We advise businesses and individuals worldwide on bank account opening, company formation, e-commerce/POS payment setup, and cross-border settlement — corridor selection, jurisdiction choice, counterparty due diligence, and full KYC accompaniment throughout. We do not move funds. We tell you who can, and how to do it correctly.
Worldwide coverage. Every engagement ends with you holding a route and a rationale — not a transaction we've touched.
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We accompany you through the entire KYC process, worldwide, from institution selection to account activation — for individuals and companies alike.
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After a full consultation, we select the jurisdiction individually for your situation — no template answer, no default country.
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The full package: company formation, bank account opening, PSP recommendation, and KYC accompaniment throughout — assembled as one route, not four separate vendors.
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Rail selection and structuring for instant-payment schemes and settlement infrastructure, matched to your corridor and volume.
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We map the lawful path between a given fiat corridor and digital-asset rail, and check the licensing status and track record of the counterparties involved.
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A standing engagement to re-check routes, rails, and jurisdictions as licensing and regulation shift under you.
Coverage reflects where licensed rails exist today — not where demand exists. We say so plainly when they don't.
| Country | Currency | Typical friction |
|---|---|---|
| South Korea | KRW | Real-name banking law blocks foreign entities from ordinary KRW accounts; VASP rails are the practical route in and out. |
| China (Mainland) | CNY | Strict capital-account controls; any route is sensitive and needs jurisdiction-specific legal review before advice is given. |
| Vietnam | VND | Foreign-exchange surrender requirements and capital controls on outbound transfers. |
| India | INR | FEMA rules and RBI reporting requirements shape which rails are usable for inbound/outbound flow. |
| Country | Currency | Typical friction |
|---|---|---|
| Argentina | ARS | Multiple parallel exchange rates; residents seek dollar/stablecoin exposure through licensed local exchanges. |
| Turkey | TRY | High inflation drives demand for hard-currency savings rails; local exchange licensing (VASP registration) is now required. |
| Nigeria | NGN | Central bank FX restrictions; naira volatility pushes SMEs toward stablecoin invoicing where lawful. |
| Egypt | EGP | Import licensing and FX-availability constraints affect trade-settlement timing. |
| Lebanon | LBP | Banking-sector capital controls make ordinary wire transfers largely non-functional; routes need extra diligence. |
| Country | Currency | Typical friction |
|---|---|---|
| Philippines | PHP | Large OFW remittance volume; traditional rails carry high fees relative to transfer size. |
| Indonesia | IDR | Bank Indonesia licensing applies to crypto-asset exchanges; cash-out infrastructure varies by region. |
| Jurisdiction | Currency | Role in a route |
|---|---|---|
| Hong Kong SAR | HKD | SFC-licensed VASP framework; typical hub for routing between fiat and stablecoin legs. |
| Singapore | SGD | MAS-licensed payment and digital-asset operators; common OTC-desk jurisdiction. |
| United Arab Emirates | AED | VARA/ADGM licensing regimes; frequently used as a settlement point for Gulf and South Asian flow. |
| European Union | EUR | MiCA-licensed exchanges; SEPA rails for the fiat leg. |
This list reflects markets we have researched to date, not an exhaustive map. A country's absence here doesn't mean a route doesn't exist — ask us and we'll scope it.
Four stages, fixed scope, no open-ended retainers unless you want one.
You describe the corridor, volume, and current friction. We confirm whether it's in scope.
We research the current licensed rails, banking posture, and regulatory state for that specific corridor.
A written route recommendation with named categories of counterparty, required documentation, and open risks.
A standing retainer to re-check the route as rails, licensing, or regulation shift.
Every engagement — whichever service line — starts with a paid consultation. Nothing else is scoped or billed before it.
€1,000 – €20,000
A one-time, upfront fee. Quoted individually after an intake call, based on complexity, jurisdictions involved, and volume. The output is a full written assessment: route, jurisdiction, and risk position. This fee is payable before any work begins, and is required regardless of which service you pursue below.
Success fee
Billed only once the account is opened. Fee is set per case following the consultation, based on jurisdiction and institution.
Success fee
Billed only once the entity is registered in the jurisdiction selected during consultation.
Success fee
Billed on delivery of the full package — formation, account, and live PSP relationship — not on individual milestones.
We do not engage with entities incorporated in sanctioned countries, or with sanctioned individuals or entities, at any stage — including the initial consultation.
Read this before you book a call.
Bluebird Enterprises Limited is incorporated in the Hong Kong SAR and provides advisory services only. We do not hold client funds, execute transactions, or act as a money service operator, virtual asset service provider, or broker in any jurisdiction.
Advice is informational and jurisdiction-specific at the time it is given; digital-asset regulation changes quickly, and a route confirmed today may require re-checking in months. Clients remain responsible for their own regulatory compliance, tax position, and counterparty selection.
Engagement terms, fees, and dispute resolution (including HKIAC arbitration where applicable) are set out in the service agreement provided before any paid engagement begins.
We do not engage with entities from sanctioned countries, or with sanctioned entities or individuals, under any service line. This is checked before the consultation is accepted.
Tell us the corridor and the problem. We'll confirm within one business day whether it's in scope and what the assessment would cover.