Citi Group Commits to Native Digital Asset Custody Service by 2026
Integrating native digital asset custody into its $26T platform establishes a compliant, scalable foundation for institutional crypto market participation.
SEC Chair Launches Innovation Exemption, Reversing Prior Enforcement Stance
The SEC's pivot to an innovation-focused policy, marked by the SAB 121 rollback, immediately lowers capital friction for institutional custody and streamlines token approval.
Senate Draft Bill Classifies DeFi Front-Ends as Regulated Digital Asset Intermediaries
Protocols must architect for intermediary compliance, as the Treasury gains discretion to define "sufficiently decentralized" status.
Broadridge DLT Platform Scales Repo Transactions for Institutional Finance
The DLT-powered repo platform now processes high-volume transactions, optimizing capital utilization and reducing systemic counterparty risk for global financial institutions.
Yield Basis Protocol Launches Hedged Liquidity Primitive to Mitigate Impermanent Loss
The protocol's leveraged basis trading architecture fundamentally de-risks LP positions, unlocking institutional capital efficiency for AMMs.
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 Chairman Signals Major Policy Shift to Clear Digital Asset Rules
The SEC's commitment to "clear rules" and classifying "most" assets as non-securities fundamentally de-risks operational strategy for issuers and platforms.
SEC Recalibrates Digital Asset Oversight Ending Regulation by Enforcement Strategy
The SEC's strategic pivot, marked by key case dismissals and SAB 121 rescission, mandates firms update compliance architectures for forthcoming clear registration pathways.
Treasury Designates Crypto FinServ Primary Money Laundering Concern under Section 311
The FinCEN Section 311 designation mandates all regulated financial institutions sever correspondent and payable-through accounts with the named entity.
