A crypto fund is a managed capital of cryptocurrencies available to investors for duplication. Crypto funds serve as a connection between investors and traders in cryptocurrencies and are hoped to help them earn profits.
Crypto funds give investors the ability to invest in a more adaptable manner in various cryptocurrencies.
Why establish a Crypto fund in Luxembourg?
Luxembourg is the dominating fund center in the world for cross-border funds, It is the second largest investment fund hub in the world after the U.S. and the biggest fund domicile in Europe.
Luxembourg is a politically and financially stable EU country with a triple-A Rating. As an EU domicile, investment funds created in Luxembourg can be more easily distributed within the EU and have gained international recognition for the ease of cross-border distribution.
Which Luxembourg fund vehicle is relevant for a Crypto fund?
Luxembourg provides a range of solutions for setting up an investment fund, varying from supervised to non-supervised. A highly flexible fund vehicle that has been very successful and has proven to be a suitable choice for Crypto funds is the special limited partnership (SLP).
The SLP is suitable for a wide range of alternative strategies such as hedge funds, private equity and real estate, crypto, etc, and benefits from being domiciled in an onshore and reputable jurisdiction.
Why the Special Limited Partnership (SLP)?
The Luxembourg SLP generally has illiquid strategies and invests in real estate, private equity, or the debt market. It is also a highly flexible fund structure with no legal personality. The SLP is not restricted to any asset type and is not subject to any risk diversification rules.
Benefits of the Luxembourg Special Limited Partnership (SLP)
- It can be set up within a few weeks
- No prior regulatory approval is required
- Availability of an unlimited number of investors
- The SLP can invest in any and basically all type of assets
- No depository bank is required
- No audit is required
- Fully Tax transparent
Who manages the SLP?
The SLP must appoint a general partner (GP), generally a private limited liability company established in Luxembourg, to manage the fund on behalf of the limited partners (LPs). The SLP must have a GP, who has unlimited liability for the debts and duties of the SLP, which is the reason why the GP is generally another corporate entity offering limited liability (example, a sarl -limited liability company-).
Furthermore, the manager of an SLP registered as an AIFM does not need to procure prior authorization from the CSSF for the Crypto Fund strategy nor does he needs to complete an application file for registration as a virtual asset service provider.
The Special Limited Partnership can be considered the optimal solution in regard to the setup of a crypto fund in Luxembourg due to its flexibility to accommodate any kind of crypto strategy including quantitative, long only, long/short, and venture capital crypto funds, in addition to decentralized finance and security token offering fund.
Registering a cryptocurrency fund enables you to attract funds necessary for implementing your projects.
If you have any questions or need professional help registering your Luxembourg crypto fund, let’s go ahead and contact your Damalion expert now.
Setting up your Luxembourg crypto fund — start with the Special Limited Partnership (SCSp)
For fund promoters, managers, family offices, and professional investors • This guide explains the SCSp option in clear steps: when it fits, documents you need, parties involved, costs and timelines. Each bank, service provider and authority makes its own decision.
Last updated:Why many crypto strategies use the SCSp
Luxembourg is a leading EU fund hub. The Special Limited Partnership (SCSp) is flexible, fast to form and works well for professional strategies: venture, long-only, long/short, market neutral, quantitative, DeFi exposure, tokenized securities, and fund-of-assets with custody at approved providers. You choose the right perimeter (unregulated AIF with registered AIFM, or under a regime like RAIF) and build a clear risk and compliance framework.
Core documents and information
- Limited Partnership Agreement (LPA) — roles of GP/LPs, strategy, fees, carry, transfers, governance, valuation, reporting.
- Offering documents — private placement memorandum or equivalent, risk factors, subscription docs, investor eligibility.
- AML/KYC pack — GP and LP identification, ownership charts, source of funds/wealth, sanctions/PEP screening.
- Service provider contracts — AIFM/portfolio manager (as applicable), administrator/transfer agent, depositary or custodian (if required by the chosen perimeter), auditor (if required), registrar.
- Policies — valuation, conflicts, side letters, liquidity, pricing of in-kind contributions, pricing of tokens, travel rule alignment (if relevant through VASP).
- Operational model — trading/custody flow, exchanges/OTC counterparties, fiat rails, wallet controls, signatory rights, key risk indicators.
SCSp paths at a glance
| Topic | Unregulated AIF (SCSp) with registered AIFM | RAIF (SCSp) with authorized AIFM |
|---|---|---|
| Regulatory perimeter | No prior product approval; AIFM registered if under thresholds. | Product under RAIF Law; AIFM authorized; no CSSF product approval but AIFM is supervised. |
| Speed to market | Fast once contracts and LPA are ready. | Fast; relies on an authorized AIFM. |
| Diversification rules | By LPA and AIFM policy. | RAIF diversification (generally 30% rule; check current policy). |
| Marketing | Professional investors; national rules apply. | Professional investors; AIFMD passport via AIFM. |
| Typical use | Niche/early strategies; smaller AUM; quick launch. | Larger AUM; broader EU distribution via AIFM passport. |
How the setup usually happens
- Choose the path. SCSp as unregulated AIF, or RAIF (SCSp) with an authorized AIFM.
- Build the team. GP entity, AIFM/portfolio manager, administrator/TA, depositary or custodian (as required), auditor (if required), legal counsel, paying agent, tax.
- Draft and align. LPA, offering docs, policies, and service agreements.
- Open accounts. Fund bank account and custody with approved providers; define wallet/signature controls.
- Onboard investors. KYC/AML checks, subscriptions, capital calls, first close.
- Start operations. Trade within the mandate, keep records, report to investors and authorities as required.
Costs and timelines
- Incorporation and legal drafting: depends on complexity of LPA and offering docs.
- Service providers: AIFM, admin/TA, custody or depositary (if applicable), audit (if applicable), ongoing compliance.
- Banking/custody: account opening and custody fees; on-chain controls; possible minimum balances.
- Timeline: from final drafts to first close can be a few weeks for simple files; more if structure or investor base is complex.
Related reading
Frequently asked questions
Who can invest in a Luxembourg SCSp crypto fund?
Does the SCSp have legal personality?
Is prior product authorization required?
Is an AIFM mandatory?
Can the fund invest directly in tokens?
How are safekeeping and custody handled?
Are there diversification or concentration limits?
Can the fund use leverage?
How are valuations done for digital assets?
What AML/KYC rules apply to investors?
Is a depositary required?
How are marketing and passporting handled?
What tax features are typical?
Can the SCSp hold non-crypto assets?
How long does formation take?
Are audited financial statements required?
How are conflicts of interest managed?
What about sanctions and restricted counterparties?
Can subscriptions be paid in crypto?
Can the fund list tokens it holds?
Crypto fund glossary
Short, legal-leaning definitions you can translate easily. Applies to Luxembourg SCSp funds and EU practice unless noted otherwise.
- AIF
- An Alternative Investment Fund. A collective investment undertaking that raises capital from investors to invest under a defined policy, not requiring UCITS authorization.
- AIFM
- Alternative Investment Fund Manager. The person or entity responsible for portfolio and/or risk management of an AIF, either registered (below thresholds) or authorized (above thresholds).
- AIFMD
- EU Directive governing managers of AIFs. Sets rules on authorization/registration, risk, valuation, delegation, leverage, depositary, reporting, and marketing.
- RAIF
- Reserved Alternative Investment Fund. A product regime requiring an authorized AIFM; the product itself is not authorized by the CSSF but must comply via the AIFM.
- General Partner (GP)
- Manager of the SCSp. Has unlimited liability toward third parties and represents the partnership under the LPA and applicable law.
- Limited Partner (LP)
- Investor with limited liability up to its commitment, not taking part in external management. Rights and restrictions are set in the LPA.
- Limited Partnership Agreement (LPA)
- Constitutional contract of the SCSp covering governance, commitments, fees, carry, transfers, conflicts, valuations, liquidity, and reporting.
- Private Placement Memorandum (PPM)
- Offer document given to eligible investors. Describes strategy, risks, fees, service providers, subscription process, and legal notices.
- Subscription Agreement
- Contract by which an investor applies for interests, makes representations (eligibility, AML, tax), and agrees to the fund terms.
- Capital Call
- Notice requesting funded or unfunded commitments to be paid when needed for investments, fees, or expenses.
- Total assets minus liabilities of the fund or a class, calculated per valuation policy and governing documents.
- Valuation Policy
- Written method for pricing assets and liabilities, including digital assets, pricing sources, model hierarchy, errors, forks/airdrops.
- Depositary
- Entity appointed under certain perimeters (e.g., RAIF) to safekeep assets (or verify ownership), monitor cash flows, and oversee compliance with applicable rules.
- Custody
- Safekeeping arrangement for fiat and digital assets, including wallet governance, reconciliations, and counterparty controls.
- Multi-Signature
- Wallet control requiring multiple approvals to move assets, aligned with signatory and segregation rules.
- Cold Storage
- Offline custody method reducing attack surface; movements follow documented procedures and dual controls.
- VASP
- Virtual Asset Service Provider. An entity providing exchange, transfer, or custody services for virtual assets, subject to registration/authorization where applicable.
- Travel Rule
- Requirement for originator and beneficiary information to accompany certain virtual asset transfers between obliged entities.
- AML/CFT
- Anti-Money Laundering and Counter-Terrorist Financing rules requiring identification, verification, ongoing monitoring, and suspicious activity reporting.
- Source of Funds/Wealth
- Evidence showing where invested money comes from and how wealth was generated, with traceable documentation.
- Well-Informed Investor
- Investor category defined in Luxembourg product laws (e.g., RAIF), meeting knowledge and/or minimum investment requirements.
- Professional Investor
- Investor meeting MiFID professional criteria, such as regulated financial entities or opt-up clients under national rules.
- Private Placement
- Offer made without a public solicitation, relying on exemptions and national rules for distribution to eligible investors.
- Side Letter
- Agreement granting an investor specific terms consistent with the LPA and not materially prejudicial to others.
- Leverage
- Any method increasing exposure, including borrowing and derivatives. Limits, calculation, and reporting follow AIFMD where applicable.
- 30% Rule (RAIF)
- RAIF diversification guideline limiting exposure to a single asset/issuer; review current policy before marketing.
- Liquidity Gate
- Mechanism allowing the fund to limit redemptions for a period per offering terms to protect remaining investors.
- Redemption Notice
- Formal request to redeem interests, respecting notice periods, dealing days, gates, and suspension rights.
- Key Person Event
- Trigger in the LPA when named individuals are unavailable or depart, leading to suspension or investor consent steps.
- Conflicts of Interest
- Situations where duties or interests may compete. Must be disclosed, managed, and recorded under written policies.
- Sanctions Screening
- Checks against sanctions and watchlists for investors and counterparties; hits are escalated and transactions blocked as required.
- On-chain Analytics
- Blockchain screening used to assess counterparties, wallet behavior, and transaction risk as part of AML controls.
- Market Abuse
- Prohibitions on insider dealing and manipulation. Policies cover MNPI handling, trading windows, and record-keeping.
- Tax Transparency
- SCSp is generally tax transparent in Luxembourg; taxation occurs at investor level subject to their jurisdiction.
- FATCA/CRS
- Investor tax reporting frameworks requiring classification, self-certifications, and information reporting to authorities.


