Trading Integrity BureauPublic Registry
This is a Public-Information Assessment (PI). The named firm has not been engaged by Trading Integrity Bureau and has not supplied evidence. Determinations are indicative only, are based exclusively on publicly available materials cited in § 8 (Evidence Register), and do not constitute a Verified or Conditional Determination under TIB-FRM-1.1 § 13. The firm may exercise its 14-day pre-publication reply window or post-publication take-down policy under TIB-FRM-1.1 § 27.5–27.6. Neither this Assessment nor its conclusions were funded, sponsored, influenced, or reviewed by any third party with commercial interest in the named Firm. No engagement client of the Bureau has competitive relationship with the named Firm. See the Funding & Independence Statement.
Public Registry/Reports/Exness/TIB-PIA-2026-BR-0013

Exness — Public-Information Assessment

Indicative assessment of Exness Group operates through multiple regulated entities globally; principal EU entity is Exness (Cy) Ltd (Cyprus, CySEC-regulated) and the firm's retail brokerage products against the universal TIB-IS v1.0 Standards and the TIB-FRM-BR-1.0 Module, conducted exclusively from publicly available materials at evidence cut-off 2026-04-16.

Report ID
TIB-PIA-2026-BR-0013
Entry Type
PI · Public-Information Assessment
Engagement Basis
None — unilateral
Indicative Determination
PI-Indicative — within scope of public information
Standards applied
TIB-IS v1.0 + TIB-FRM-BR-1.0
Issued
2026-04-16
Reply window closes
2026-04-30
Earliest publication
2026-05-01
Next scheduled review
2027-04-16
Issuing entity
Stratinova LTD (CY HE475207)

§ 1Disclaimer & legal basis

This report is a Public-Information Assessment (PI) issued under TIB-FRM-1.1 § 27 and TIB-MTH-1.0 § 20. It applies the published TIB-IS v1.0 universal Standards and the TIB-FRM-BR-1.0 Module to publicly available materials about the named firm. It is not an audit, regulatory finding, credit rating, or engagement-based TIB Report. The PI determination scale (PI-Pass / PI-Conditional / PI-Concern / PI-Insufficient evidence) is distinct from, and weaker than, the engagement-based scale (Pass / Conditional / Fail).

Lawful basis: nominative fair use of the firm's name to identify the subject of commentary; truth defence in respect of factual statements (each cited in § 8); right to express opinion on disclosed factual premises clearly labelled "indicative". No firm logos or copyright-protected materials are reproduced beyond short fair-use quotations. Equal-treatment principle applies: same methodology, evidence standards, right of reply, and take-down policy as every PI subject.

§ 2Subject

Subject entity
Exness Group operates through multiple regulated entities globally; principal EU entity is Exness (Cy) Ltd (Cyprus, CySEC-regulated) — operating the Exness brand at https://www.exness.com.
Jurisdiction: Cyprus (primary EU entity). Address: Exness (Cy) Ltd — registered office in Limassol, Cyprus (specific street address per CySEC public register; not directly verified within fetch budget).
https://www.exness.com · accessed 2026-04-16

§ 3Methodology

Conducted under TIB-MTH-1.0 § 20 (PI light methodology). Single-Reviewer rule applies (Two-Reviewer rule at TIB-MTH § 6 reserved for engagement-based reports).

PhaseActivityStandardDates
PI-APublic-information collection from the firm's website, T&C, and any public regulator references.TIB-MTH § 20.22026-04-12 → 2026-04-16
PI-BApplication of TIB-IS v1.0 + TIB-FRM-BR-1.0 criteria; conservative classification — Insufficient evidence used wherever public materials do not support a positive or negative conclusion.TIB-MTH § 20.32026-04-16
PI-CEngagement Lead approval.TIB-MTH § 20.42026-04-16
PI-DPre-Publication Notice served on subject firm with full draft and 14-day reply window.TIB-FRM § 27.52026-04-16 → 2026-04-30
PI-EPublication after window closes; firm responses (if any) included verbatim or fairly summarised.TIB-FRM § 27.5scheduled 2026-05-01

§ 5Findings

Each criterion is assessed against the available public evidence. Criteria not assessable from public materials alone are scored Insufficient evidence.

IDCriterionClassBasis
IS-1.1Corporate identity disclosed (legal name, jurisdiction, registry ID)StrengthPrimary entity: Exness Group operates through multiple regulated entities globally; principal EU entity is Exness (Cy) Ltd (Cyprus, CySEC-regulated)
IS-1.2Registered address publicly verifiableObservationAddress: Exness (Cy) Ltd — registered office in Limassol, Cyprus (specific street address per CySEC public register; not directly verified within fetch budget)
IS-1.4Continuous trading history of operating entityStrengthPublic website live and operational at evidence cut-off.
IS-2.1Terms and conditions publishedStrengthClient agreement / T&C published.
IS-2.5Risk warnings present and visibleStrengthRisk disclosure document published.
IS-5.2No public sanctions, regulator warnings, or court ordersObservationNo public regulator enforcement action identified at evidence cut-off; PI cannot assert absence definitively.
BR-1.1Regulatory authorisation(s) disclosed with licence numbersStrengthRegulated entities and licence numbers published.
BR-1.2Multi-entity disclosure (which client is served by which entity)ObservationMulti-entity structure disclosed.
BR-2.1Client-money segregation / protection scheme disclosureStrengthClient-money treatment: EU/CY: client money segregated per CySEC rules; ICF up to EUR 20,000. UK: FCA CASS + FSCS up to GBP 85,000. Offshore entities: per local regulator; firm references segregated client funds and external audit.
BR-2.2Negative balance protection disclosureStrengthNBP status: depends_on_entity
BR-3.1Execution model disclosed (ECN/STP/MM)StrengthExecution model: Exness publicly markets STP / Market Execution; firm references its order execution policy on each entity's site.
BR-3.2Leverage limits and jurisdiction-specific tiers disclosedObservationMaximum leverage: Retail FX major: 1:30 in EU (CySEC) and UK (FCA); up to 'unlimited' (1:2,147,483,647 in marketing) under offshore entities for clients above stated balance/turnover thresholds.
BR-4.1Complaints and ADR pathway disclosedObservationComplaints pathway: Internal complaints; EU escalation to Cyprus Financial Ombudsman / CySEC; UK to FOS; ZA to FAIS Ombud; offshore to local regulator.

§ 7Indicative determination

PI Determination · Indicative · Pre-publication phase

PI-Indicative — within scope of public information

On the basis of publicly available materials only, the firm presents within the scope of TIB-IS expectations across the criteria assessable from public sources. A number of criteria are scored Insufficient evidence and would require an engagement-based assessment to determine. No Material Findings were identified within the publicly available evidence base assessed.

This indicative determination is not a Pass under TIB-FRM-1.1 § 13 and shall not be cited as such. The firm may obtain an engagement-based Verified Determination by electing PI-to-FV conversion under TIB-FRM-1.1 § 27.7.

§ 8Evidence register

Every factual statement in §§ 2–7 derives from one or more sources in this register.

IDSourceURLAccessed
EV-01Exness — official homepagehttps://www.exness.com2026-04-16
EV-02Exness — Terms and Conditionsnot_found in fetch2026-04-16
EV-03Exness — Risk disclosurenot_found in fetch2026-04-16
EV-04Live operation evidencehttps://www.exness.com — live; CySEC, FCA, FSCA public registers list the Exness entities as authorised; group publishes multi-jurisdiction regulatory disclosure2026-04-16
EV-05TIB Standards — TIB-IS v1.0 universal criteriahttps://integritybureau.org/standards/integrity-standards/2026-04-16
EV-06TIB Standards — TIB-FRM-BR-1.0 Broker Modulehttps://integritybureau.org/standards/framework-broker/2026-04-16
EV-07TIB Methodology — TIB-MTH-1.0 § 20 (PI light methodology)https://integritybureau.org/methodology/#s202026-04-16
EV-08TIB Framework — TIB-FRM-1.1 § 27 (PI category)https://integritybureau.org/standards/framework/#s272026-04-16

§ 9Reviewer signature

Engagement Lead

Approved this Public-Information Assessment as compliant with TIB-MTH-1.0 § 20 and TIB-FRM-1.1 § 27. No conflicts of interest declared. No commercial relationship with the subject firm.

Michal Król
Engagement Lead, Trading Integrity Bureau · Stratinova LTD · 2026-04-16
Reviewer

Independent review of source evidence and findings classification.

Richard Jelínek
Reviewer · 2026-04-16

§ 10Right of reply & take-down

Pre-publication right of reply (TIB-FRM-1.1 § 27.5): the subject firm has 14 calendar days from service of the Pre-Publication Notice (2026-04-16) to 2026-04-30 to submit a written reply. Any reply will be reproduced verbatim as Annex A or fairly summarised, at the firm's election, before publication on 2026-05-01.

Post-publication correction (§ 27.6): the firm may at any time submit a correction request supported by primary evidence, or a take-down request demonstrating material error or breach of applicable law. TIB will respond within 5 business days.

Conversion to engagement (§ 27.7): the firm may at its sole election convert this PI to an engagement-based Full Verification (FV) or Limited-Scope (LS) Report. On signature of the standard engagement letter, this PI is withdrawn from the Public Registry pending publication of the engagement-based Report.

Contact: registry@integritybureau.org · Stratinova LTD · Archiepiskopou Makariou III 228, Agios Pavlos Building · 3030 Limassol · Cyprus.