Other
Engaging on Non-DVP Custodial Practices and Digital Assets
June 12, 2019
Staff Letter and Statement
Staff Statement on WY Division of Banking’s “NAL on Custody of Digital Assets and Qualified Custodian Status,” November 9, 2020
Engaging on Non-DVP Custodial Practices and Digital Assets, March 12, 2019
How to Engage
The staff looks forward to engaging on these important issues, and we invite you to email IMOCC@sec.gov and insert “Custody Rule and Non-DVP Trading” or “Custody Rule and Digital Assets” in the subject line.
Responses
Submissions received will be posted without change; personal identifying information in the submission will not be redacted or edited so you should submit only information that you wish to make available publicly.
- Wall Street Blockchain Alliance, November 15, 2022
- Investment Adviser Association, the Asset Management Group of the Securities Industry and Financial Markets Association, and the Loan Syndications and Trading Association, May 13, 2021
- Coinbase, May 25, 2021
- Anchorage, April 13, 2021
- Prime Trust, July 9, 2019
- Verady, Inc., May 31, 2019
- Polychain Capital LP, July 16, 2019
- The Loan Syndications and Trading Association, July 22, 2019
- The Open Economy Initiative, December 6, 2020
- Fidelity Digital Asset Services, LLC, January 22, 2021
Modified: May 26, 2023