Modifications to the Capital Plan Rule and Stress Capital Buffer Requirement (SIFMA and ISDA)
SIFMA and the International Swaps and Derivatives Association, Inc. (ISDA) provided comments to the Federal Reserve Board of Governors on…
May 9, 2025
By electronic submission
Commissioner Hester M. Peirce and Members of the SEC Crypto Task Force
U.S. Securities and Exchange Commission
100 F Street NE
Washington, DC 20549-0213
RE: Request for Comment on There Must Be Some Way Out of Here
To The Crypto Task Force:
The Securities Industry and Financial Markets Association1 and its Asset Management Group2 (collectively, “SIFMA”) provide this letter in response to the recent Statement by Commissioner Hester M. Peirce entitled “There Must Be Some Way Out of Here” (the “Statement”) requesting information from stakeholders on activity involving blockchain-based digital assets.3 SIFMA welcomes the efforts of the Securities and Exchange Commission (the “SEC”) to engage with all market participants interested in the ongoing development of these technologies, as well as its creation of the Crypto Task Force (the “Task Force”). SIFMA shares the SEC’s and the Task Force’s goal of providing greater clarity to market participants engaged in digital assets activities through frameworks that balance responsible innovation and protecting investors.
SIFMA’s comments in this letter are focused on three broad topics raised in the Statement: securities status and scoping; issues related to the safekeeping of digital assets, including broker-dealer, investment adviser, and investment company custody; and areas where modernization of the regulatory framework is needed to support the development of tokenized securities markets and related derivatives markets. SIFMA and its members have spent a significant amount of time studying these issues, with the
feedback in this letter reflecting the lessons learned from a variety of industry reports, proofs of concept and real-world applications. SIFMA intends to provide additional written feedback soon on the other issues raised in the Statement and looks forward to continued engagement with the SEC and the Task Force on these important issues over the coming weeks and months. Furthermore, SIFMA recommends that the SEC broaden the scope of its analysis to also cover down-the-road implications for security-based swap markets.
I. Executive Summary
As explained throughout this letter, any new law, regulation or guidance impacting digital asset activity in the securities sector should be designed with the following core principles in mind:
Securities Status