Morocco — Taxation & Legal Status of Cryptocurrency (Cryptomonnaie / Crypto-actifs)
General reference only. This skill is general tax/accounting reference material for AI-assisted workflows. It has not been reviewed for any specific person's facts, documents, elections, deadlines, residency, filing status, or local procedures. Do not rely on it to file, pay, amend, or take a tax position without review by a qualified professional in the relevant jurisdiction.
This skill explains how cryptocurrency (cryptomonnaie, crypto-actifs, actifs
numériques) is treated in Morocco for a self-employed person — both its
legal status and the uncertain tax position of any gains.
Read this warning first. As of May 2026 Morocco has no settled crypto
tax regime and crypto is not freely legal. The position rests on a 2017
prohibition notice that is still in force and a draft law (projet de loi
n°42.25) that has not yet been adopted. Anything in this skill about how
gains "might" be taxed is conjecture by analogy, not established law. The
correct posture is honesty about the uncertainty and referral to a
Moroccan expert-comptable and, on exchange-control questions, to the Office
des Changes.
The relevant authorities are Bank Al-Maghrib (BAM) — the central bank, the
Office des Changes — the foreign-exchange regulator, the Autorité
Marocaine du Marché des Capitaux (AMMC) — the capital-markets regulator, and
the Direction Générale des Impôts (DGI) — the tax administration. This skill
replies in the user's language and keeps native terms (crypto-actifs, profits de
capitaux mobiliers, revenus professionnels, réglementation des changes, Impôt
sur le Revenu / IR) explained in context.
1. Quick Reference
| Field |
Value |
| Country |
Morocco (MA) |
| Topic |
Legal status + (uncertain) tax treatment of cryptocurrency |
| Legal status |
Restricted / unregulated — prohibited as a payment means since the Nov 2017 notice; not legal tender; regulation pending |
| Authorities |
Bank Al-Maghrib (BAM), Office des Changes, AMMC, DGI |
| Currency |
MAD (dirham marocain, DH) |
| Governing notice |
Joint Office des Changes / Bank Al-Maghrib / AMMC communiqué, 20 November 2017 (verify) |
| Pending reform |
Projet de loi n°42.25 on crypto-assets — public consultation Nov 2025; parliamentary review expected 2026; not yet adopted (verify) |
| Specific crypto tax |
None — the Code Général des Impôts (CGI) has no crypto-specific article (verify) |
| Possible IR treatment of gains |
Uncertain — by analogy either profits de capitaux mobiliers (occasional disposal) or revenus professionnels (habitual / trading activity) |
| Exchange control |
Crypto transactions treated as an infraction à la réglementation des changes — sanctions/fines possible (verify) |
| Quality tier |
Research-verified — pending sign-off by a Moroccan accountant (expert-comptable) |
| Skill version |
1.0 |
Conservative defaults
When the facts are thin, default to the safest, most honest position:
- Default = "not a settled regime." Never tell a user there is a clear crypto
tax rate or a clear legal pathway. There is not, as of May 2026.
- Default to disclosure, not silence. If a Moroccan tax resident has
realised crypto gains, the conservative position is that worldwide income is
in principle reportable under the IR even where the asset class is unregulated —
but the classification and rate are unsettled, so route to an
expert-comptable. Non-declaration is not advice this skill will give.
- Default to "treat exchange-control rules as binding." Never suggest moving
funds or crypto across borders in a way that bypasses approved intermediaries
(intermédiaires agréés) — the Office des Changes treats this as an infraction.
- Default to "verify the draft law's status." Law 42.25 was not adopted as
of the last verification. Re-check BAM, the AMMC, the SGG (Bulletin Officiel),
and the DGI before relying on any "new regime."
- Default to referral. This is YMYL, high-risk, and unsettled. Escalate to a
Moroccan expert-comptable and, for FX questions, the Office des Changes.
2. Legal & Regulatory Status
2.1 The 2017 prohibition notice (the status quo)
On 20 November 2017 (verify) the Office des Changes, together with
Bank Al-Maghrib and the AMMC (Autorité Marocaine du Marché des Capitaux),
issued a public communiqué warning against the use of monnaies virtuelles
(virtual currencies). The key points, as widely reported:
- Transactions carried out via virtual currencies constitute an infraction à la
réglementation des changes (a breach of foreign-exchange regulations),
subject to the sanctions and fines provided for by law.
- Financial transactions with foreign countries must go through approved
intermediaries (intermédiaires agréés) in currencies quoted by Bank
Al-Maghrib — crypto is not such a currency.
- Virtual currencies are described as an unregulated, opaque, highly volatile
payment system, not backed by any financial institution and devoid of
protection for users.
- The trigger was a Moroccan company announcing it would accept Bitcoin; the
authorities responded by declaring the practice unauthorised in Morocco.
The practical effect: holding, buying, selling, or paying with crypto is not
expressly criminalised as mere possession, but using it — especially for
cross-border value transfer — is treated as a regulatory breach. There is
no licensing, no consumer protection, and no legal-tender status. This is best
described to the user as "restricted / unregulated," not a clean "legal" or a
clean "banned."
Reality check. Despite the prohibition, reporting suggests millions of
Moroccans hold crypto (figures around 6 million / ~16% of the population
are cited — verify, this is journalistic, not official). Widespread use does
not change the legal status. Flag this gap to the user.
2.2 The pending draft law (projet de loi n°42.25)
Since around late 2024, the authorities have signalled a change of doctrine
toward regulating rather than simply prohibiting crypto. The vehicle is the
projet de loi n°42.25 on crypto-assets (verify number and status):
- Developed jointly by the Ministère de l'Économie et des Finances, Bank
Al-Maghrib, and the AMMC, reportedly inspired by the EU's MiCA
regulation and aligned with FATF / BIS / IMF recommendations (verify).
- Reportedly opened for public consultation in November 2025, with
parliamentary review expected in 2026 and possible adoption around
mid-2026 (verify — adoption was NOT confirmed at last check).
- Reported design: crypto-assets treated as a distinct financial-asset
category (not legal tender, not a payment means); service providers
(exchanges, custodians) would be licensed and supervised, with the AMMC
overseeing issuers/platforms and Bank Al-Maghrib overseeing stablecoins
(including a possible dirham-backed stablecoin) (verify).
- A transition period (reported ~18 months) and application decrees
(décrets d'application) would set capital, reporting, and AML thresholds
(verify).
Until this law is adopted and its décrets published in the Bulletin Officiel,
the 2017 prohibition remains the governing position. Do not present 42.25 as if
it were in force.
3. Possible Tax Treatment of Gains (UNCERTAIN)
This entire section is conjecture by analogy. The Code Général des Impôts
(CGI) contains no crypto-specific provision as of May 2026 (verify).
There is no published, binding DGI rate for crypto. Do not state a rate as
settled. Route to an expert-comptable.
If a Moroccan tax resident has realised a gain (sold crypto for fiat,
swapped one crypto for another, or paid for goods with crypto), the question is
which existing IR category, if any, the DGI would apply. The two analogies most
often discussed:
3.1 Occasional disposal → profits de capitaux mobiliers
If the activity looks like occasional investment (a private individual buys
and later sells), the closest analogy is profits de capitaux mobiliers
(profits from the disposal of movable capital / movable property) under the IR —
the category used for securities and shares. Commentators note the CGI taxes gains
on valeurs mobilières but is silent on crypto, so applying this category
to crypto is an analogy, not a rule. Any rate (e.g., the securities-type
rates) would be borrowed, not crypto-specific — verify; do not assert.
3.2 Habitual activity → revenus professionnels
If the activity is habitual, organised, and speculative (frequent trading,
mining as a business, running it like a profession), the DGI could instead treat
it as revenus professionnels (business / professional income) taxed on net
profit through the progressive IR scale, with the cotisation minimale
and bookkeeping obligations that implies. For how professional income is computed,
see ma-income-tax. Whether a given pattern crosses into "habitual" is a
facts-and-circumstances judgement for the reviewer — do not decide it
mechanically.
3.3 What this skill will and will not say
- It will explain that realised gains are, in principle, within the scope of
income reporting for a resident, even for an unregulated asset.
- It will lay out the two competing classifications and that the rate is
unsettled.
- It will not quote a single "crypto tax rate" as Moroccan law.
- It will not help structure a non-declaration.
- It will not opine on whether the activity is "occasional" vs "habitual"
without the user's facts and an expert-comptable's confirmation.
Caution on aggregator figures. Some web sources cite a "2022 DGI guidance
treating crypto as an intangible asset taxed at 20%," and others a "planned
15–30% rate." These are not reliably confirmed against the CGI or an official
DGI circular and must be treated as unverified. Do not present them as
the rule. List them only as claims to verify.
4. Exchange-Control Implications (Office des Changes)
Morocco operates a regime of exchange control (réglementation des changes).
This is often the sharper legal risk than tax:
- Under the 2017 notice, crypto transactions — especially cross-border
ones — are treated as an infraction à la réglementation des changes,
exposing the user to administrative sanctions and fines (verify scale).
- Lawful cross-border financial transactions must use intermédiaires agréés
(approved banks/intermediaries) and currencies quoted by Bank Al-Maghrib.
Crypto is neither.
- Sending dirhams abroad to buy crypto, repatriating crypto proceeds, or using
crypto to move value across the border can all fall foul of these rules.
- The Office des Changes has reportedly increased scrutiny of crypto flows as
usage has grown (verify).
This skill never advises a user to bypass exchange controls. If the user asks
how to move crypto in or out of Morocco outside approved channels, decline and
refer them to the Office des Changes and an expert-comptable.
5. Risk Flags
Surface these prominently in any answer — do not bury them:
- Unsettled regime. No crypto-specific tax law and no clean legal status. Any
tax treatment is analogy, not rule.
- Active prohibition. The 2017 notice is still in force. Crypto is not
authorised as a payment means and is not legal tender.
- Exchange-control exposure. Cross-border crypto activity may be an
infraction à la réglementation des changes with fines/sanctions.
- Moving target. Law 42.25 could change everything — or could stall.
Verify its current status (BAM, AMMC, DGI, Bulletin Officiel) before relying
on anything. Décrets d'application will carry the operative detail.
- Unreliable secondary figures. Rates floating around the web (20%, 15–30%)
are unverified. Do not repeat them as fact.
- Residency & double-tax not covered here. Treaty/residency questions are out
of scope — refer out.
- YMYL + high risk. This affects the user's money and legal exposure. Always
route to a Moroccan expert-comptable and, for FX, the Office des Changes.
6. Reference
Verify every figure, date, and classification before use. Primary > secondary.
- Office des Changes — oc.gov.ma — the 2017 communiqué on monnaies virtuelles
and any updated warnings; exchange-control rules and sanctions.
- Bank Al-Maghrib (BAM) — bkam.ma — joint 2017 warning; statements on the
crypto-asset framework and stablecoins; status of the reform.
- AMMC (Autorité Marocaine du Marché des Capitaux) — ammc.ma — supervisory
role under the draft framework.
- Direction Générale des Impôts (DGI) — tax.gov.ma — the Code Général des
Impôts (CGI); confirm there is (or is not) any crypto-specific provision or
circular; categories profits de capitaux mobiliers and revenus
professionnels.
- Secrétariat Général du Gouvernement (SGG) / Bulletin Officiel — to
confirm whether projet de loi n°42.25 and its décrets d'application have
been adopted and published.
- PwC Worldwide Tax Summaries — Morocco — for the general IR framework and any
note on crypto (verify whether PwC has yet added a crypto section).
- Companion skills:
ma-income-tax (professional income / IR computation),
morocco-vat (TVA), ma-bookkeeping (records).
PROHIBITIONS
- Do NOT assert that Morocco has a settled crypto tax regime or quote a
single crypto tax rate as law — there is none confirmed as of May 2026.
- Do NOT state that crypto is "legal in Morocco" without the 2017
prohibition / unregulated caveat; equally do not say it is fully "banned" —
describe it as restricted / unregulated.
- Do NOT present projet de loi n°42.25 as if it were in force — it was
not adopted at last verification; always flag "verify status."
- Do NOT repeat secondary-source rates (e.g., 20%, 15–30%) as established
Moroccan law — flag them as unverified.
- Do NOT advise, suggest, or help a user breach the réglementation des
changes (e.g., moving crypto/funds across the border outside approved
intermediaries) — refer to the Office des Changes.
- Do NOT advise non-declaration of realised gains or help structure
concealment.
- Do NOT decide whether the activity is "occasional" vs "habitual" for the
user — that is a reviewer judgement on the user's facts.
- Do NOT give residency, treaty, or AML opinions under this skill — route
out.
- Do NOT issue any position as final without Moroccan expert-comptable
sign-off.
Disclaimer
This skill is research-verified against public sources — the Office des
Changes (oc.gov.ma), Bank Al-Maghrib (bkam.ma), the AMMC, the DGI
(tax.gov.ma) and PwC Worldwide Tax Summaries (Morocco), plus 2025–2026
reporting on projet de loi n°42.25 — as of May 2026. It is YMYL,
high-risk content covering an unsettled area of law and is pending
sign-off by a Moroccan accountant (expert-comptable). There is no settled
crypto tax regime in Morocco; everything about how gains might be taxed is
analogy, not established law, and the legal status rests on a 2017
prohibition notice with a draft law still pending. Dates, the status of Law
42.25, classifications, and any rate must be re-verified against the official
authorities before use. Nothing here is a substitute for advice from a licensed
Moroccan expert-comptable, the DGI, or the Office des Changes. Part of
openaccountants.com — open-source tax skills for the self-employed.
Source: OpenAccountants — open tax Guides for AI, reviewed by named CPAs/CAs/EAs. Quality: source-cited draft. For always-current figures and named-accountant backing, connect the OpenAccountants MCP server (openaccountants-mcp).
1---2name: ma-crypto-tax3description: > Use this skill whenever asked about the taxation and legal status of cryptocurrency / crypto-assets in Morocco for a self-employed individual. Trigger on phrases like "Morocco crypto tax", "Bitcoin Maroc impôt", "cryptomonnaie Maroc légal", "crypto Morocco", "crypto-actifs Maroc", "is crypto legal in Morocco", "taxe cryptomonnaie Maroc", "Bitcoin impôt Maroc", "Office des Changes crypto", "loi 42.25 crypto", "stablecoin dirham", "الضريبة على العملات المشفرة المغرب", "العملات الرقمية المغرب". Covers the RESTRICTED / UNREGULATED status under the November 2017 Bank Al-Maghrib / AMMC / Office des Changes notice, the pending draft Law 42.25 on crypto-assets (verify 2026 status), the ABSENCE of any specific crypto tax regime, how gains MIGHT be treated if realised (profits from disposal of movable property / profits de capitaux mobiliers, or professional income / revenus professionnels if habitual, under the Impôt sur le Revenu), and the exchange-control (réglementation des changes) implications.4license: AGPL-3.0-or-later (code) / OpenAccountants Guide License v1.0 (c5---67# Morocco — Taxation & Legal Status of Cryptocurrency (Cryptomonnaie / Crypto-actifs)89> **General reference only.** This skill is general tax/accounting reference material for AI-assisted workflows. It has not been reviewed for any specific person's facts, documents, elections, deadlines, residency, filing status, or local procedures. Do not rely on it to file, pay, amend, or take a tax position without review by a qualified professional in the relevant jurisdiction.1011This skill explains how **cryptocurrency** (cryptomonnaie, crypto-actifs, actifs12numériques) is treated in **Morocco** for a self-employed person — both its13**legal status** and the **uncertain tax position** of any gains.1415**Read this warning first.** As of **May 2026** Morocco has **no settled crypto16tax regime** and crypto is **not freely legal**. The position rests on a **201717prohibition notice** that is still in force and a **draft law (projet de loi18n°42.25)** that has **not yet been adopted**. Anything in this skill about how19gains "might" be taxed is **conjecture by analogy**, not established law. The20correct posture is **honesty about the uncertainty** and **referral to a21Moroccan expert-comptable** and, on exchange-control questions, to the **Office22des Changes**.2324The relevant authorities are **Bank Al-Maghrib (BAM)** — the central bank, the25**Office des Changes** — the foreign-exchange regulator, the **Autorité26Marocaine du Marché des Capitaux (AMMC)** — the capital-markets regulator, and27the **Direction Générale des Impôts (DGI)** — the tax administration. This skill28replies in the user's language and keeps native terms (crypto-actifs, profits de29capitaux mobiliers, revenus professionnels, réglementation des changes, Impôt30sur le Revenu / IR) explained in context.3132---3334## 1. Quick Reference3536| Field | Value |37|---|---|38| Country | Morocco (MA) |39| Topic | Legal status + (uncertain) tax treatment of cryptocurrency |40| Legal status | **Restricted / unregulated** — prohibited as a payment means since the **Nov 2017** notice; **not** legal tender; regulation **pending** |41| Authorities | **Bank Al-Maghrib (BAM)**, **Office des Changes**, **AMMC**, **DGI** |42| Currency | MAD (dirham marocain, DH) |43| Governing notice | Joint **Office des Changes / Bank Al-Maghrib / AMMC** communiqué, **20 November 2017** *(verify)* |44| Pending reform | **Projet de loi n°42.25** on crypto-assets — public consultation **Nov 2025**; parliamentary review expected **2026**; **not yet adopted** *(verify)* |45| Specific crypto tax | **None** — the Code Général des Impôts (CGI) has **no crypto-specific article** *(verify)* |46| Possible IR treatment of gains | **Uncertain** — by analogy either *profits de capitaux mobiliers* (occasional disposal) **or** *revenus professionnels* (habitual / trading activity) |47| Exchange control | Crypto transactions treated as an **infraction à la réglementation des changes** — sanctions/fines possible *(verify)* |48| Quality tier | **Research-verified — pending sign-off by a Moroccan accountant (expert-comptable)** |49| Skill version | 1.0 |5051### Conservative defaults5253When the facts are thin, default to the **safest, most honest** position:5455- **Default = "not a settled regime."** Never tell a user there is a clear crypto56 tax rate or a clear legal pathway. There is not, as of May 2026.57- **Default to disclosure, not silence.** If a Moroccan tax resident has58 **realised** crypto gains, the conservative position is that worldwide income is59 in principle reportable under the IR even where the asset class is unregulated —60 but the **classification and rate are unsettled**, so route to an61 expert-comptable. Non-declaration is **not** advice this skill will give.62- **Default to "treat exchange-control rules as binding."** Never suggest moving63 funds or crypto across borders in a way that bypasses approved intermediaries64 (intermédiaires agréés) — the Office des Changes treats this as an infraction.65- **Default to "verify the draft law's status."** Law 42.25 was **not adopted** as66 of the last verification. Re-check BAM, the AMMC, the SGG (Bulletin Officiel),67 and the DGI before relying on any "new regime."68- **Default to referral.** This is YMYL, high-risk, and unsettled. Escalate to a69 Moroccan expert-comptable and, for FX questions, the Office des Changes.7071---7273## 2. Legal & Regulatory Status7475### 2.1 The 2017 prohibition notice (the status quo)7677On **20 November 2017** *(verify)* the **Office des Changes**, together with78**Bank Al-Maghrib** and the **AMMC (Autorité Marocaine du Marché des Capitaux)**,79issued a public communiqué warning against the use of **monnaies virtuelles**80(virtual currencies). The key points, as widely reported:8182- Transactions carried out via virtual currencies constitute an **infraction à la83 réglementation des changes** (a breach of foreign-exchange regulations),84 **subject to the sanctions and fines** provided for by law.85- Financial transactions with foreign countries must go through **approved86 intermediaries** (intermédiaires agréés) in **currencies quoted by Bank87 Al-Maghrib** — crypto is not such a currency.88- Virtual currencies are described as an **unregulated, opaque, highly volatile89 payment system, not backed by any financial institution** and **devoid of90 protection** for users.91- The trigger was a Moroccan company announcing it would accept Bitcoin; the92 authorities responded by declaring the practice **unauthorised in Morocco**.9394The practical effect: holding, buying, selling, or paying with crypto is **not95expressly criminalised as mere possession**, but using it — especially for96cross-border value transfer — is treated as a **regulatory breach**. There is97**no licensing, no consumer protection, and no legal-tender status**. This is best98described to the user as **"restricted / unregulated,"** not a clean "legal" or a99clean "banned."100101> **Reality check.** Despite the prohibition, reporting suggests **millions of102> Moroccans** hold crypto (figures around **6 million / ~16% of the population**103> are cited — *verify, this is journalistic, not official*). Widespread use does104> **not** change the legal status. Flag this gap to the user.105106### 2.2 The pending draft law (projet de loi n°42.25)107108Since around **late 2024**, the authorities have signalled a **change of doctrine**109toward **regulating** rather than simply prohibiting crypto. The vehicle is the110**projet de loi n°42.25** on crypto-assets *(verify number and status)*:111112- Developed jointly by the **Ministère de l'Économie et des Finances**, **Bank113 Al-Maghrib**, and the **AMMC**, reportedly **inspired by the EU's MiCA**114 regulation and aligned with FATF / BIS / IMF recommendations *(verify)*.115- Reportedly opened for **public consultation in November 2025**, with116 **parliamentary review expected in 2026** and **possible adoption around117 mid-2026** *(verify — adoption was NOT confirmed at last check)*.118- Reported design: crypto-assets treated as a **distinct financial-asset119 category** (not legal tender, not a payment means); **service providers**120 (exchanges, custodians) would be **licensed and supervised**, with the **AMMC**121 overseeing issuers/platforms and **Bank Al-Maghrib** overseeing **stablecoins**122 (including a possible **dirham-backed stablecoin**) *(verify)*.123- A **transition period** (reported ~18 months) and **application decrees**124 (décrets d'application) would set capital, reporting, and AML thresholds125 *(verify)*.126127**Until this law is adopted and its décrets published in the Bulletin Officiel,128the 2017 prohibition remains the governing position.** Do not present 42.25 as if129it were in force.130131---132133## 3. Possible Tax Treatment of Gains (UNCERTAIN)134135> **This entire section is conjecture by analogy.** The **Code Général des Impôts136> (CGI)** contains **no crypto-specific provision** as of May 2026 *(verify)*.137> There is **no published, binding DGI rate for crypto**. Do not state a rate as138> settled. Route to an expert-comptable.139140If a **Moroccan tax resident** has **realised** a gain (sold crypto for fiat,141swapped one crypto for another, or paid for goods with crypto), the question is142which existing IR category, if any, the DGI would apply. The two analogies most143often discussed:144145### 3.1 Occasional disposal → *profits de capitaux mobiliers*146147If the activity looks like **occasional investment** (a private individual buys148and later sells), the closest analogy is **profits de capitaux mobiliers**149(profits from the disposal of movable capital / movable property) under the IR —150the category used for securities and shares. Commentators note the CGI taxes gains151on **valeurs mobilières** but is **silent on crypto**, so applying this category152to crypto is **an analogy, not a rule**. Any rate (e.g., the securities-type153rates) would be **borrowed**, not crypto-specific — **verify; do not assert**.154155### 3.2 Habitual activity → *revenus professionnels*156157If the activity is **habitual, organised, and speculative** (frequent trading,158mining as a business, running it like a profession), the DGI could instead treat159it as **revenus professionnels** (business / professional income) taxed on **net160profit** through the **progressive IR scale**, with the **cotisation minimale**161and bookkeeping obligations that implies. For how professional income is computed,162see **`ma-income-tax`**. Whether a given pattern crosses into "habitual" is a163**facts-and-circumstances** judgement for the reviewer — do not decide it164mechanically.165166### 3.3 What this skill will and will not say167168- It **will** explain that **realised gains are, in principle, within the scope of169 income reporting** for a resident, even for an unregulated asset.170- It **will** lay out the **two competing classifications** and that the **rate is171 unsettled**.172- It will **not** quote a single "crypto tax rate" as Moroccan law.173- It will **not** help structure a non-declaration.174- It will **not** opine on whether the activity is "occasional" vs "habitual"175 without the user's facts and an expert-comptable's confirmation.176177> **Caution on aggregator figures.** Some web sources cite a "2022 DGI guidance178> treating crypto as an intangible asset taxed at 20%," and others a "planned179> 15–30% rate." These are **not reliably confirmed against the CGI or an official180> DGI circular** and must be treated as **unverified**. Do **not** present them as181> the rule. List them only as claims to verify.182183---184185## 4. Exchange-Control Implications (Office des Changes)186187Morocco operates a **regime of exchange control** (réglementation des changes).188This is often the **sharper** legal risk than tax:189190- Under the **2017 notice**, crypto transactions — especially **cross-border**191 ones — are treated as an **infraction à la réglementation des changes**,192 exposing the user to **administrative sanctions and fines** *(verify scale)*.193- Lawful cross-border financial transactions must use **intermédiaires agréés**194 (approved banks/intermediaries) and **currencies quoted by Bank Al-Maghrib**.195 Crypto is neither.196- Sending dirhams abroad to buy crypto, repatriating crypto proceeds, or using197 crypto to move value across the border can all fall foul of these rules.198- The Office des Changes has reportedly **increased scrutiny** of crypto flows as199 usage has grown *(verify)*.200201**This skill never advises a user to bypass exchange controls.** If the user asks202how to move crypto in or out of Morocco outside approved channels, decline and203refer them to the **Office des Changes** and an expert-comptable.204205---206207## 5. Risk Flags208209Surface these **prominently** in any answer — do not bury them:210211- **Unsettled regime.** No crypto-specific tax law and no clean legal status. Any212 tax treatment is **analogy**, not rule.213- **Active prohibition.** The **2017 notice is still in force**. Crypto is **not**214 authorised as a payment means and is **not** legal tender.215- **Exchange-control exposure.** Cross-border crypto activity may be an216 **infraction à la réglementation des changes** with **fines/sanctions**.217- **Moving target.** **Law 42.25** could change everything — or could stall.218 **Verify its current status** (BAM, AMMC, DGI, Bulletin Officiel) before relying219 on anything. Décrets d'application will carry the operative detail.220- **Unreliable secondary figures.** Rates floating around the web (20%, 15–30%)221 are **unverified**. Do not repeat them as fact.222- **Residency & double-tax not covered here.** Treaty/residency questions are out223 of scope — refer out.224- **YMYL + high risk.** This affects the user's money and legal exposure. **Always225 route to a Moroccan expert-comptable** and, for FX, the **Office des Changes**.226227---228229## 6. Reference230231Verify **every** figure, date, and classification before use. Primary > secondary.232233- **Office des Changes** — oc.gov.ma — the 2017 communiqué on monnaies virtuelles234 and any updated warnings; exchange-control rules and sanctions.235- **Bank Al-Maghrib (BAM)** — bkam.ma — joint 2017 warning; statements on the236 crypto-asset framework and stablecoins; status of the reform.237- **AMMC (Autorité Marocaine du Marché des Capitaux)** — ammc.ma — supervisory238 role under the draft framework.239- **Direction Générale des Impôts (DGI)** — tax.gov.ma — the **Code Général des240 Impôts (CGI)**; confirm there is (or is not) any crypto-specific provision or241 circular; categories *profits de capitaux mobiliers* and *revenus242 professionnels*.243- **Secrétariat Général du Gouvernement (SGG)** / **Bulletin Officiel** — to244 confirm whether **projet de loi n°42.25** and its **décrets d'application** have245 been **adopted and published**.246- **PwC Worldwide Tax Summaries — Morocco** — for the general IR framework and any247 note on crypto *(verify whether PwC has yet added a crypto section)*.248- **Companion skills:** `ma-income-tax` (professional income / IR computation),249 `morocco-vat` (TVA), `ma-bookkeeping` (records).250251---252253## PROHIBITIONS254255- **Do NOT** assert that Morocco has a **settled crypto tax regime** or quote a256 single crypto tax **rate** as law — there is **none** confirmed as of May 2026.257- **Do NOT** state that crypto is **"legal in Morocco"** without the **2017258 prohibition / unregulated** caveat; equally do not say it is fully "banned" —259 describe it as **restricted / unregulated**.260- **Do NOT** present **projet de loi n°42.25** as if it were **in force** — it was261 **not adopted** at last verification; always flag "verify status."262- **Do NOT** repeat secondary-source **rates (e.g., 20%, 15–30%)** as established263 Moroccan law — flag them as **unverified**.264- **Do NOT** advise, suggest, or help a user **breach the réglementation des265 changes** (e.g., moving crypto/funds across the border outside approved266 intermediaries) — refer to the **Office des Changes**.267- **Do NOT** advise **non-declaration** of realised gains or help structure268 concealment.269- **Do NOT** decide whether the activity is **"occasional" vs "habitual"** for the270 user — that is a reviewer judgement on the user's facts.271- **Do NOT** give **residency, treaty, or AML** opinions under this skill — route272 out.273- **Do NOT** issue any position as final without **Moroccan expert-comptable**274 sign-off.275276---277278## Disclaimer279280This skill is **research-verified** against public sources — the **Office des281Changes** (oc.gov.ma), **Bank Al-Maghrib** (bkam.ma), the **AMMC**, the **DGI**282(tax.gov.ma) and **PwC Worldwide Tax Summaries (Morocco)**, plus 2025–2026283reporting on **projet de loi n°42.25** — as of **May 2026**. It is **YMYL,284high-risk** content covering an **unsettled area of law** and is **pending285sign-off by a Moroccan accountant (expert-comptable)**. There is **no settled286crypto tax regime** in Morocco; everything about how gains might be taxed is287**analogy, not established law**, and the legal status rests on a **2017288prohibition notice** with a **draft law still pending**. Dates, the status of Law28942.25, classifications, and any rate must be **re-verified** against the official290authorities before use. Nothing here is a substitute for advice from a licensed291Moroccan expert-comptable, the DGI, or the Office des Changes. Part of292**openaccountants.com** — open-source tax skills for the self-employed.293294---295296_Source: [OpenAccountants](https://openaccountants.com/skills/ma-crypto-tax) — open tax Guides for AI, reviewed by named CPAs/CAs/EAs. Quality: **source-cited draft**. For always-current figures and named-accountant backing, connect the OpenAccountants MCP server (`openaccountants-mcp`)._