “Crypto is volatile. No guarantees or financial protections.” Ensure no statements contradict this warning (e.g., avoid phrases suggesting “secure investments”). |
3. | Not Licenced by VARA” (if applicable) | Clearly state on all brochures, banners, and other materials that the entity is not regulated by VARA and therefore not offering services within Dubai. |
4. | No misleading claims | Review all marketing language to remove exaggerations or guarantees. Replace problematic statements such as “will deliver high returns” with more balanced phrasing like “aims to deliver returns but carries risk”. Avoid buzzwords implying certainty (e.g., “moon,” “100x”). |
5. | Clear identification | Ensure all promotional content is transparently labelled (e.g., “Ad” or “Sponsored”). Concealing advertisements is strictly prohibited. |
6. | Influencer Compliance | Instruct influencers to clearly tag posts as sponsored and include the appropriate disclaimers. |
7. | Educational Materials | Educational handouts or sessions must disclose affiliations and include disclaimers, treating them with the similar compliance standards as direct marketing content. Maintain an informative tone rather than urging investment. |
INTRODUCTION
For projects attending Token2049 in Dubai, understanding and complying with the Dubai Virtual Assets Regulatory Authority’s (“VARA”) Marketing Regulations[1] and Guidance[2] (“Marketing Regulations”) is essential. These rules govern how decentralised finance platforms, NFT projects, exchanges, infrastructure providers, and other virtual asset participants may promote their activities within Dubai.
This article provides a practical overview of permitted and prohibited activities, outlines the appropriate use of disclaimers (including for influencer partnerships and incentive programmes), and offers actionable guidance for safe and compliant participation at Token2049.
WHAT CONSTITUTES AS MARKETING UNDER VARA??
“Marketing” under VARA is broadly defined to include any advertisement, invitation, inducement, solicitation, offer, or promotion related to Virtual Assets (“VAs”).[3] These regulations apply to local entities and foreign businesses targeting the UAE, irrespective of licensing status. [4]
Key indicators that a campaign targets UAE audiences include: [5]
Accordingly, marketing at Token2049 (a physical event in Dubai) falls squarely within VARA’s regulatory scope.
To participate without breaching the regulations, projects must either:
GENERAL MARKETING REQUIREMENTS
All marketing content should be:
For example, in an ad, a small footnote flashed for a second is unacceptable. VARA’s guidance showed a “Not Compliant” example where a TV ad’s disclaimer was too brief and missing the required wording. For digital content, viewers shouldn’t need to scroll or squint to find it. In video or audio, consider voice-over risk warnings or on-screen text for several seconds. The bottom line: no tiny fine print or rushed warnings.
COMPLIANCE WITH MARKETING REGULATIONS AT TOKEN 2049, DUBAI
Whilst only VARA-licenced entities may generally engage in marketing within Dubai, VARA provides a limited exemption for foreign (unlicensed) projects participating in specific events such as Token2049. To rely on this exemption, projects must:
Minimum requirements for unlicensed VASPs Marketing in Token2049:[10]
“[Company Name] is not licensed by VARA in Dubai. No services are offered in the UAE.”
This disclosure must be highly visible and cannot be relegated to small print.
For example, it is permissible to conduct live demonstrations of an application or platform using test accounts, display infographics illustrating the technology, and discuss potential use cases. However, booths must not be transformed into sales counters; direct selling or solicitation activities are not allowed.
Some tips for the event organisers:
VARA’s rules also implicitly discourage targeting unsuitable audiences – for instance, Token 2049 organisers must ensure attendees are qualified for the content, not minors or unknowledgeable consumers. As such, event organisers should:
CONCLUSION
Essentially, when in doubt, err on the side of compliance and include disclaimers and transparency, even in educational initiatives. This builds trust and keeps you safe under the rules. Compliance isn’t about stifling your marketing – it’s about doing it smartly and ethically. With well-crafted, transparent messaging, you can impress attendees and regulators alike. Good luck at Token 2049 and enjoy the event safely within the rules!
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[1] Regulations on the Marketing of Virtual Assets and Related Activities 2024.
[2] Guidance on the Regulations on the Marketing of Virtual Assets and Related Activities 2024.
[3] Rule 1.A.1, Marketing Regulations.
[4] Introduction, VARA Marketing Regulations: “Market participants should note that requirements in these Marketing Regulations are applicable to all Entities, including domestic and/or foreign Entities, and whether they are authorised and Licensed by VARA to carry out VA Activities or not.”
[5] Sl. No. 2, VARA Marketing Guidance.
[6] Rule 1.C.2.a, Marketing Regulations.
[7] Rule 1.B.4, Marketing Regulations.
[8] Rule 1.C.2.b, Marketing Regulations.
[9] Sl. No. 4, Marketing Guidance.
[10] Rule 1.F, Marketing Regulations.
[11] Rule 1.F.1.a, Marketing Regulations.
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