Supr Affiliate Program Review
|Supr Affiliates represent two casino operators.||Submit a complaint Join Program|
Earnings & Commisions
|There are no complaints registered at this time.|
|NDPs||Revenue Share %|
Revenue Calculation Formula
Net Revenue = all monies received by the Operator from New Customers in relation to casino activities less (a) monies paid out to New Customers as winnings, (b) bonus payouts (but excluding bonuses retracted), (c) administration fees, (d) fraud costs, (e) charge-backs, (f) returned stakes and (g) monies paid out as duties or taxes
CPA – Yes, but not defined.
Negative Carry Over – No. Negative balances are reset to zero at the end of the month.
Minimum Payment – €50
Payment Date – Within the first 10 days of the subsequent month.
Payment Methods – Bank Transfer, Neteller, Paypal
Sub Affiliate Commission – None.
Terms and Conditions
Minimum Activity Quota – No. Affiliates should be aware of the following term:
“7.9 The Company reserves the right to set limits for a minimum level of activity on Affiliate’s accounts. Such minimum activity levels will be continuously reviewed and the Company reserves the right to terminate any agreement not reaching the limit. Such limit shall not be unreasonably high and basically reflect the intention of avoiding accounts where the revenue does not cover the Company’s internal costs for maintaining the account and the payout procedure.”
If we become aware of Supr Affiliates applying this term in a manner that is not consistent with only maintaining internal costs for maintaining the account this will be regarded as a Minimum Activity Quota.
High Roller Policy – None.
How long does player revenue last? – Revenue for referred players is paid for the lifetime of the player’s activity.
Are earnings from different products bundled – Yes.
Are earnings from different brands bundled – Yes.
Tracking Cookies Duration – No information listed.
Tracking Cookies Overwritten – No information listed.
Verticals – Casino, Live Casino
Country Restrictions for Players – Afghanistan, Algeria, American Samoa, Angola, Australia, Bahrain, Belgium, Bulgaria, China, Cuba, Czech Republic, Denmark, Eritrea, Estonia, Ethiopia, France, French Guiana, French Polynesia, French Southern Territories, French Southern and Antarctic Territories, Guam, Hong Kong SAR China, Hungary, Indonesia, Iran, Iraq, Ireland, Israel, Italy, Jordan, Kuwait, Latvia, Libya, Malaysia, Marshall Islands, Martinique, Mauritania, Mauritius, Morocco, New Caledonia, Norfolk Island, North Korea, Northern Mariana Islands, Oman, Pakistan, Poland, Portugal, Puerto Rico, Qatar, Romania, Rwanda, Saudi Arabia, Singapore, Slovakia, Slovenia, Somalia, Spain, Sudan, Syria, Taiwan, Tunisia, Turkey, U.S. Minor Outlying Islands, U.S. Miscellaneous Pacific Islands, U.S. Virgin Islands, United Arab Emirates, United States, Wallis and Futuna, Yemen
Country Restrictions for Affiliates – None
Languages Available for players – English
United Kingdom Gambling Commission
Software providers used – Microgaming, Net Entertainment, NextGen Gaming, Thunderkick, Play ‘N Go and Yggdrasil
Player Issues – We are aware of no unresolved player issues at any major dispute mediation portals.
Affiliate Issues – We are aware of no unresolved affiliate issues at any major affiliate portals.
Affiliates should be aware of the following term:
“9.2 The Parties hereby agree that on termination of this Agreement:
(a) the Affiliate must remove all references to the Operator Websites from the Affiliate Website(s) and communications, irrespective of whether the communications are commercial or otherwise;”
This term effectively grants the affiliate program the right to censor anything you may publish on your site, whether factually accurate or not if they decide to terminate the affiliate agreement. This is extremely detrimental to any affiliate who engages in reviewing activity.
From a player perspective there’s nothing significantly concerning about the Supr Affiliate properties.
From an affiliate perspective, for the most part Supr Affiliates offer affiliate terms and conditions. However, the exception is a significant one. Their gagging clause. There’s no good reason to carry this type of term. Of course commercial content has to be removed when the relationship is terminated. But factually inaccurate non-commercial content is already covered by libel laws. There’s no need to include a term like this for inaccurate material. As such the only reason to include this term is to force the remove of factually accurate content that the operator simply does not want you to share. For any affiliate that has any stake in ensuring player trust this term is extremely problematic. We won’t work with programs that carry this term and we’d encourage other affiliates to consider carefully whether this is something they want to engage with.
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