We manage a structured multi-tier partnership model that rewards affiliates who refer new players to condiciones de uso incaspincasino while also rewarding those who recruit other affiliates into our network. Our sub affiliate programme extends the earning potential of our standard partnership by allowing approved affiliates to obtain a percentage of the net revenue derived by affiliates they directly recruit. This framework is designed specifically to meet Spanish regulatory requirements while preserving clarity for international partners who aim at Spanish traffic. We have developed the programme on transparent tracking, consistent commission calculations, and clear contractual obligations that secure all parties involved. Grasping the legal foundation of this arrangement is essential before you commence promoting our brand or bringing in sub affiliates under your referral link.
Our sub affiliate terms form an integral part of the broader Incaspin Casino affiliate agreement, and adhering to the standard terms automatically commits you to the sub affiliate provisions if you choose to use your referral link. You must not alter, amend, or negotiate individual clauses outside of our standard agreement template. The terms stipulate that you act as an independent contractor and not as an employee, agent, or legal representative of Incaspin Casino. This distinction is essential for tax purposes and for limiting our liability regarding your promotional activities. You take full responsibility for the content you publish, the claims you make about our services, and the methods you use to attract both players and potential sub affiliates. We explicitly prohibit spam, misleading advertising, and any form of incentivised traffic that artificially inflates player registrations without genuine intent to engage with our casino platform.
When recruiting sub affiliates, you are required to present the Incaspin Casino partnership opportunity correctly and without overstatement of potential earnings. We forbid the use of income claims that indicate guaranteed returns or that indicate our programme represents an investment opportunity. Your recruitment materials must clearly state that sub affiliate earnings are entirely based on the gaming activity of referred players and that no reward is given simply for signing up other affiliates. You may not use our brand name in paid search campaigns targeting terms that include “affiliate programme,” “make money,” or similar commercial intent phrases without we have granted you explicit written permission. Furthermore, you must not bring in affiliates who are already registered in our programme under a different referrer, as this amounts to circumvention and will void any associated sub affiliate commissions.
We provide approved affiliates with access to a media kit containing logos, banners, and promotional text that may be utilized in your marketing efforts. You may not change these materials beyond resizing for format compatibility, and you must not produce derivative works that imply endorsement of unlicensed products or services. Our brand name, Incaspin Casino, and all associated trademarks remain our exclusive property, and your right to use them is contingent on maintaining an active partnership in good standing. Sub affiliates you enlist receive the same media access under the same restrictions, and you are urged to guide them toward compliant usage. Any affiliate found to be using our intellectual property to promote competing brands simultaneously will experience immediate account suspension. We actively monitor brand usage across web properties and social media platforms to protect our market position and regulatory standing.
To start recruiting sub affiliates, you must first finish our standard affiliate registration and have your account authorized for the sub affiliate feature. Not all affiliates routinely receive sub affiliate privileges; we activate this function for partners who exhibit consistent compliant activity over an initial evaluation period, typically lasting two months. Once activated, your dashboard will show a unique referral link that tracks affiliate sign-ups coming from your promotional efforts. You can provide this link through your website, social media channels, or direct communications with potential partners, always adhering to the recruitment restrictions outlined in our terms. We offer tracking reports that show which sub affiliates have enrolled under your link, their approval status, and the aggregate performance metrics of players they have brought in. This data helps you identify which recruitment channels generate the most valuable long-term partnerships.
The most successful participants in our sub affiliate programme devote time in picking partners who understand the Spanish online casino market and who possess genuine traffic generation capabilities. We encourage you to look for potential sub affiliates who already operate websites, social media accounts, or email lists with audiences engaged with casino gaming content. Providing basic guidance on our compliance requirements and brand positioning assists your recruits avoid common mistakes that result in account suspension before they generate meaningful commissions. While you are not compelled to train your sub affiliates, those who obtain clear onboarding information from their recruiter tend to activate faster and produce more consistent results. Your dashboard includes referral performance data that lets you recognize which of your sub affiliates might profit from additional support or resources to enhance their conversion rates.
Spain maintains a structured regulatory environment for online gambling activities, and our affiliate programme operates strictly within the boundaries set by the Dirección General de Ordenación del Juego. We possess a valid licence that allows us to deliver casino services to Spanish residents, and this licence covers to our marketing and partnership activities. Affiliates who market Incaspin Casino to Spanish audiences must be aware that their promotional methods are subject to the same regulatory scrutiny as our direct marketing efforts. The Spanish Gambling Act and its associated royal decrees set specific restrictions on advertising content, timing, and targeting. We demand all affiliates, including sub affiliates, to adhere to these provisions without exception. Failure to comply can cause immediate termination of your partnership agreement and forfeiture of any unpaid commissions.
Before you can begin earning through our sub affiliate structure, we validate your identity and evaluate your intended promotional channels. This verification process corresponds to our anti-money laundering obligations and our duty to ensure that only responsible marketing practices are associated with our brand. We ask for basic documentation including proof of identity and details about your website or traffic sources. Spanish partners must additionally verify that their promotional activities will not aim at self-excluded individuals or minors. Our compliance team examines each application against current regulatory databases, and we hold the right to decline partnerships that present an unacceptable risk profile. This careful onboarding preserves the integrity of our entire affiliate network and ensures that commissions are earned through legitimate, compliant traffic generation.
Our sub affiliate programme establishes an supplementary revenue stream by remunerating you for the performance of affiliates you individually refer to Incaspin Casino. When you bring in another affiliate who is approved and begins generating qualifying traffic, you get a percentage of the net gaming revenue attributed to that affiliate’s referred players. This percentage is determined on top of the standard revenue share that the direct affiliate receives, meaning the cost comes from our marketing budget rather than lowering the primary affiliate’s commission. The precise sub affiliate percentage is outlined in your individual partnership agreement and may change based on your own performance tier and the volume of sub affiliates you effectively onboard. We developed this structure to motivate quality recruitment rather than mass sign-ups that do not yield valuable results for any party involved.
We calculate sub affiliate commissions each month based on the net gaming revenue earned by players who enrolled through your brought-in affiliates. Net gaming revenue represents total player bets minus winnings, chargebacks, and pertinent gaming taxes. Our platform deducts processing fees and any bonus costs attributed to those players before applying your agreed percentage. The ensuing figure is included to your standard affiliate earnings and paid out as a single combined amount during our regular payment cycle. Payments are completed within the first fifteen days of each month for the prior month’s activity, provided your total balance meets the minimum threshold specified in your contract. We provide multiple payment methods including bank transfer and select e-wallet options, and all transactions are logged in your affiliate dashboard for complete transparency.
Affiliates who steadily refer effective sub affiliates into the network might be considered for improved commission rates. lee ahora Our multi-level system reviews both the volume of participating sub affiliates under your referral and the aggregate revenue they generate over a rolling three-month period. As your sub affiliate network expands and demonstrates consistent performance, we may increase your sub affiliate commission percentage gradually. This approach compensates long-term relationship building rather than short-term recruitment spikes. We evaluate tier eligibility every quarter and alert qualifying partners of any rate modifications through their provided email address and dashboard notifications. Preserving your tier requires sustained activity from your sub affiliate network, and extended inactivity across your referrals may result in a tier decrease at our next review cycle.
We do not deduct taxes from affiliate commission payments unless Spanish law expressly mandates us to do so for partners based in Spain. You are entirely accountable for disclosing your affiliate income to the competent tax office in your country of residence and for remitting any pertinent income tax, VAT, or equivalent obligations. Spanish-resident affiliates are required to register as self-employed with the Agencia Tributaria and provide invoices for commission payments as needed. International affiliates ought to consult local tax professionals to understand their obligations regarding income earned from a Spanish-based programme. We offer annual earnings statements through the affiliate dashboard to support your tax reporting, but these statements do not constitute tax advice. Sub affiliate earnings are processed equally to direct affiliate earnings for tax purposes within our reporting systems.
Working in the Spanish market necessitates strict adherence to both the General Data Protection Regulation and the Organic Law on Data Protection and Digital Rights Guarantee. As an affiliate or sub affiliate, you may collect personal data from individuals who click your tracking links or opt into your marketing communications. You must handle this data lawfully, maintain a published privacy policy, and obtain appropriate consent where required. We do not share our player data with affiliates beyond aggregated performance statistics, and you should not attempt to reverse-engineer or otherwise recognize individual players from the information available in your dashboard. Any data breach affecting information you have collected in connection with promoting Incaspin Casino must be reported to us within forty-eight hours of discovery so that we can determine any potential impact on our own data protection obligations.
If you run from outside the European Economic Area and enlist sub affiliates or players located in Spain, additional data transfer safeguards are relevant. We require all international affiliates to confirm that they have adequate data protection measures in place, which might include standard contractual clauses or equivalent mechanisms recognised by Spanish and EU authorities. Your own sub affiliates need to meet the same standards, and you bear responsibility for communicating these requirements to anyone you recruit. We retain the right to request documentation demonstrating compliance, and non-response within fourteen days may lead to commission withholding until satisfactory evidence is provided. This requirement safeguards all parties from regulatory penalties that can arise from improper cross-border data handling, and we adopt a zero-tolerance approach to negligence in this area.
Any party may cancel the affiliate agreement with documented communication as specified in the contract terms. We may freeze your account immediately if we detect deceptive activity, regulatory breaches, or material violations of our promotional guidelines. Upon termination, you waive any right to future commissions from your existing referred players except when your agreement contains a lifetime revenue share clause that persists termination under specific conditions. Sub affiliate commissions stop at the same time with your primary affiliate status, and your recruited sub affiliates are reassigned to our house account or offered the chance to set up a direct partnership with us. We handle disputes through our internal review process initially, and unresolved matters may be raised to mediation under Spanish commercial law. Our aim in any dispute is to reach a just resolution based on recorded performance data and the unambiguous terms you accepted at registration.
Particular actions cause automatic forfeiture of both standard and sub affiliate commissions without regard to your overall performance history. These encompass self-referral, where you sign up a player account under your own tracking link and place funds to produce commissions, and collusion with players to share bonus funds through orchestrated gameplay patterns. Chargeback fraud orchestrated by affiliates or their recruited players also leads to immediate forfeiture and potential legal action. We employ automated detection systems that mark suspicious patterns, and our compliance team by hand reviews flagged accounts before enforcing any forfeiture decision. You may challenge a forfeiture decision within seven days by offering evidence that the flagged activity resulted from circumstances beyond your control. Appeals are assessed by a senior compliance officer whose decision is final under the programme terms.