Last checked: 22 August 2026. A forex broker can use one global brand while onboarding customers through different legal companies. If the website looks British but your agreement names a Cyprus Investment Firm, the logo, language and top-level domain do not decide who handles a complaint. The account-holding legal entity, its permissions, the service supplied and the facts of your case do.
The short answer
Do not begin with the broker’s brand name. Begin with the legal name in your client agreement and account-opening confirmation. Match that company to an official register, confirm the approved domain and permissions, then follow the complaint process attached to that entity. A UK resident is not automatically covered by the UK Financial Ombudsman Service or FSCS merely because the site used English, quoted pounds or showed a London address.
This article provides general educational information, not legal or financial advice. Complaint and compensation eligibility is case-specific. Always confirm the current rules with the relevant official body.
Why this question is harder than it looks
A broker group may contain an FCA-authorised company, a CySEC-authorised company and one or more offshore companies. Marketing pages can be shared across the group. The decisive documents may appear only during account opening, inside a client portal or at the end of the terms.
That creates three different questions:
- Who contracted with you? Record the exact company name, company number and registered address.
- Who authorised that company for the relevant service? A group licence or a licence held by another affiliate is not enough.
- Which body can provide the remedy you want? A regulator, ombudsman and compensation scheme perform different jobs.

UK entity versus Cyprus entity: routing table
| Evidence in your account | Primary register check | Complaint or dispute route to investigate | Failure-protection route to investigate |
|---|---|---|---|
| An FCA-authorised legal entity is named as the contracting firm | FCA Financial Services Register or FCA Firm Checker; verify legal name, FRN, status, permissions and contact details | Complain to the firm first; if eligible and unresolved, check the Financial Ombudsman Service | Check the exact firm, activity and claim against FSCS investment protection guidance |
| A Cyprus Investment Firm is named as the contracting firm | CySEC investment-firm record plus its approved-domain list | Complain to the firm; then check the Cyprus Financial Ombudsman and, for an EEA cross-border case, FIN-NET guidance. CySEC can receive supervisory information but states that it has no restitution powers | Check whether the firm is an ICF member and whether the client and claim meet the Cyprus Investor Compensation Fund conditions |
| The brand is visible, but the legal entity is absent or inconsistent | Stop and obtain the agreement, account confirmation and official register record | Do not select a complaint body from the brand’s head office or marketing footer alone | Do not assume any compensation scheme applies until the entity and covered activity are identified |
A regulator, an ombudsman and a compensation scheme are not interchangeable
The regulator
The regulator authorises and supervises firms and maintains public records. It may accept reports that inform supervision or enforcement, but it is not necessarily the body that awards money in an individual dispute. CySEC explicitly says it does not have restitution powers for individual complaints.
The ombudsman or ADR body
This is the route to investigate when you want an individual dispute assessed outside court. Eligibility depends on the respondent legal entity, the activity, the complainant, time limits and territorial rules. The UK Financial Ombudsman says it can usually help individual consumers of a financial business that provides products or services in the UK, but it must check whether a particular complaint falls within its rules.
The compensation scheme
A compensation scheme is generally relevant when an eligible firm cannot meet covered claims, not simply because a trade lost money or a customer dislikes an execution result. FSCS states that the provider must be authorised and the particular activity must be regulated for its investment protection to apply. Cyprus ICF coverage also depends on membership and statutory conditions. See our source-checked FSCS, Cyprus ICF and offshore compensation comparison for the current limits, triggers, exclusions and evidence checklist.

Eight-step legal-entity complaint audit
- Download the agreement that applied on the event date. Do not rely only on today’s website terms.
- Copy the full legal name exactly. Include Ltd, Limited, registration number and address.
- Capture the account evidence. Save the welcome email, portal profile, deposit receipt, statement and withdrawal record.
- Search the official register. Record the result URL, status, licence number, permissions and check date.
- Match the domain and contact details. Compare the website, email, telephone number and address with the official record. For a Cyprus entity, also check CySEC’s approved-domain list.
- Identify the disputed activity. Withdrawal handling, execution, advice, client money and payment processing may involve different facts or even different companies.
- Complain to the named firm in writing. State the account number, event dates, requested remedy and attached evidence. Keep proof of submission and the final response.
- Check the external route before its deadline. Use the ombudsman, ADR or compensation scheme’s own eligibility information; do not depend on a broker support agent’s description.
Evidence packet: what to save and why
| Document | Field to highlight | Question it answers |
|---|---|---|
| Client agreement and later amendments | Contracting party, governing law, complaints clause | Which company accepted the account and what process did it state? |
| Account-opening confirmation | Entity, licence number, client classification | Which onboarding route was actually used? |
| Official register record | Status, permissions, domain, address, restrictions | Does the official record match the company and service? |
| Deposit and withdrawal records | Payee, payment processor, dates and reference numbers | Who received or handled the money? |
| Platform and statement export | Order IDs, timestamps, prices, fees | What happened and when? |
| Complaint and final response | Issue, requested remedy, response date | Was the firm given a clear opportunity to resolve the dispute? |
Five routing mistakes to avoid
- Searching only the brand. Registers usually identify legal companies, not every marketing name.
- Using a group company’s licence. The authorised affiliate must be connected to your account and activity.
- Treating residence as the only test. Where you live matters, but it does not replace the contract, respondent entity and jurisdiction rules.
- Sending a money claim only to the regulator. Supervisory reporting and individual redress are different processes.
- Assuming authorisation guarantees compensation. Permissions, activity, claimant type, scheme membership and failure conditions still matter.
Practical example: a UK resident signs with a Cyprus company
Imagine a UK resident reaches an English-language broker site, sees a group’s London office in the footer, but the signed agreement names a Cyprus Investment Firm and the portal confirmation repeats that Cyprus company. The correct first audit is not “Does this group have an FCA licence?” It is:
- Is the Cyprus company active in the CySEC records?
- Is the exact domain approved for that company?
- Do the agreement, portal and payment evidence all point to the same entity?
- Does an FCA-authorised affiliate appear anywhere in the customer’s own contract or transaction evidence?
- Which complaint or ADR body says it can consider this respondent, service and customer?
If the documents point only to the Cyprus company, the existence of an FCA-authorised sister company does not by itself establish UK ombudsman or FSCS eligibility. Equally, do not assume the Cyprus route applies merely because “Cyprus” appears in a group footer—verify the actual contract.
The same routing logic is demonstrated in our Pepperstone legal-entity comparison, where the UK and Cyprus companies sit beside Australian and Bahamas entities under one public brand.
How this fits into a complete broker check
Start by learning how to verify the exact broker legal entity. Then compare how one broker brand can produce different country-level protections. If the problem concerns access to money, use the withdrawal dispute routing guide. UK records can be checked with our step-by-step FCA Register guide.
Final rule
Your complaint route belongs to the evidence chain—customer, account-holding legal entity, authorised activity and event—not to the broker’s logo. Save the chain before a dispute occurs.
A complaint route cannot be chosen from the logo or website domain alone. Use the Forex Broker Safety Guide to identify the contracting entity and document the protection route before a problem occurs.
The complaint destination is only one consequence of the contract. Our FCA, CySEC and Bahamas comparison places the complaint route beside leverage rules, negative balance protection and failure-compensation signals for each entity.
Official sources and verification log
| Official source | What was checked | Checked |
|---|---|---|
| FCA — How to check a firm or individual is authorised | Register purpose, permissions and protection warning | 22 Aug 2026 |
| FCA — How to complain | Firm-first complaint process and Ombudsman escalation | 22 Aug 2026 |
| Financial Ombudsman Service — Who we can help | Consumer and territorial eligibility overview | 22 Aug 2026 |
| Financial Ombudsman Service — Jurisdiction | Firm, respondent and activity checks | 22 Aug 2026 |
| FSCS — Investment protection | Authorisation, regulated activity and claim limitations | 22 Aug 2026 |
| ESMA — Is the firm regulated? | EU/EEA register-check route | 22 Aug 2026 |
| CySEC — Approved domains | Entity-to-domain matching resource | 22 Aug 2026 |
| CySEC — Complaint regarding CIFs | Supervisory complaint role and Ombudsman direction | 22 Aug 2026 |
| CySEC — Investor Compensation Fund | Fund purpose and conditional eligibility | 22 Aug 2026 |
| European Commission — Cross-border FIN-NET complaint | EEA cross-border complaint steps | 22 Aug 2026 |
Use the free Broker Complaint Route Finder
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