Consultative Document on the Prudential Treatment of Cryptoasset Exposures

Published on:
September 21, 2021
Submitted to:
Bank for International Settlements
Submitted by:
SIFMA

Summary

SIFMA provided comments to the Basel Committee on Banking Supervision’s (“Basel Committee”) consultative document on the “Prudential treatment of cryptoasset exposures” (the “consultation”). As the U.S. regional member of the Global Financial Markets Association, we have joined with the Chamber of Digital Commerce, the Financial Services Forum, the Futures Industry Association, the Institute of International Finance and the International Swaps and Derivatives Association in a more detailed joint letter (the “Joint Trade Letter”).

We fully agree with and support all of the comments in that letter. We write separately to underscore the need and urgency for regulators to develop in the near term a clear regulatory framework for cryptoasset markets that strikes the right balance among innovation, growth and regulatory conservatism.

See also:

Excerpt

September 20, 2021

Secretariat of the Basel Committee on Banking Supervision

Bank for International Settlements

Centralbahnplatz 2

CH-4002 Basel

Switzerland

Re: Comments in Response to the Consultative Document on the Prudential Treatment of Cryptoasset Exposures

Ladies and Gentlemen:

The Securities Industry and Financial Markets Association (“SIFMA”) 1 appreciates the opportunity to respond to the Basel Committee on Banking Supervision’s (“Basel Committee”) consultative document on the “Prudential treatment of cryptoasset exposures” (the “consultation”). As the U.S. regional member of the Global Financial Markets Association, we have joined with the Chamber of Digital Commerce, the Financial Services Forum, the Futures Industry Association, the Institute of International Finance and the International Swaps and Derivatives Association in a more detailed joint letter (the “Joint Trade Letter”).

We fully agree with and support all of the comments in that letter. We write separately to underscore the need and urgency for regulators to develop in the near term a clear regulatory framework for cryptoasset markets that strikes the right balance among innovation, growth and regulatory conservatism. We believe regulatory coordination—not only among prudential regulators but also between prudential and market regulators—is necessary to achieve this balance, to minimize market fragmentation and to help ensure bank uptake and competitive equity across the financial services marketplace. Ultimately, a properly balanced framework will help to ensure the capital markets will be able to continue to serve the needs of businesses and households as efficiently and comprehensively as possible.

1 SIFMA is the leading trade association for broker-dealers, investment banks and asset managers operating in the U.S. and global capital markets. On behalf of our industry’s nearly 1 million employees, we advocate for legislation, regulation and business policy, affecting retail and institutional investors, equity and fixed income markets and related products and services. We serve as an industry

coordinating body to promote fair and orderly markets, informed regulatory compliance, and efficient market operations and resiliency. We also provide a forum for industry policy and professional development. SIFMA, with offices in New York and Washington, D.C., is the U.S. regional member of the Global Financial Markets Association (GFMA).

Continue Reading

Details

Download

More Content

  • Letters
    Mar 19, 2026

    Proposed Rule Change to Extend the Exchange’s U.S. Equity Trading Hours to 23 Hours a Day

    SIFMA comments to the SEC on Nasdaq’s proposal to expand equity and ETP trading hours to 23 hours a day, five days a week.
  • Letters
    Mar 19, 2026

    Proposed Rule Change to Allow for Trading of Multi-Listed Equity Options during Global Trading Hours

    SIFMA comments to the SEC on Cboe’s proposal to expand trading of multi-listed equity options during Global Trading Hours.
  • Letters
    Mar 18, 2026

    Proposed Rule Change to Amend FINRA Rule 2210

    SIFMA comments in support of FINRA’s proposed Rule 2210 changes, urging closer alignment with the SEC’s Marketing Rule.

Get the latest trends, stats, and research on financial markets and securities.