The Dutch gambling regulator has instructed licensed online operators to discontinue “Share Your Bet” social betting tools, warning that the functionality may constitute indirect advertising and create uncontrolled exposure to gambling content. The move reinforces the regulator’s position that consumer protection and advertising rules extend beyond paid media into product design.
The instruction reflects a broader tightening of oversight in the Netherlands, where regulators are increasingly scrutinising how gambling content is distributed and consumed across digital channels.

Key Takeaways: What This Means for Operators in the Netherlands
- Social features face compliance risk: Bet-sharing tools are now treated as advertising mechanisms rather than neutral product functionality.
- Immediate UX changes required: Licensed operators are expected to remove or redesign affected features without transitional leeway.
- Advertising rules extend into product design: Functional mechanics fall within the scope of promotional compliance.
- Vulnerable group exposure reduced: Regulators are targeting features that bypass traditional marketing safeguards.
- Enforcement expectations rise: Failure to act may prompt supervisory intervention.
Regulator Treats Bet-Sharing Features as Advertising
According to the regulator, “Share Your Bet” tools allow players to distribute wagering content via messaging apps and social platforms in ways operators cannot meaningfully control. Because recipients are selected by users rather than operators, such features undermine rules designed to prevent gambling exposure to minors and other vulnerable groups.
This interpretation builds on earlier regulatory signals that advertising compliance in the Netherlands is being enforced more strictly, particularly where indirect promotional mechanisms are involved, following warnings that the scope of gambling advertising oversight would be expanded beyond traditional media formats.
The regulator has stressed that licensed operators remain responsible for all gambling-related content originating from their platforms, regardless of whether distribution occurs through third-party channels.
Platform Design and Feature Compliance
Operators are expected to conduct immediate reviews of platform features that enable wager sharing, copying or broadcasting. While often positioned as engagement or social-gaming enhancements, such tools are now viewed as compliance risks where they facilitate uncontrolled dissemination of gambling content.
The regulator’s position reinforces the expectation that consumer-protection principles apply across the full user journey, including features embedded directly into product interfaces rather than limited to marketing activity.
Consumer-Protection and Exposure Risks
The regulator has highlighted concerns that social bet-sharing may normalise gambling behaviour and lower participation barriers, particularly when gambling content is encountered through personal networks rather than regulated advertising channels.
This reasoning aligns with broader policy objectives aimed at reducing incidental exposure to gambling, especially among young adults and other protected groups.
Enforcement Expectations and Regulatory Precedent
While no penalties have been announced specifically in relation to bet-sharing tools, the regulator has made clear that features presenting advertising or consumer-protection risks should be removed without delay. The absence of a formal grace period signals an expectation of proactive compliance from licensed operators.
The instruction also aligns with recent enforcement actions where the regulator has intervened directly against licensed operators for compliance shortcomings, reinforcing expectations that supervisory guidance should be treated as enforceable in practice rather than optional.
Market Impact and Compliance Outlook
The removal of social bet-sharing tools underscores how regulators increasingly treat product functionality as inseparable from advertising compliance. In the Netherlands, this reinforces a regulatory environment where innovation is permitted only within clearly defined consumer-protection boundaries.
For operators, the message is clear: social and engagement features must now be assessed through a regulatory lens, not merely as product or marketing enhancements, as compliance-by-design becomes essential for sustained market access.