Mr-Gamble.Com to Conquer Estonia

Total Page:16

File Type:pdf, Size:1020Kb

Mr-Gamble.Com to Conquer Estonia Mr-Gamble.com to conquer Estonia Nov 20, 2020 10:53 GMT Mr-Gamble.com to conquer Estonia The online casino affiliate CashMagnet has already had an exciting year full. First, going to live in Canada and the UK. Second, obtaining a US license. And now, entering yet another market. Estonia is a very small country that too many people don’t know about. It’s the most sparsely populated country in Europe, and with a population of circa 1.7 million, it’s also one of the least populated countries. As such, different SEO strategies apply and it will be a testament to the quality of Mr- Gamble.com. Mr-Gamble.com is CashMagnets’ flagship and is already live in 4 markets. Now they’ve entered a 5th. The Estonian Gambling Market The Estonian market is small. In all regards, such a tiny country can not compete with the UK market or the US. Regardless, here’s the scope. The Estonian gambling industry passed €60 million in revenue in 2017 (which is the most recent widely available estimation). This has evolved in 2019 to a total payout of about 16 million Euros in tax money (VAT, personal income, and labor taxes). The total Gambling Tax amounted to €29.8 million, which represents roughly 0.1% of the total GDP. The online gambling segment accounts for a little more than 10% of total gambling tax, while physical casinos account for roughly 43% and lottery tickets for about 36%. All in all, it’s an interesting market considering the virtually non-existent competition. Mr-Gamble will be one of the first bigger casino affiliates to enter the Estonian market. The Number One Casino Portal - Apply your own filter to find the best casino for you Contacts Paavo Salonen Press Contact Co- Founder [email protected] Silver Portugov Press Contact CBO [email protected].
Recommended publications
  • Regulating the National Lottery
    Section 5 Regulating the National Lottery The Third National Lottery Licence May 2021 The Third Licence Conditions 1. Grant of Licence 2. Definitions and Interpretation 3. Commencement 4. Handover from the Previous Licence 5. Service requirement 6. Prohibition of activities not related to the National Lottery 7. Consumer Protection 8. Retailer commission and retailer management 9. Independent section 6 licence applicants 10. Information and reporting 11. Payments to the Secretary of State 11A. Promotion of the National Lottery 12. Shareholders, other Connected parties and debt providers 13. Vetting 14. Control environment 15. Contractors 16. Employees 17. Performance monitoring 18. Handover on expiry or revocation of the Licence 19. Security for Players’ funds 20. Confidentiality and freedom of information 21. Intellectual Property 22. Data Protection 23. Licence extensions 24. No waiver 25. Severability 26. Governing Law and jurisdiction 27. Third Party rights 28. Notices 29. Survival Schedules Schedule 1 Definitions Schedule 2 Part 1 Games and facilities to be available in the first five weeks of the Licence Schedule 2 Part 2 Financial penalties Schedule 2 Part 3 Schedule 3 Handover from the Previous Licensee Schedule 4 Part 1 Ancillary activities that the Commission has consented to Schedule 4 Part 2 Further Conditions relating to Ancillary Activities Schedule 5 The Ancillary Activity Payment Schedule 6 Schedule 7 Codes of practice and strategies Schedule 8 Primary and Secondary Contributions Part 1 Definitions and interpretation Schedule
    [Show full text]
  • Public Gaming International Magazine May/June 2017
    The Damage to Brand efore exploring the ways and means The key part of the sentence is “where the Lottery Bto displace illegal operators from the consumer is located” as opposed to where marketplace, we should begin by clari- the operator is located. The members of the Caused fying what it means to be an illegal illegal gaming community are continually operator, define the difference between legal exploiting new developments in technol- and illegal lottery. That definition varies ogy and legal loopholes to claim that a legal by Lottoland depending on the continent, the country, or license in one jurisdiction entitles them to even within the jurisdiction you are taking as operate in all without regard to the legal- and Illegal a reference. Let’s refer to the definition artic- ity in the jurisdiction where the consumer ulated by the Council of Europe Convention resides. This posture enables them to essen- “Secondary” on the Manipulation of Sports Competitions. tially hijack the revenues of legally licensed It addresses the issue of match-fixing in operators all around the world, depriving the Lotteries: sports, but it is a definition that can apply good causes supported by licensed operators to all forms of games-of-chance. It is the and channeling those profits over to private first time that an international institution shareholders. The evidence of this is already A Call to has endeavored to clarify the boundaries that having a big impact in Europe and Australia. separate legal from illegal gambling. Article Action 35A of the Council of Europe Convention on the Manipulation of Sports Competitions The business model of these “secondary establishes that any sports betting activ- lotteries” works like this: First, they tech- ity whose type or operator is not allowed nically are not operating a lottery.
    [Show full text]
  • September | 2020
    September | 2020 The coronavirus pandemic has changed the way we use the internet. Whether it’s remote work, online shopping, online learning or remote health care, new methods and changes in consumer behaviors will likely continue after the virus has run its course. Internet gambling is another area that may soon see a COVID-19 bump. Most states do not allow internet gambling. Of the 44 states with lotteries, only 11 allow some form of internet play, either permitting lottery tickets to be sold over the internet or offering online lottery subscriptions. Of the 25 states with commercial casino gambling, internet gambling (that is, traditional casino games played electronically over the internet, usually distinct from online sports betting) is only available in Delaware, Nevada, New Jersey, Pennsylvania and the U.S. Virgin Islands. Michigan and West Virginia have recently legalized iGaming but are not yet offering it. While there are only a handful of states that have considered iGaming or iLottery measures during coronavirus-dominated 2020 sessions, there are signs that a shift may be underway. One of the primary reasons that legal gambling has been slow to embrace the internet despite a sizable online gambling black market, is a fear that online gambling would rob brick-and-mortar casinos and surrounding establishments of visitors and revenue. This fear no longer appears to be widespread across the casino industry, and many stakeholders now point to evidence that internet gambling will actually help casinos. Those who are more inclined to bet online tend to be younger and are not necessarily active casinogoers; iGaming may offer an opportunity to appeal to a broader market.
    [Show full text]
  • Sports Betting Update: a Report on the Status of Play
    Sports Betting Update: A Report on the Status of Play Released June 14, 2021 MASSACHUSETTS GAMING COMMISSION Crystal Howard, Program Manager POST-PASPA AND POST-PANDEMIC UPDATE (AS OF MAY 18, 2021) Introduction The Massachusetts Gaming Commission (MGC) was created upon the adoption of “An Act Establishing Expanded Gaming in the Commonwealth” in November of 2011. The Commission, a five-member independent body, is tasked with implementing the Act and regulating the licensed gaming establishments. The Expanded Gaming Act allows for up to three destination resort casinos located in three geographically diverse regions across the state and a single slots facility for one location statewide. The Gaming Commission, at this time, has awarded the slots only license and two of the three integrated resort licenses. Each resort casino paid an $85 million licensing fee and was required to make a capital investment of at least $500 million – a requirement that both licensees substantially exceeded. The Commonwealth receives 25% of their gross gaming revenues. The slots facility paid a $25 million license fee, exceeded a required minimum capital investment of $125 million, and is taxed on 49% of its gross gaming revenue. As of this date, the Commonwealth has collected approximately $767 million in total taxes and assessments from Plainridge Park Casino1, MGM Springfield, and Encore Boston Harbor. This paper is intended to update the MGC’s 2018 publication on sports betting. Similarly, it does not represent an adopted position of the Commission. Rather it offers a fact-based report on the status of legalized sports wagering across the nation. Post-PASPA Status of Sports Betting The sports betting landscape has evolved rapidly since the decision which overturned the Professional and Amateur Sports Protection Act (“PASPA”) in Murphy v.
    [Show full text]
  • DEMAND for LOTTERY GAMBLING: Evaluating Price Sensitivity Within a Portfolio of LOTTERY Games
    National Tax Journal, September 2014, 67 (3), 595–620 DEMAND FOR LOTTERY GAMBLING: EvALuATING pRIcE sENsITIvITY wIThIN A pORTFOLIO OF LOTTERY GAMEs Michael A. Trousdale and Richard A. Dunn This article introduces a new approach to analyzing whether lottery games are complements or substitutes, and whether a portfolio of lottery games is optimally priced. We estimate Barten’s synthetic differential demand system for the on-line lottery games operated by the Texas Lottery Commission. The demand system ap- proach imposes theory-consistent demand restrictions that allow identifcation of parameters for games without price variation. We use the estimated parameters from the Barten model to construct expenditure and price elasticities. Results indi- cate that on-line games in Texas are generally substitutes for one another and the portfolio of games is not priced to maximize proft. Keywords: gambling, lottery, consumer demand, elasticity, demand system esti- mation, Barten synthetic demand system JEL Codes: D12, H21, H27, H71, L83 I. INTRODUCTION roceeds from lottery gambling are a signifcant source of revenue for U.S. state Pgovernments. As of 2012, all but seven states operate or sponsor lottery gambling with total sales of $68.7 billion and profts of $19.4 billion.1 In Texas, lottery gambling provides more revenue than excise taxes on alcohol or cigarettes, accounting for approxi- mately 2 percent of total tax revenue (Texas Comptroller of Public Accounts, 2010). Although lottery games serve as a form of entertainment, they are established frst and foremost as a source of revenue for the jurisdictions that operate them. A number of studies estimate the elasticity of total sales with respect to effective price to investigate whether a lottery game maximizes expected proft (Cook and Clotfelter, 1993; Gulley and Scott, 1993; Scoggins, 1995; Farrell, Morgenroth, and Walker, 1999; 1 See “Lottery Sales and Transfers,” North American Association of State and Provincial Lotteries, http:// www.naspl.org/index.cfm?fuseaction=content&menuid=17&pageid=1025.
    [Show full text]
  • The History of Lotteries
    The History of Lotteries Gerald Willmann Department of Economics, Stanford University Stanford, CA 94305-6072, U.S.A. [email protected] August 3, 1999 Abstract In this pap er wegiveanoverview of the history of lotteries. Start- ing from early evidence in the Bible and in the classical Roman world, th we trace lotteries up to their reapp earance in Europ e in the 15 cen- tury. From that period onwards, lotteries b ecame so numerous that we concentrate on a few exemplary cases: the old French lottery, early lotteries in New York, and lotteries in the German states. Finally,we give a brief account of more recent developments and discuss some related issues. JEL: B15, B25, D80, G29, H27, N4. 1 1 Intro duction Lotteries have a long history. Their use is do cumented in the Old Testament, and several Roman emp erors used them for entertainment. They reapp ear th in Europ e in the 15 century mainly as a means to raise revenue for the state. Since then they have survived all opp osition. From an economic viewp oint, lotteries are interesting for at least two reasons. First, the fact that p eople buy lottery tickets presents achallenge to the theory of decision making under uncertainty. The prevalent Exp ected Utilityhyp othesis cannot 1 explain this phenomenon satisfactorily. Second, lotteries are an imp ortant source of revenue for the state. If we lo ok at the voluminous literature on tari s in international trade and note that lotteries often contribute more to the state budget than tari s, we can only wonder why the economic literature has remained so silent on this issue.
    [Show full text]
  • State Lotteries: Gambling with the Common Good by Julia Fleming
    Copyright © 2011 Center for Christian Ethics at Baylor University 29 29 State Lotteries: Gambling With the Common Good BY JULIA FLEMING While their regressive burden upon the disadvantaged is a strong ethical reason for rejecting state lotteries, we should also consider the messages that their promotion conveys to the community as a whole. Lotteries, as alternatives to taxation, undercut the development of civic virtues and social responsibility. ithin the last fifty years, state governments in the United States have made a radical change in their policies towards gambling, as Wevidenced especially in their sponsorship of lotteries. Today, ninety percent of the U.S. population lives in lottery states; in 1960 no Americans did. As Erik Owens has observed, “Every action the government takes, every policy the government makes, conveys certain values to its citizens.”1 So, what values are state governments indirectly endorsing, or at least tolerating, in their new reliance upon lotteries as a source of revenue? Does govern- mental promotion of lotteries exploit the weaknesses of problem gamblers, prey upon the disadvantaged, and encourage a superstitious belief in lucky numbers? In a broader sense, do lotteries, as alternatives to taxation, under- cut citizens’ development of civic virtues and social responsibility? Roman Catholic social thought provides a helpful vantage point from which to consider the ethics of state lotteries as a regular revenue source. The tradition’s general principles, especially its emphasis upon civic responsibil- ity and the importance of social virtues, suggest that reliance on the lottery poses a risk both to vulnerable citizens and to the character of the community as a whole.
    [Show full text]
  • BGC-APP-009A, Cardroom Applicant's Spouse Supplemental
    STATE OF CALIFORNIA DEPARTMENT OF JUSTICE Cardroom Applicant's Spouse Supplemental Information for a State Gambling License BGC-APP-009A (Rev. 12/11) DEPARTMENT OF JUSTICE BUREAU OF GAMBLING CONTROL (916) 227-3584 (916) 227-2308 facsimile CARDROOM APPLICANT'S SPOUSE SUPPLEMENTAL INFORMATION FOR A STATE GAMBLING LICENSE Type or print legibly in ink an answer to every question. If a question does not apply to you, indicate with "N/A" (not applicable). If the space available is insufficient, use a separate sheet and precede each answer with the applicable section and question number. Do not misstate or omit any material fact(s) as each statement made is subject to verification. Any corrections, changes or other alterations must be initialed and dated by the applicant. PLEASE SEND THE COMPLETED SUPPLEMENTAL INFORMATION, ALONG WITH THE APPLICATION FOR A STATE GAMBLING LICENSE, A $1,000 NON-REFUNDABLE APPLICATION FEE, AND A $6,600 DEPOSIT TO PAY THE ANTICIPATED INVESTIGATION AND PROCESSING COSTS IN ACCORDANCE WITH BUSINESS AND PROFESSIONS CODE SECTION 19867 TO: California Gambling Control Commission, 2399 Gateway Oaks Drive, Suite 220, Sacramento, CA 95833-4231. A. PERSONAL 1. Full Name: Last First Middle 2. Alias(es), Nicknames, Maiden Name, Other Name Changes, Legal or Otherwise: 3. Date of Birth: 4. Place of Birth: City County State Country 5. Residence Address: Street City State Zip 6. Business Address: Street City State Zip 7. Occupation: 8. Telephone: Residence: Business: 9. Social Security Number*: 10. Driver License/Identification Card No./State Issued: 11. Eye Color: Hair Color: Weight: Height: 12. Distinguishing marks (scars, tattoos, etc.).
    [Show full text]
  • State Lotteries and Their Customers
    MILLER_ARTICLE FORMATTED 5-27-19.DOCX (DO NOT DELETE) 6/6/19 2:41 PM STATE LOTTERIES AND THEIR CUSTOMERS Keith C. Miller* INTRODUCTION On Tuesday, October 23, 2018, a lucky person in South Carolina who purchased a Mega Millions lottery ticket learned she or he was the winner of the second largest lottery prize ever awarded in the United States—$1.536 billion.1 The ticket was sold by a convenience store in rural South Carolina.2 The build- up to the drawing was dramatic; people stood in lines waiting to buy a ticket, hoping they would become the winner of a prize that would make them fabulously wealthy.3 The United States had another case of lottery fever. Lotteries have a history in our country that predates the U.S. Constitution.4 Not surprisingly, our affection for lotteries can be traced to their popularity, and *Ellis and Nelle Levitt Distinguished Professor of Law, Drake University, Des Moines, Iowa. Many thanks to my research assistant Anne Reser-Moorehead for her hard work, research, and editing assistance. 1 The Associated Press, $1.537B jackpot won in South Carolina is 2nd largest in U.S., AP NEWS (Oct. 24, 2018), https://www.apnews.com/91503645c0e5488c91e 48bb60718966b. Actually, the ticket would only pay a total of $1.536 billion if the winner chose to take the prize over a 29-year period. If the winner elected the immediate cash payout, she or he received $878 million. The SC Education Lottery has a message for the Mega Millions jackpot winner, who has not yet come forward, FOX CAROLINA (Oct.
    [Show full text]
  • Problem Gambling in Estonia and the Relationship with Personal Risk
    Problem Gambling in Estonia and Related Personal Risk Factors Paper presented at the 7th European Conference on Gambling Studies and Policy Issues 1-4th July 2008 Nova Gorica Stella Laansoo Public Service Academy of Estonia ESTONIA Population 1 340 602 GDP $24,6 billion Average monthly salary $1200 Unemployment rate 4,6 % (31.12.2007) Stella Laansoo, 03.07.08 2 Background - Availability of gambling activities in Estonia as of June 08: 167 (land-based) gaming sites including 5056 slot machines and 63 gaming tables; National Lottery Sports betting Remote Gambling - Gaming sites are open 24/7 - 90% from gambling market belongs to casino games - Gambling activities in Estonia are not available to persons under 21 years of age, excl.lottery. - Slot machines are banned outside the gaming site Stella Laansoo, 03.07.08 3 Estonian flagship – Olympic Casino Stella Laansoo, 03.07.08 4 Research Conducted in Estonia Prevalence study in 2004 (Laansoo, S., Niit, T., Faktum) looked at the extent of contact the Estonian population has had with gambling and examined the risk factors for problem gamblers Prevalence study in 2006 (Laansoo, S., Turu-uuringute AS) aimed at finding out in what direction the trend of problem gamblers is developing and additionally to risk facors examined gamblers’ abilities to manage the running of their day-to-day lives. Stella Laansoo, 03.07.08 5 Methodology Both surveys were carried out on the sample of an omnibus survey conducted by a marketing research company. The sample of 2004 was purely an omnibus survey In 2006 part of the survey was as the omnibus (n=1,000), and part as a specific survey (n=1,005), in the form of a questionnaire Stella Laansoo, 03.07.08 6 Samples The target population of the survey was made up of permanent residents of Estonia in the age 15-74 with an average age of 46.3 years in 2004 and 42.3 years in 2006 In recruiting the samples the proportional model of recruiting the target population was applied, considering rural versus urban as well as regional aspects.
    [Show full text]
  • Illegal Gambling Faqs the Gaming Control Division
    Illegal Gambling FAQs The Gaming Control Division investigates illegal gambling in Indiana. Below are some of the Frequently Asked Questions posed to our Officers. If you have any additional questions, please do not hesitate to ask. You can email via the “Contact Us” tab on our website or call 317-233- 0046. 1. What are the laws that make gambling illegal? Illegal gambling laws may be found in Indiana Code 35-45-5. 2. How do I provide information on illegal gambling? The Gaming Control Division keeps sources of all information and tips confidential. To help us reduce illegal gambling in Indiana, please call 1-(866) 610-TIPS (8477) or utilize the “Contact Us” tab on our website. 3. What is the definition of gambling? "Gambling" means risking money or other property for gain, contingent in whole or in part upon lot, chance, or the operation of a gambling device. If one of these elements of the gambling definition is removed, then the activity is legal. 4. Are card games, such as poker, games of chance? Yes. The illegal gambling statute specifically provides that “a card game or an electronic version of a card game is a game of chance and may not be considered a bona fide contest of skill.” See IC 35-45-5-1(l). Thus, games like poker and euchre are considered gambling if played for money. 5. What is a bona fide game of skill? Bona fide games of skill include games where one can control the results or enhance their abilities through training. Examples include: sporting events, memory games, golf, horseshoes, darts, pool, scrabble, and trivia.
    [Show full text]
  • Lottery Sales and Per-Capita GDP: an Inverted U Relationship School of Economics and Management
    School of Economics and Management TECHNICAL UNIVERSITY OF LISBON Department of Economics Carlos Pestana Barros & Nicolas Peypoch Maria João Kaiseler and Horácio C. Faustino A Comparative Analysis of Productivity Change in Italian and Lottery Sales andPortuguese Per-capita Airports GDP: An Inverted U Relationship WP 41/2008/DE/SOCIUSWP 006/2007/DE _________________________________________________________ WORKING PAPERS ISSN Nº 0874-4548 Lottery Sales and Per-capita GDP: An Inverted U Relationship Maria João Kaizeler Piaget Institute, ISEIT – Higher Institute of Intercultural and Transdisciplinary Studies, Almada, Portugal and SOCIUS - Research Centre in Economic Sociology and the Sociology of Organizations, Lisbon, Portugal Horácio C. Faustino ISEG, Technical University of Lisbon and SOCIUS Abstract.The main purpose of this study is to test the hypothesis that the relationship between per-capita sales and per-capita GDP is given by an inverted U. The paper considers that lottery sales increase together with increases in GDP up to a point where a country has reached a level at which the GDP is high enough and lottery sales become an inferior good and as a result, start to decrease. As there are other determinants of the expenditure on lottery products, the paper introduces into the regression analysis other explanatory factors as control variables. The paper uses a cross-country regression, using 2004 data for 80 countries. The results confirm the hypothesis, in addition to yielding other interesting findings: countries with higher levels of education sell fewer lottery products; lottery sales increase together with increases in the male to female ratio. Keywords Gambling . Per-capita GDP. Gender ratio. Religion.
    [Show full text]