SEC Dismisses Coinbase Lawsuit Signaling Major Shift in Digital Asset Enforcement
The SEC's dismissal with prejudice mandates a strategic re-evaluation of enforcement-driven compliance models, favoring future rulemaking clarity.
CFTC Requires Willful Intent for Digital Asset Registration Violation Charges
The directive elevates the enforcement standard for registration violations, shifting risk from technical non-compliance to intentional misconduct.
SEC Staff Grants No-Action Relief for Decentralized Physical Infrastructure Token
The Division of Corporation Finance's no-action relief establishes a critical precedent for utility-focused token programmatic transfers under the Howey Test.
Court Voids SEC Rule Redefining Dealer Authority over Proprietary Traders
The judicial ruling restores the critical trader/dealer distinction, preserving operational flexibility and avoiding onerous capital requirements for market makers.
US House Sends CLARITY Act to Senate, Shifting Spot Trading to CFTC
The proposed jurisdictional clarity mandates a systemic compliance overhaul, requiring exchanges to integrate commodity-style custody and anti-fraud controls.
SEC Withdraws Coinbase Enforcement Action Signaling US Regulatory Policy Pivot
The SEC's dismissal of its major exchange lawsuit fundamentally alters the US compliance calculus, de-risking current platform operations and signaling a shift toward legislative clarity.
CFTC Mandates Willful Violation Proof for Digital Asset Registration Charges
The CFTC's new policy elevates the scienter standard, strategically mitigating registration risk for firms that demonstrate good-faith compliance efforts.
CFTC Mandates Willful Intent Standard for Digital Asset Enforcement
The new willful intent standard fundamentally re-architects the risk calculus for digital commodity firms, shifting the enforcement burden of proof.
SEC Concludes Ripple Lawsuit Solidifying Programmatic Sales Non-Security Status
The joint dismissal of all appeals codifies a critical judicial distinction, clarifying that programmatic exchange sales of digital assets do not constitute unregistered securities offerings.
