Bank of England Modifies Systemic Sterling Stablecoin Reserve Requirements
The BoE's revised backing asset composition and transitional holding limits mandate an immediate recalibration of stablecoin reserve management and KYC/AML controls.
Basel Committee Mandates Punitive Capital Charge for Bank Crypto Holdings
The 1,250% risk weight effectively prohibits traditional financial institutions from holding permissionless digital assets on balance sheet.
Bank of England Modifies Systemic Stablecoin Reserve Composition Following Feedback
The BoE’s revised systemic stablecoin reserve requirements mandate a dual-asset structure, creating a defined capital floor for UK digital payment issuers.
UK Treasury Finalizes Plan to Integrate Crypto into Core Financial Law
The UK's integration of crypto activities into the FSMA framework mandates full FCA authorization and robust compliance controls for all firms serving UK clients.
Brazil Central Bank Finalizes Comprehensive Licensing and Capital Rules for VASPs
The new VASP framework mandates substantial capital reserves and local incorporation, fundamentally redefining operational risk architecture in Latin America.
Bank of England Modifies Systemic Stablecoin Reserve and Holding Requirements
Systemic stablecoin issuers must now re-architect reserve portfolios to meet the new 40% central bank deposit and 60% sovereign debt standard.
European Commission Proposes Centralizing MiCA Crypto Oversight under ESMA Authority
The proposed shift to ESMA for MiCA authorization creates immediate legal uncertainty and risks destabilizing the established EU compliance architecture.
South Korea Enacts Digital Asset Basic Act Establishing Unified Market Oversight
The Digital Asset Basic Act mandates a unified VASP licensing regime and strict stablecoin reserve requirements, fundamentally altering market access and operational risk for all participants.
Australian Regulator Classifies Digital Assets as Financial Products Requiring Licensing
Firms must urgently align tokenized products and staking models with existing AFSL requirements, leveraging the transitional no-action period for systemic compliance integration.
