ComeOn Connect recently rolled out updated terms and conditions for their affiliate program—and if you’re promoting casino or sports betting brands in their network, you need to understand what changed. This isn’t your standard boilerplate update. Hidden in 82 pages of legal language are payment structures that vary wildly by market, termination clauses with teeth, and a “High Roller Policy” that can permanently cut off your best-earning customers.
Whether you’re a seasoned iGaming affiliate or evaluating ComeOn Connect for the first time, this breakdown covers everything from commission tiers to the red flags buried in the fine print. Let’s get into what matters.
The Dark Side: What Makes ComeOn Connect Riskier Than Most Programs
While ComeOn Connect offers access to established European casino brands, their terms and conditions contain several provisions that shift unusual amounts of risk onto affiliates. Some are merely inconvenient—others can wipe out months of earnings overnight.
The Truly Unusual Clauses
High Roller Permanent Exclusion
This is the biggest red flag in the entire agreement. No other major affiliate program permanently removes your highest-value customers from your earnings pool after just 6 months of negative performance.
Most programs spread volatility across your entire portfolio. ComeOn isolates individual high-stakes players who have one bad (for you) month, tracks them separately, and if they don’t recover within half a year, cuts them off from your commissions forever—even if they go on to deposit hundreds of thousands more.
The consequence: If you specialize in VIP or high-roller traffic, this clause fundamentally breaks the economics of the program. Your best customers become liabilities instead of long-term assets.
15% Plagiarism Threshold
The industry standard for content similarity enforcement is typically 30-50%, with warnings before action. ComeOn Connect sets the bar at just 15%—and “similarity” is determined solely at their discretion.
The consequence: Even legitimately original content that uses common industry phrases or structures could trigger suspension. You get 5 business days to fix it, or they withhold all pending payments. No appeals process is specified.
6-Month Error Dispute Window
Most commercial agreements allow 12-24 months to identify and dispute payment discrepancies. ComeOn gives you 6 months, after which they have zero obligation to correct underpayments—even with proof.
The consequence: If you’re managing multiple programs and don’t catch a calculation error within half a year, that money is gone. Period.
The Broadly Discretionary Terms
“Sole Opinion” Termination Rights
The company can terminate your account immediately and forfeit all pending payments if they determine—using their “sole opinion” or “sole discretion”—that you:
- Reduced promotional efforts
- Refer traffic that’s “not legitimately interested”
- Generate traffic that doesn’t match their existing customer profile
- Are causing them financial loss
None of these have objective metrics. No performance thresholds are defined. They decide, you’re out.
The consequence: Even if you’re technically compliant with every rule, subjective business decisions by ComeOn can end your partnership and erase your unpaid commissions. You have no recourse since their judgment is contractually final.
24-Hour Deal Modification Rights
They can change your commission structure, payment model, or withdraw entire payment options with just 24 hours’ notice after informing you. While they “may discuss” changes with you, they reserve the right to implement them regardless of your input.
The consequence: You could build a traffic strategy around revenue share, only to be forced into CPA-only with one day’s warning. Or your 40% tier could drop to 30% before your next payment cycle.
Payment Forfeiture After 6 Months
If ComeOn cannot process payment due to incorrect banking details—even if the error is partly theirs or due to changed banking requirements—the payment is forfeited entirely after 6 months. Not held in escrow. Not attempted again. Just cancelled.
The consequence: A missed email about updated payment requirements or a bank account closure you forgot to notify them about can cost you thousands in accumulated commissions.
The Jurisdiction Landmines
Netherlands: 95% Age-Targeting or Lose Everything
The requirement to prove 95% avoidance of 18-24 year olds with monthly reporting isn’t just strict—it’s nearly impossible to verify accurately across all traffic sources. Facebook, Google, and native ad networks don’t always provide this granular demographic breakdown.
The consequence: One month of insufficient documentation or a traffic spike from a demographic you can’t control (organic search, referrals) could forfeit your entire month’s earnings.
Amendment Silence = Termination (Netherlands Only)
In every other jurisdiction, if you don’t respond to a terms amendment notice within 15 days, you’re deemed to have accepted it. In the Netherlands, silence means rejection and automatic account termination.
The consequence: A missed email, spam filter mishap, or vacation during the notification period ends your partnership instantly.
Germany: Locked Into CPA Forever
German affiliates cannot access revenue share or hybrid models—ever. This is a regulatory compliance decision, but it means German traffic has a permanently lower ceiling than other markets.
The consequence: If you build a German audience expecting long-term revenue share earnings, you’ll need to diversify into other programs. ComeOn will never offer it.
The Compliance Burden Multipliers
Three-Month Activity Requirement
Fail to refer 6 New Active Customers in any rolling 3-month period, and they can terminate or modify your deal. “New Active Customer” means someone who deposits the minimum AND wagers €1+ in real money—bonus play doesn’t count.
The consequence: Seasonal affiliates or those in growth phases may not hit this threshold consistently. One slow quarter could end the partnership or slash your rates.
Immediate Compliance With Regulatory Changes
For any directive from gambling authorities, you must comply within 24 hours of notification. Not 24 hours from the regulation taking effect—24 hours from when ComeOn emails you about it.
The consequence: If a regulatory change drops Friday evening and you’re unreachable over the weekend, you’re technically in breach Monday morning.
What This Means in Practice
Let’s say you’re a successful affiliate who:
- Refers 2-3 high-value players per month
- Generates €30k-50k in monthly net revenue
- Operates across Netherlands and Germany
- Runs paid traffic campaigns
Here’s what could go wrong:
Month 1: One of your Dutch VIPs hits a €60k jackpot. Your account goes negative. They’re flagged as a High Roller. Their future play is isolated.
Month 2: ComeOn determines your German traffic “doesn’t match their customer profile” (sole discretion). They terminate your German vertical and forfeit that month’s €8k in pending CPA payments.
Month 3: You miss the monthly Dutch demographic report deadline by 48 hours due to a client emergency. They forfeit that month’s €12k in commissions.
Month 4: Your payment processor changes requirements. Your bank details update doesn’t process correctly. No payment goes through.
Month 10: The payment from Month 4 is forfeited automatically because 6 months elapsed.
Month 12: Your flagged High Roller from Month 1 didn’t generate enough positive revenue. They’re permanently excluded—even though they’ve deposited €200k since and would have earned you €35k more in commissions.
Total damage: You’ve lost roughly €55k+ in earnings across 12 months due to provisions that most competing programs either don’t have or handle with more flexibility.
How This Compares to Competitors
High Roller Policy: Unique to ComeOn Connect. Most programs (Bet365 Partners, 888 Affiliates, LeoVegas Affiliates) absorb volatility across your player base without permanent exclusions.
Termination discretion: Above average. Programs like PartnerMatrix and Income Access have more defined breach standards and warning systems.
Payment forfeiture scope: Unusually broad. Most programs hold disputed or undeliverable payments longer and make reasonable contact attempts.
Amendment notice period: Below average. 30 days is standard; some offer 60-90 days for material changes.
Netherlands-specific terms: Among the strictest in the industry due to KSA regulations, but ComeOn’s enforcement (monthly reporting + forfeit) is harsher than competitors like Unibet Partners.
The Bottom Line on Risk
Every affiliate program has terms that favor the operator—that’s standard. What makes ComeOn Connect noteworthy is the combination of:
- Permanent customer exclusions (High Roller Policy)
- Extremely broad subjective termination rights
- Short dispute/amendment windows
- Automatic payment forfeitures
- Jurisdiction-specific compliance traps
Individually, some of these clauses appear in other programs. All together, in one agreement, with minimal affiliate protections? That’s rare.
If you’re a casual affiliate with diverse traffic and multiple programs, these risks are manageable.
If you’re dependent on ComeOn Connect as a primary income source, or you work with high-value players, these clauses represent material business risk that should factor heavily into your decision.
The question isn’t whether ComeOn Connect is a scam—it’s not. It’s whether their risk allocation model aligns with your business model and risk tolerance. For many affiliates, especially those targeting VIPs or operating in Netherlands/Germany, the answer is no.
What is ComeOn Connect?
ComeOn Connect is the affiliate program for the ComeOn Group, a Gibraltar-based iGaming operator licensed by the Malta Gaming Authority (MGA), Swedish Gambling Authority (SGA), Danish Gambling Authority (DGA), Germany’s GGL, and other European regulators.
Their portfolio includes brands like Cherry Casino, Hajper, Mobilebet, and Pzbuk—covering casino, sportsbook, and hybrid products across multiple markets.
The program operates under COE Services Limited and supports affiliates in approved jurisdictions including:
- Ontario and rest of Canada
- Denmark, Finland, Norway, Sweden
- Germany
- Poland
- Netherlands
Each market has its own legal framework, which translates to wildly different affiliate terms. More on that below.
Commission Structure Breakdown
ComeOn Connect offers three payment models. You choose one during signup, but they can change or withdraw options with 24 hours’ notice.
Revenue Share (Default)
Casino winnings:
- €0–€10k: 25%
- €10,001–€20k: 30%
- €20,001–€30k: 35%
- €30,001–€50k: 40%
- €50k+: 45%
Sports winnings:
- €0–€10k: 20%
- €10,001–€20k: 25%
- €20,001–€30k: 30%
- €30k+: 35%
Commissions apply to Net Winnings, meaning stakes minus payouts, after deducting administrative fees, software licensing, promotional costs, chargebacks, and taxes. This isn’t gross revenue—your effective rate is lower than the percentages suggest.
Key point: No negative carryover between months. If you have a losing month, you start fresh next cycle. However…
CPA (Cost Per Acquisition)
One-time payment per “New Active Customer”—defined as someone who:
- Deposits the agreed minimum (set per-affiliate)
- Wagers at least €1 in real money
CPA rates are negotiated individually. The T&Cs don’t publish a standard rate, which means leverage matters here.
Germany-only option: Revenue share and hybrid models are explicitly prohibited for German traffic. If you’re targeting DE, you’re locked into CPA.
Hybrid Payment
Combines both revenue share and CPA. You get:
- The one-time acquisition payment when a customer qualifies
- Ongoing revenue share for their lifetime value
Sounds ideal—but it’s not available in Germany, and the company can switch you out of this model unilaterally if they determine it’s unprofitable for them.
The High Roller Policy: Your Best Customer Might Cost You
This is where ComeOn Connect’s terms diverge sharply from industry norms.
How It Works
If a single customer generates €50,000+ in negative revenue (i.e., they win big) in one month, and your total account is negative that month, they’re flagged as a “High Roller.”
Once flagged:
- Their losses are isolated. Future negative revenue from that player is tracked separately and can only be offset by their own future positive revenue—not your other customers.
- Six-month clock starts. If the player doesn’t generate enough positive revenue to clear their negative balance within 6 months, they’re permanently excluded from earning you any future commissions. Ever.
Why This Matters
Most affiliate programs absorb volatility across your entire player pool. ComeOn Connect doesn’t. If you refer a whale who has one massive winning month, that player could:
- Drag your account negative
- Get permanently cut from your earnings
- Continue playing and generating revenue for ComeOn—but not for you
Real-world scenario: You refer a high-stakes slots player. Month 1: They deposit €100k and lose €30k (you earn commission). Month 2: They hit a €80k jackpot (you go negative €50k, they’re flagged). Months 3–8: They play casually, net neutral. Month 9 onward: They’re excluded from your commissions permanently, even if they deposit another €500k lifetime.
This shifts long-term risk entirely to the affiliate. It’s not standard.
Jurisdiction-Specific Rules That Matter
The base terms are just the starting point. Jurisdiction-specific addendums add layers of compliance that vary dramatically.
Netherlands: The Strictest Market
Age-wall requirement:
You must implement a full-page age verification gate that:
- Covers the entire screen (no background ads)
- Only permits users 24+ to view gambling ads (not 18+)
- Blocks or heavily blurs content for younger visitors
95% targeting accuracy:
ComeOn requires monthly proof that your traffic avoids the 18–24 demographic with 95% success. Miss this threshold, and they can forfeit that entire month’s payment.
Bonus advertising ban:
All bonus ads must display “24+” (not “18+”) and include “terms apply” disclaimers alongside responsible gambling warnings.
Extended payment term:
The upside: If you terminate voluntarily (not for breach), your revenue share continues for 12 additional months. This is unique to NL and doesn’t apply elsewhere.
Germany: CPA-Only, Strict Transparency
- No revenue share or hybrid models allowed
- All ads must be “clearly marked as advertising”
- You must display a notice that you receive remuneration if a visitor registers
- Full compliance with the 2021 State Treaty on Gambling (GlüStV)
Ontario, Canada: 19+ and No Bonuses
- Minimum affiliate age: 19 (not 18)
- You can only promote AGCO-licensed operators
- Bonus/credit advertising is prohibited
- All ads require responsible gambling messaging and “19+” symbol
Poland: Tax Certificates and Advertising Bans
- Must provide updated tax residence certificates every 12 months
- All ads must include: “Cherry Online Polska operates under license PS4.6831.26.2017. Gambling involves risk.”
- Cannot target minors or associate gambling with success, attractiveness, or easy rewards
- 14-day approval process for any ads containing brand trademarks
Termination Clauses & Payment Forfeiture
ComeOn Connect reserves the right to terminate your agreement immediately—and forfeit all pending payments—for reasons including:
Immediate Termination + Payment Loss
- Breach of terms (5-day cure period if remediable)
- Insolvency or bankruptcy
- “Reduced promotional efforts” (their sole opinion)
- Not logging in for 3 consecutive months
- Your deal causes them financial loss
- Traffic deemed “not legitimately interested” (sole discretion)
- Regulatory changes in your market
Critical clause (9.6.3): They can modify or terminate your deal and void payments if they unilaterally decide your traffic quality doesn’t match their existing customer base. No objective standard is defined.
When You Keep Payments
If you terminate with 20 business days’ notice (voluntary exit), pending payments are honored—but no new commissions accrue after your exit date, except in Netherlands where the 12-month extension applies.
The 6-Month Statute of Limitations
You have exactly 6 months from payment date to dispute errors. After that, the company has no obligation to make retroactive adjustments, even if you can prove they underpaid.
Uncommon Terms You Won’t Find Elsewhere
15% Plagiarism = Immediate Suspension
If your affiliate site contains content that’s 15% or more similar to a ComeOn property site, they can:
- Suspend your account immediately
- Withhold all pending payments
- Give you 5 business days to remove the content
Most programs use 30–50% thresholds and offer warnings. ComeOn’s 15% bar is aggressive—and “similar” is subjectively determined by them.
15-Day Amendment Rights (Sometimes Less)
The company can modify the entire agreement with just 15 days’ notice. For regulatory changes, notice may be even shorter if they deem it necessary.
Dangerous quirk: In most jurisdictions, silence = acceptance. In the Netherlands, silence = rejection and automatic termination. If you miss the notification email, you’re out.
Payment Abandoned After 6 Months
If they can’t pay you due to incorrect/missing payment details, the payment is forfeited after 6 months. No holding in escrow, no contact attempts specified—just gone.
Sub-Affiliate Restrictions
You can earn 10% commission on affiliates you refer, but:
- Sub-affiliates cannot be owned/controlled by you or immediate family
- If a sub-affiliate’s payment is clawed back, yours is too
- The sub-affiliate percentage can change at any time for new referrals
Prohibited Keyword List
You’re banned from bidding on PPC for brand terms or variations including:
888, Casinostugan, ComeOn, Cherry Casino, Ding Casino, Galaksino, GetLucky, Hajper, Mobilebet, Mobilautomaten, PZBuk, Sunmaker, Suomikasino, MAKR
…and you must use these as negative keywords in all paid campaigns. Violation = immediate termination + payment forfeiture.
Compliance Requirements & Red Tape
Beyond jurisdiction rules, baseline requirements include:
Active Affiliate Account
To remain eligible for payment:
- Refer minimum 6 New Active Customers every 3-month rolling period
- Maintain an active site with current banners/promotions
Fail either metric, and they can terminate or modify your deal.
Prohibited Activities
- Cookie stuffing
- Spamming or unsolicited SMS (requires explicit consent + opt-out)
- Promoting arbitrage, sure betting, or casino systems
- You or immediate family becoming customers
- Displaying tracking links to under-18s (under-19 for Ontario)
- Editing provided creative assets
Data Protection
Full GDPR compliance required, including:
- 24-hour breach notification
- No international transfers without explicit authorization
- Sub-processor agreements mirror your terms
- Data deletion/return within specified timelines
You’re liable for sub-processors even if they follow all protocols.
Should You Sign? The Bottom Line
When ComeOn Connect Makes Sense
- You’re diversifying across multiple programs and can absorb the termination risk
- You operate in Scandinavia where they have strong brand presence and regulatory standing
- You have high-volume, low-volatility traffic (casual players, not whales)
- You’re confident in compliance infrastructure for market-specific requirements
Red Flags That Should Pause You
- You rely on high-value player referrals — the High Roller Policy is a dealbreaker
- You lack legal/compliance resources — Netherlands and Germany requirements are intensive
- You’re targeting Germany exclusively — CPA-only limits upside compared to hybrid programs
- You need payment predictability — unilateral modification rights create uncertainty
Comparison to Industry Standards
ComeOn Connect vs Industry Average:
- Negative carryover: None (except High Rollers) vs Varies (often none)
- High roller isolation: Yes, permanent after 6mo vs Rare
- Termination discretion: Broad, subjective vs Moderate
- Amendment notice: 15 days (shorter possible) vs 30 days standard
- Payment dispute window: 6 months vs 12–24 months
- Plagiarism threshold: 15% similarity vs 30–50% typical
The verdict: ComeOn Connect’s terms favor the house more than peer programs. The High Roller Policy alone is a structural disadvantage if you work with high-stakes traffic. For broad-market affiliates with compliant operations, the program is workable—but read every jurisdiction addendum that applies to you, and document everything.
Key Takeaways
- Three payment models: Revenue share (25–45%), CPA, or hybrid. Germany is CPA-only.
- High Roller Policy: Customers who win €50k+ can be permanently excluded from earning you commissions after 6 months.
- Aggressive termination rights: They can cancel immediately and forfeit payments for subjective reasons like “reduced effort” or “traffic quality.”
- Netherlands requires 95% age-targeting accuracy with monthly proof, or lose that month’s payment.
- 15% content similarity triggers suspension—lower than industry norms.
- You have 6 months to dispute payment errors, then it’s final.
- Best for: Diversified affiliates with compliance resources and casual player traffic.
- Red flag for: High-roller affiliates or those needing payment stability.
Final word: If you’re considering ComeOn Connect, negotiate CPA rates hard if going that route, track every communication, and keep compliance documentation bulletproof. The upside is access to established European brands; the downside is you’re absorbing more risk than most competing programs demand.
External Authority Sources:
- Malta Gaming Authority: https://www.mga.org.mt
- AGCO (Ontario): https://www.agco.ca
- German State Treaty on Gambling: Official GGL resources
- GDPR compliance guidance: EU official sources