Mastercard SPME §9.2 · Sep 2024 → May 2025
General Registration Requirements
The updated section adds specific registration requirements for U.S. region and territories Merchants, including submitting various intake forms and legal opinions for certain gambling and sweepstakes Merchants. It also clarifies the process for modifying registration information, distinguishing between changes Acquirers can make themselves and those that require Mastercard intervention.
Security Rules and Procedures—Merchant Edition • 6 August 2024
Mastercard may assess a Customer that acquires Transactions for any of these Merchant or Sponsored Merchant types without first registering the Merchant in accordance with the requirements of the MRP. A violation will result in an assessment of up to USD 10,000. If, after notice by Mastercard of the Acquirer’s failure to register a Merchant or Sponsored Merchant, that Acquirer fails to register its Merchant within 10 days of notice, the Acquirer will be subject to additional assessments of USD 5,000 per month for up to three months, and USD 25,000 per month thereafter, until the Acquirer satisfies the requirement. In addition, the Acquirer must ensure that the violation is corrected promptly. Such Merchant or Sponsored Merchant may also be deemed by Mastercard, in its sole discretion, to be in violation of Rule
Security Rules and Procedures—Merchant Edition • 11 February 2025
For U.S. Region and U.S. Territories Merchants only The following additional requirements apply for Merchants located in the U.S. Region or U.S. Territories (consisting of American Samoa, Guam, Northern Mariana Islands, Puerto Rico, and the U.S. Virgin Islands):
- Acquirer Intake Form - For all non-face-to-face gambling, lottery, and skill games (including fantasy sports) Merchant registrations submitted pursuant to Section 9.4.2, 9.4.4, or 9.4.5, the Customer must complete and submit the Acquirer Intake Form.
- Merchant Attestation - Non-face-to-face gambling and skill games (including fantasy sports) Merchants submitted pursuant to Section 9.4.2 or 9.4.5 are also required to complete and send a Merchant Attestation.
- Sweepstakes Intake Form - For each prospective Merchant registration involving a Merchant conducting a sweepstakes, the Acquirer must submit the Sweepstakes Intake Form, along with a reasoned legal opinion, addressed to the Merchant or Acquirer, from a reputable private sector U.S. lawyer or U.S. law firm purporting to have expertise in the subject matter. The legal opinion must assess whether the sweepstakes is deemed to be gambling activity under all relevant laws and regulations. The legal opinion must be acceptable to Mastercard. A Merchant conducting a sweepstakes must be registered as a specialty Merchant if the underlying activity is a type designated as a specialty Merchant category. Modification of Registration Information Some information about a registered entity can be modified by the Acquirer. Any information Acquirers cannot modify may only be modified by Mastercard. In these cases, Customers must submit any modification(s) about a registered entity in writing to Mastercard, with an explanation for the request. Mastercard reserves the right to deny a modification request. Customers should send any additional requested information and modification requests by email message to specialty_merchant_registration@mastercard.com. For requirements specific to Merchants that are required to implement the Mastercard Site Data Protection (SDP) Program, refer to Section 2.2 of this manual.
program: Acquirer KYB- authority: Mastercard SPME 2.1, 11.2.3, 11.2.6, 11.7.1, 2.4.1+ authority: Mastercard SPME 2.1, 11.2.3, 11.2.6, 11.7.1, 2.4.1, 9.2required_documents:- incorporation- beneficial_ownership- aml_screen- license_verification+ - acquirer_intake_form # required for certain U.S. gambling merchants per SPME §9.2+ - merchant_attestation # required for certain U.S. non-face-to-face gambling merchants per SPME §9.2+ - sweepstakes_legal_opinion # required for sweepstakes merchants in U.S. regions per SPME §9.2min_review_cycle_days: 365suspension_trigger: document_collection_failurerecord_retention_years: 7aml_watchlist_sources:- ofac_sdn- eu_consolidatedagent_owner: kyb_agent+# Acquirers must perform a MATCH inquiry prior to entering into any Merchant Agreement or enabling a Merchant to accept transactions, as detailed in Mastercard SPME §11.2.3. This inquiry must be conducted using the correct Member ID/ICA Number associated with the Merchant to ensure proper compliance reporting.# Failure to adhere to these requirements may result in noncompliance assessments.# The Acquirer is also required to retain all MATCH records related to any Merchant, Sponsored Merchant, or ATM owner for a minimum of two years post-agreement termination, as per Mastercard SPME §11.2.6.# Additionally, Acquirers that store, transmit, or process personal data of residents in the European Economic Area (EEA), the UK, or Switzerland—or are otherwise subject to EU Data Protection Law—must comply with the standards specified in Appendix D concerning MATCH activity within the Europe Region, consistent with Mastercard SPME §11.7.1.# Per the updated Mastercard SPME §2.4.1, Acquirers are required to properly manage their PIN Entry Device (PED) and Encrypting PIN Pad (EPP) inventories. This includes maintaining an up-to-date inventory of device types and locations, ensuring devices receive timely software security patches distributed by vendors, and conducting regular physical inspections by trained staff to detect tampering or substitution.# Acquirers must also manage devices whose PCI PTS approvals have expired by moving them from approved lists to appropriate expired approval lists and ceasing their use for processing transactions if Mastercard issues a sunset date for specific device models.# These controls strengthen the security posture of Acquirers in line with Mastercard's risk management directives, helping to prevent device-related compromises.+ #+ # Furthermore, for Merchants located in the U.S. Region or U.S. Territories, specific registration and documentation requirements now apply under Mastercard SPME §9.2. These include submission of an Acquirer Intake Form for all non-face-to-face gambling, lottery, and skill games merchants, a Merchant Attestation for certain merchant types, and a Sweepstakes Intake Form accompanied by a reasoned legal opinion from qualified U.S. legal counsel for sweepstakes merchants.+ # Acquirers must collect and maintain these documents as part of the KYB process to ensure compliance with updated Mastercard specialty merchant registration obligations.
Acquirer KYB (Know Your Business) Obligations
Acquirers processing transactions on the Mastercard network must perform Know Your Business (KYB) due diligence on merchants prior to onboarding and on a recurring basis. Halyard Pay is responsible for collecting and verifying required documentation to confirm business legitimacy, vet beneficial ownership, and satisfy anti-money laundering (AML) screening.
When this policy applies
This policy applies at initial merchant onboarding and during periodic re-verification reviews. Merchants that do not provide required documentation within set timelines must be suspended until compliance is restored.
Required actions
-
Collect all KYB documentation needed at
onboarding.onboarding, including additional forms and attestations required for specific merchant categories in the U.S. Region and U.S. Territories as detailed in Mastercard SPME §9.2. -
Conduct AML screening against applicable watchlists before approval.
-
Verify business licenses for regulated merchant categories.
-
Schedule full re-verification at least annually.
-
Document verification outcomes and maintain records for audit.
-
Retain MATCH system records related to Merchants, Sponsored Merchants, or ATM owners for at least two years after contract termination or expiration, to meet Mastercard record retention requirements.
-
Before Merchant Agreement execution or enabling transactions, conduct a MATCH inquiry using Halyard Pay's Member ID/ICA Number to ensure compliance; failure may lead to Mastercard assessments.
-
For merchants whose personal data pertains to residents of the European Economic Area, the UK, or Switzerland, Halyard Pay must comply with EU Data Protection Laws as specified in Appendix D of the Mastercard SPME manual concerning MATCH activities in the Europe Region.
-
Maintain proper management of PED and EPP device inventories, ensuring devices receive timely software security patches and are physically tracked and inspected regularly for tampering or substitution. This includes keeping an accurate inventory of device types and locations, and training staff to conduct these inspections. Any device model sunset announcements by Mastercard must be adhered to, including ceasing use of such devices by the specified deadline.
Source authority: Mastercard SPME §§2.1, 2.4.1, 7.1, 9.2, 11.2.3, 11.2.6, 11.7.1.
Acquirer KYB (Know Your Business) Obligations
Acquirers processing transactions on the Mastercard network must perform Know Your Business (KYB) due diligence on merchants prior to onboarding and on a recurring basis. Halyard Pay is responsible for collecting and verifying required documentation to confirm business legitimacy, vet beneficial ownership, and satisfy anti-money laundering (AML) screening.
When this policy applies
This policy applies at initial merchant onboarding and during periodic re-verification reviews. Merchants that do not provide required documentation within set timelines must be suspended until compliance is restored.
Required actions
-
Collect all KYB documentation needed at
onboarding.onboarding, including additional forms and attestations required for specific merchant categories in the U.S. Region and U.S. Territories as detailed in Mastercard SPME §9.2. -
Conduct AML screening against applicable watchlists before approval.
-
Verify business licenses for regulated merchant categories.
-
Schedule full re-verification at least annually.
-
Document verification outcomes and maintain records for audit.
-
Retain MATCH system records related to Merchants, Sponsored Merchants, or ATM owners for at least two years after contract termination or expiration, to meet Mastercard record retention requirements.
-
Before Merchant Agreement execution or enabling transactions, conduct a MATCH inquiry using Halyard Pay's Member ID/ICA Number to ensure compliance; failure may lead to Mastercard assessments.
-
For merchants whose personal data pertains to residents of the European Economic Area, the UK, or Switzerland, Halyard Pay must comply with EU Data Protection Laws as specified in Appendix D of the Mastercard SPME manual concerning MATCH activities in the Europe Region.
-
Maintain proper management of PED and EPP device inventories, ensuring devices receive timely software security patches and are physically tracked and inspected regularly for tampering or substitution. This includes keeping an accurate inventory of device types and locations, and training staff to conduct these inspections. Any device model sunset announcements by Mastercard must be adhered to, including ceasing use of such devices by the specified deadline.
Source authority: Mastercard SPME §§2.1, 2.4.1, 7.1, 9.2, 11.2.3, 11.2.6, 11.7.1.
Source authority: Mastercard SPME §9.2.
--- a/policies/kyb_acquirer/rules.yaml +++ b/policies/kyb_acquirer/rules.yaml @@ -1,10 +1,13 @@ program: Acquirer KYB -authority: Mastercard SPME 2.1, 11.2.3, 11.2.6, 11.7.1, 2.4.1 +authority: Mastercard SPME 2.1, 11.2.3, 11.2.6, 11.7.1, 2.4.1, 9.2 required_documents: - incorporation - beneficial_ownership - aml_screen - license_verification + - acquirer_intake_form # required for certain U.S. gambling merchants per SPME §9.2 + - merchant_attestation # required for certain U.S. non-face-to-face gambling merchants per SPME §9.2 + - sweepstakes_legal_opinion # required for sweepstakes merchants in U.S. regions per SPME §9.2 min_review_cycle_days: 365 suspension_trigger: document_collection_failure record_retention_years: 7 @@ -12,10 +15,14 @@ - ofac_sdn - eu_consolidated agent_owner: kyb_agent + # Acquirers must perform a MATCH inquiry prior to entering into any Merchant Agreement or enabling a Merchant to accept transactions, as detailed in Mastercard SPME §11.2.3. This inquiry must be conducted using the correct Member ID/ICA Number associated with the Merchant to ensure proper compliance reporting. # Failure to adhere to these requirements may result in noncompliance assessments. # The Acquirer is also required to retain all MATCH records related to any Merchant, Sponsored Merchant, or ATM owner for a minimum of two years post-agreement termination, as per Mastercard SPME §11.2.6. # Additionally, Acquirers that store, transmit, or process personal data of residents in the European Economic Area (EEA), the UK, or Switzerland—or are otherwise subject to EU Data Protection Law—must comply with the standards specified in Appendix D concerning MATCH activity within the Europe Region, consistent with Mastercard SPME §11.7.1. # Per the updated Mastercard SPME §2.4.1, Acquirers are required to properly manage their PIN Entry Device (PED) and Encrypting PIN Pad (EPP) inventories. This includes maintaining an up-to-date inventory of device types and locations, ensuring devices receive timely software security patches distributed by vendors, and conducting regular physical inspections by trained staff to detect tampering or substitution. # Acquirers must also manage devices whose PCI PTS approvals have expired by moving them from approved lists to appropriate expired approval lists and ceasing their use for processing transactions if Mastercard issues a sunset date for specific device models. -# These controls strengthen the security posture of Acquirers in line with Mastercard's risk management directives, helping to prevent device-related compromises.+# These controls strengthen the security posture of Acquirers in line with Mastercard's risk management directives, helping to prevent device-related compromises. +# +# Furthermore, for Merchants located in the U.S. Region or U.S. Territories, specific registration and documentation requirements now apply under Mastercard SPME §9.2. These include submission of an Acquirer Intake Form for all non-face-to-face gambling, lottery, and skill games merchants, a Merchant Attestation for certain merchant types, and a Sweepstakes Intake Form accompanied by a reasoned legal opinion from qualified U.S. legal counsel for sweepstakes merchants. +# Acquirers must collect and maintain these documents as part of the KYB process to ensure compliance with updated Mastercard specialty merchant registration obligations. --- a/policies/kyb_acquirer/policy.md +++ b/policies/kyb_acquirer/policy.md @@ -8,7 +8,7 @@ ## Required actions -1. Collect all KYB documentation needed at onboarding. +1. Collect all KYB documentation needed at onboarding, including additional forms and attestations required for specific merchant categories in the U.S. Region and U.S. Territories as detailed in Mastercard SPME §9.2. 2. Conduct AML screening against applicable watchlists before approval. 3. Verify business licenses for regulated merchant categories. 4. Schedule full re-verification at least annually. @@ -18,4 +18,4 @@ 8. For merchants whose personal data pertains to residents of the European Economic Area, the UK, or Switzerland, Halyard Pay must comply with EU Data Protection Laws as specified in Appendix D of the Mastercard SPME manual concerning MATCH activities in the Europe Region. 9. Maintain proper management of PED and EPP device inventories, ensuring devices receive timely software security patches and are physically tracked and inspected regularly for tampering or substitution. This includes keeping an accurate inventory of device types and locations, and training staff to conduct these inspections. Any device model sunset announcements by Mastercard must be adhered to, including ceasing use of such devices by the specified deadline. -Source authority: Mastercard SPME §§2.1, 2.4.1, 7.1, 11.2.3, 11.2.6, 11.7.1. +Source authority: Mastercard SPME §§2.1, 2.4.1, 7.1, 9.2, 11.2.3, 11.2.6, 11.7.1.