SEPA payment system
CENTROlink is a payment system operated by Lietuvos bankas, providing a gateway to the Single Euro Payments Area (SEPA). Via its infrastructure, Lietuvos bankas provides technical access to SEPA for all types of payment service providers (PSPs) – banks, specialised banks, credit unions, and electronic money or payment institutions – licensed in the European Economic Area (EEA).
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About CENTROlink
CENTROlink is a retail payment system developed and operated by Lietuvos bankas which allows the customers of financial institutions to execute euro payments swiftly and inexpensively. PSPs participating in CENTROlink can offer their clients all SEPA payment services: credit transfers (SCT), direct debit transfers (SDD Core), and instant payments (SCT Inst). More information on how CENTROlink operates, the acceptance of PSPs and their rights and obligations, the payment order processing procedure, and risk management is available in the the Operating Rules of CENTROlink (1004.3 KB download icon) and the Regulations on the Conclusion of the ABIC Agreement (516.6 KB download icon).
The CENTROlink payment system is linked to the main European SEPA instant payment systems – RT1 and the TARGET Instant Payment System (TIPS) – enabling financial institutions operating within the system to provide a one-stop shop for SEPA credit transfers and direct debits, as well as for instant payments.
Benefits of participating in the system
System participants
21 direct participants
PSP type | Number | License country | |||
---|---|---|---|---|---|
LT | MT | BG | NO | ||
Credit institutions | 18 | 15 | 1 | 1 | 1 |
Central bank | 1 | ||||
General government | 1 | ||||
Clearing and settlement organisations | 1 |
117 addressable BIC holders
PSP type |
Number |
License country |
||||||||||||||||||
---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|---|
LT | UK | MT | CY | IE | BG | EE | CZ | FR | SE | NL | BE | ES | PL | FI | GR | DE | SK | SI | ||
Electronic money institutions |
91 |
53 |
11 |
5 |
6 |
2 |
3 |
|
|
3 |
1 |
2 |
2 |
1 |
|
|
1 |
|
|
1 |
Payment institutions |
26 |
6 |
3 |
1 |
1 |
1 |
1 |
2 |
3 |
|
1 |
|
1 |
2 |
1 |
1 |
|
1 |
1 |
|
Indicator |
2020 |
2021 |
2022 |
2023 |
2024 |
---|---|---|---|---|---|
Number of payment service providers |
136 |
149 |
148 |
143 | 138 |
Number of instant payment service providers |
26 |
47 |
64 |
65 | 65 |
Number of PSPs from different EEA countries |
14 |
18 |
19 |
19 | 20 |
Number of payments, million |
95.2 |
186.1 |
276.3 |
228.5 | 294.6 |
Number of instant payments, million |
17.1 |
63.4 |
128.1 |
125.4 | 176.8 |
Note: Data as of 31-12-2024
How to get access
Additional services
-
Proxy Lookup Service (PLS) –proxy identifier lookup service of Lietuvos bankas
It allows initiating payments (SCT and SCT Inst) based on the payee’s phone number. To use the service of transfers based on the phone number, the user must give their consent in the PSP’s mobile app to link their phone number to the selected IBAN account. To transfer money, simply select the recipient from the contact list in the mobile
-
Verification of Payee (VoP) – payee verification service
It allows verifying the payee’s name or identification number prior to making a payment, thereby ensuring that the money reaches the right person or company. It should be noted that the Instant Payments Regulation obliges European PSPs to introduce the VoP service by 9 October 2025.
-
SEPA Request to Pay (SRTP) – request to pay service
It allows businesses and individuals to submit structured and secure payment requests. A document (e.g. an invoice) can be attached to the request for payment and can be viewed securely by the payer in their payment service provider’s environment, without the need for additional connections to other systems. There are different types of payment requests:
- pay now – a request for payment without cancellation. The payer has 30 minutes to either confirm or cancel the payment.
- approve later – a payment request with an expiry date (up to 12 months) and a cancellation option.
Service fees
For detailed information of all CENTROlink service fees and billing procedures please refer to the Operating Rules of CENTROlink (1004.3 KB download icon) and the Regulations on the Conclusion of the ABIC Agreement (516.6 KB download icon).
Fees for system services shall be calculated separately for each BIC of the system participant or ABIC holder.
Contact us
Direct participation in the CENTROlink payment system – migration from the addressable BIC holder to the direct participation model
The Instant Payments Regulation, which came into effect on 4 August 2024, introduced amendments to the Settlement Finality Directive (98/26/EC) (hereinafter, SFD) expanding the list of entities eligible for direct participation in payment systems and allowing electronic money institutions (EMIs) and payment institutions (PIs) to participate under specific conditions. The SFD, inter alia, provides for a new Article 35a to the Second Payment Services Directive (Directive (EU) 2015/2366) (hereinafter, PSD2), which defines the conditions under which EMIs and PIs can participate directly in payment systems. Please note that the specific methods for the assessment of the compliance of EMIs and PIs with Article 35a of the PSD2 will be determined by national supervisory authorities; therefore, current and prospective CENTROlink participants should consult the national supervisory authority that issued their operating licence for further details. To demonstrate compliance with Article 35a of the PSD2, in line with the proposed amendments to the Republic of Lithuania Law on Payments, EMIs and PIs licensed in Lithuania will be required to conduct a self-assessment and report on their compliance with the relevant requirements, and, if requested by the payment system they are connecting to, they will have to provide an audit report (conclusion) verifying compliance with these requirements (visit here for further details on the amendments to the Republic of Lithuania Law on Payments).
The above amendments are aimed at facilitating the access of EMIs and PIs to payment systems operated by central banks, thereby expanding the possibilities for instant euro settlements for consumers and businesses in EU/EEA members states.
It should be noted that EMIs and PIs currently participate in the CENTROlink payment system as addressable BIC holders, connecting to payment systems through a direct participant in the CENTROlink payment system, namely Lietuvos bankas. In light of the above changes, from 9 April 2025, the migration of current CENTROlink participants will begin; during this process, the addressable BIC holder agreements will be terminated, and agreements for direct participants in the CENTROlink payment system will be signed.
Please note that only EMIs and PIs licensed in EU/EEA countries will be eligible for direct participation; therefore, participants from the United Kingdom will remain addressable BIC holders until 31 December 2025, after which date their addressable BIC holder agreements will be terminated. It should also be noted that: (1) payment systems operated by central banks will no longer offer customer funds safeguarding accounts; and (2) to ensure liquidity, EMIs and PIs will be permitted to hold funds in central bank accounts only up to the limit set by a pre-defined formula. Customer funds must be safeguarded in accordance with legal requirements.
The transition to the direct participation model will involve legal changes to be implemented by member countries and measures to be undertaken by payment system participants.
Legal changes: transposition of the SFD and PSD2.
Actions of system participants: selecting a method for safeguarding customer funds and ensuring its implementation; managing customer fund balances within the payment system; and ensuring compliance with Article 35a of the PSD2.
Steps for transitioning to the direct participation model
- Selecting and implementing a method for safeguarding customer funds – by 9 April 2025
As central banks operating payment systems will no longer offer customer funds safeguarding account services as of 9 April 2025, EMIs and PIs without an alternative method to safeguard customer funds must implement one by this date.
In light of these developments, the CENTROlink payment system has introduced changes regarding customer funds safeguarding accounts, which participants have been informed of; as of 28 February 2025, the changes are being tested in the CENTROlink payment system’s testing environment.
- Management of customer fund balances within the payment system – from 9 April 2025
As of 9 April 2025, EMIs and PIs participating in the CENTROlink payment system will no longer be able to hold unlimited fund balances in CENTROlink’s FC and FC Inst accounts. Consequently, these balances will have to be managed by the participants in accordance with the formula established by the European Central Bank. It should be noted that the formula will be applied separately to the CENTROlink and TARGET systems. Specifically, the balance of funds in the CENTROlink system will be calculated based on the participant’s activities within CENTROlink, while the balance of funds in the TARGET system will be calculated based on the participant’s activities within the TARGET system.
In light of these developments, the CENTROlink payment system has introduced changes to liquidity management, which participants have been informed of. As of 28 February 2025, the changes are being tested in the CENTROlink payment system’s testing environment.
- Assessment of compliance with Article 35a of the PSD2 (analysis of requirements for EMIs and PIs, preparation of necessary documents) – ongoing
Migration is based on the transposition of SFD and PSD2 in both the country of the payment system’s operator (Lithuania, in the case of CENTROlink) and the country where the EMI and PI are licensed. Direct participation in the TARGET system will be enabled once the country that issued EMI and PI licences transposes the SFD provisions (Lithuania has already completed transposition).
The requirements and documents necessary for payment system participants seeking direct participation will vary depending on the country that issued their licence.
EMIs and PIs licensed in Lithuania seeking direct participation in the payment system will be required to conduct a self-assessment and report on their compliance with the relevant requirements. If requested by the payment system operator, they will have to provide an audit report (conclusion) verifying compliance with these requirements. On 6 March 2025, the Board of Lietuvos bankas adopted Resolution No 03-34 on the approval of the description of requirements applied to payment institutions and electronic money institutions participating in payment systems, approving the Description of Requirements Applied to Payment Institutions and Electronic Money Institutions Participating in Payment Systems (English translation available here (152.3 KB download icon)). The self-assessment will have to be conducted using the form provided in the annex to the description. For the convenience of EMIs and PIs licenced in Lithuania, Lietuvos bankas prepared guidelines for completing the compliance report form, which is available here.
EMIs and PIs licensed outside Lithuania must monitor the transposition of SFD and PSD2 in the country that issued their licence to determine when it is completed. The CENTROlink team plans to provide participants with periodic updates on the transposition of directives in different countries.
The list of countries that have already transposed the provisions of SFD and PSD2 is available here. Please note that it may take some time to update the information on the above website.
- Submission of the required documents to the CENTROlink payment system operator – from 9 April 2025
The migration process will start once the transposition of SFD and PSD2 is completed in the country where the participant is licensed and the participant expresses its intention to become a direct participant in the system, providing all necessary documents to the payment system. Documents will be accepted in either Lithuanian or English.
The increased administrative burden resulting from efforts to effectively manage the migration process led to the decision to divide current CENTROlink payment system participants licensed in Lithuania into four migration windows. These are specific periods during which holders of addressable BICs must submit the necessary documents to initiate the migration process.
Migration window |
Period |
First |
From 9 April 2024 to 31 May 2025 |
Second |
From 1 June 2025 to 31 July 2025 |
Third |
From 1 August 2025 to 30 September 2025 |
Fourth |
From 1 October 2025 to 30 November 2025 |
A CENTROlink participant may submit a reasoned request for a transfer to an earlier or later migration window based on their readiness and ability to submit the necessary documents within the designated period.
The migration process for EMIs and PIs licensed outside Lithuania will begin no earlier than 9 April 2025, and is expected to be completed by 31 December 2025. The CENTROlink team expects EMIs and PIs licensed outside Lithuania to submit documents for their migration within 3 months of the transposition of SFD and PSD2 in the country where the participant is licensed.
Documents proving compliance with Article 35a of the PSD2 Directive must be provided to tl.bl@ecnailpmocDIR.
- Assessment of the required documents submitted to the operator of the CENTROlink payment system in accordance with the established migration plan – starting no earlier than 9 April 2025
The assessment of the documents submitted is expected to begin within 20 working days. During the assessment of the documents, we expect participants to act in good faith, cooperate fully, and provide prompt responses to any questions that may arise.
- Conclusion of direct participant agreements in accordance with the established migration plan – starting no earlier than 9 April 2025
Following the successful submission and assessment of the documents, a new direct participation agreement will be signed. The draft of the new version of the CENTROlink rules was submitted for information to participants on 6 March 2025. The new version of the rules will enter into force on 9 April 2025.
- Completion of the migration process – expected by 31 December 2025
All participants of the CENTROlink payment system are expected to sign direct participation agreements by 31 December 2025. The participation of addressable BIC holders from the United Kingdom in the CENTROlink payment system is also expected to continue until that date.
During the migration period, the CENTROlink payment system will continue to accept new participants and allow the connection of additional payment schemes. Potential participants from countries where the Directives have already been transposed into national law will be connected as direct participants, while participants from countries where the Directives have not yet been transposed into national law will be connected as ABIC holders. Throughout the migration period, both the direct participation and addressable BIC models will be available simultaneously.
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