Correspondence with Everton Football Club
Request
Under the freedom of information act please can you provide me all correspondence between the Gambling Commission and Everton Football Club, between 1st February 2025 and 23rd November2025, that concerns gambling sponsorship.
Response
Thank you for your request which has been processed under the Freedom of Information Act 2000 (FOIA).
In your email you have requested all correspondence between the Gambling Commission and Everton Football Club, between 1 February 2025 and 23 November 2025, that concerns gambling sponsorship.
In February 2025, the Gambling Commission published a consumer information notice, advising that Stake.uk.com will no longer be a licensed website from March 2025.
In this notice, the Commission stated that it would be writing to Everton (along with two other football clubs with unlicensed sponsors) warning of the risks of promoting unlawful gambling websites.
As such, I am able to confirm that the Commission does hold information falling within the scope of your request, however, the Commission is of the view that information held in relation to specific details of information reported, other than what is made publicly available, is exempt from disclosure under section 31(1)g of the FOIA (‘law enforcement’) and therefore will not be released.
Section 31
Section 31(1)(g) exempts information whose disclosure would, or would be likely to, prejudice the exercise by any public authority of its functions for any of the purposes specified in subsection (2).
The Commission considers the subsections below apply and therefore the information is exempt from disclosure:
i. Subsection 31(2)(a) refers to the purpose of ascertaining whether any person has failed to comply with the law,
ii. Subsection 31(2)(b) refers to the purpose of ascertaining whether any person is responsible for any conduct which is improper,
iii. Subsection 31(2)(c) refers to the purpose of ascertaining whether circumstances which would justify regulatory action in pursuance of any enactment exist or may arise,
Public interest test
The factors the Commission has considered when applying the public interest test have been detailed below.
Arguments in favour of disclosure:
- The Commission is a public body which is required to regulate the gambling industry in the public interest. There is therefore a public interest in members of the public having confidence the Commission is being open and honest with the information it holds so that it can be held to account.
- Disclosure of the requested information could demonstrate to stakeholders and relevant parties the work that the Commission is undertaking in relation to the information it receives.
- Furthermore, this disclosure may encourage stakeholders to work with us and contribute to our programme of work, increasing confidence in the Commission as a regulator and its ability to uphold the law.
Arguments in favour of maintaining the exemption:
- There is an expectation of confidence in much of the Commission’s work, particularly regarding the external conversations that take place between the Commission and stakeholders, providing this information would impact on the openness of stakeholders when sharing important information with us or other law enforcement agencies. It is the impact on this work of the Commission which is more likely to be affected by disclosure.
- Sharing specific information which makes specific individuals or events identifiable could alert individuals involved to the fact that the Commission was/is or alternatively wasn’t/isn’t conducting particular regulatory enquiries. This would provide them with an opportunity to alter their behaviours or evade detection. This would result in making it more difficult for the Commission to achieve its regulatory aims.
- Further to this, sharing this information would impact on the openness of stakeholders when sharing important information with us or other law enforcement agencies. The amount of information released is carefully considered in order to protect the integrity of the Commissions regulatory work and individuals or stakeholders from being unfairly associated with unsubstantiated allegations. Disclosure of this information would be likely to lead to reluctance from stakeholders to provide information to the Commission in the future, which would have a substantial adverse effect on the Commission’s ability to carry out its regulatory functions.
Weighing the balance
The Commission acknowledges that there is a public interest in promoting the accountability and transparency of public authorities and the importance of having sufficient information in the public domain. However, disclosure of the information would be damaging to the Commission as a regulatory body which ultimately serves to protect the wider public interest. We consider that the public interest is better served by withholding this information.
Review of the decision
If you are unhappy with the service you have received in relation to your Freedom of Information request you are entitled to an internal review of our decision. You should write to FOI Team, Gambling Commission, 4th floor, Victoria Square House, Victoria Square, Birmingham, B2 4BP or by reply to this email.
Please note, internal review requests should be made within 40 working days of the initial response. Requests made outside this timeframe will not be processed.
If you are not content with the outcome of our review, you may then apply directly to the Information Commissioner (ICO) for a decision. Generally, the ICO cannot make a decision unless you have already exhausted the review procedure provided by the Gambling Commission.
It should be noted that if you wish to raise a complaint with the ICO about the Commission’s handling of your request for information, then you are required to do so within six weeks of receiving your final response or last substantive contact with us.
The ICO can be contacted at: The Information Commissioner’s Office (opens in a new tab), Wycliffe House, Water Lane, Wilmslow, Cheshire SK9 5AF.
Information Management Team
Gambling Commission