U.S. SEC Clarifies Rule 15c2‑11 Applies Only to Equity Securities

TheNewsCryptoPublicado em 2026-03-17Última atualização em 2026-03-17

Resumo

The U.S. Securities and Exchange Commission (SEC) has clarified that Rule 15c2-11 applies only to equity securities, not to other asset classes such as crypto-linked products. The rule aims to prevent manipulative and fraudulent trading in over-the-counter (OTC) equity markets and requires broker-dealers to gather and verify key information before quoting or maintaining a market for OTC securities. Commissioner Hester Peirce expressed support for the amendment, acknowledging that earlier amendments had created confusion regarding the rule’s scope. She encouraged public comments on the proposed revisions, particularly regarding the definition of equity securities, the rule’s applicability to crypto assets, and the establishment of expert markets. This clarification resolves previous uncertainty that led some brokers to halt crypto trading due to legal concerns. The move follows a recent SEC framework focused on developing a token taxonomy to categorize cryptocurrencies and determine their regulatory status.

The U.S. Securities and Exchange Commission proposes modifications to revise Exchange Act Rule 15c2-11, stating that the rule only applies to equity securities, as this move provides guidance for over-the-counter (OTC) trading, potentially ending the question of whether the rules apply to other asset classes like crypto-linked products.

According to the official statement on March 16, the main focus of Rule 15c2-11 is on preventing certain manipulative and fraudulent trading schemes in the OTC equity markets. From now on, it would refer to only equity securities and sets out certain compliance requirements, where broker-dealers must gather and check key details before quoting or maintaining a market for securities in the OTC market.

Hester Peirce Supports Rule Clarification

Further, Commissioner Hester M. Peirce said she supports the SEC’s proposal to amend Rule. With that, Peirce noted that the 2020 amendments have raised questions regarding the applicability of the rule and argued that the Commission provided temporary guidance and relief for fixed-income securities.

She acknowledged that her own role in not clarifying the rule’s scope earlier, “ I continue to blame myself for failing to ensure that we made the scope of the rule’s application crystal clear during the adoption of amendments to Rule 15c2-11.”

Also, she encourages public comments on proposed revisions to Rule 15c2-11, as the comment period will remain open for 60 days, aiming to clarify its scope for distinct markets. She is particularly interested in how equity security should be defined, how the rule should apply to crypto assets, and what actions should be taken to establish expert markets.

Crypto Clarity and Regulatory Guidance

From these changes, it is clear that the rule applies only to equities, not to other asset classes, because previously, the rule was not clear whether to apply to crypto. With that, some brokers are confused and have stopped trading crypto, considering it a risk from a legal perspective.

Then, two weeks before, the U.S. SEC submitted a new framework that focused on developing a token taxonomy, a system to categorize cryptocurrencies and to determine which come under securities under U.S.SEC laws and which may be treated differently, aiming to provide clearer guidance for crypto-related businesses.

TagsCryptoEquity

Perguntas relacionadas

QWhat is the main focus of the SEC's proposed modifications to Rule 15c2-11?

AThe main focus is to clarify that Rule 15c2-11 applies only to equity securities, providing guidance for over-the-counter (OTC) trading and preventing manipulative and fraudulent trading schemes in the OTC equity markets.

QWhich SEC commissioner expressed support for the rule clarification and self-criticism for not making the rule's scope clear earlier?

ACommissioner Hester M. Peirce expressed support for the amendment and acknowledged her role in not ensuring the rule's scope was made crystal clear during the 2020 amendments.

QHow long will the public comment period remain open for the proposed revisions to Rule 15c2-11?

AThe public comment period will remain open for 60 days.

QWhat specific areas is Commissioner Peirce particularly interested in regarding the rule's application?

AShe is particularly interested in how equity security should be defined, how the rule should apply to crypto assets, and what actions should be taken to establish expert markets.

QWhat was the consequence of the previous lack of clarity regarding whether Rule 15c2-11 applied to crypto assets?

ASome brokers were confused and stopped trading crypto assets, considering it a legal risk, because it was previously unclear if the rule applied to them.

Leituras Relacionadas

The AI Agent Era Accelerates Its Arrival: Questflow Defines a New Paradigm of Financial Intelligence with On-Chain AI Brokerage

The AI Agent era is accelerating, with the CB Insights AI 100 list highlighting global investment confidence. The focus has shifted from whether AI works to its speed of deployment and ability to manage complex workflows, with autonomous AI Agents driving this transformation. At the forefront is Questflow, a Singapore-based startup redefining financial intelligence through its on-chain AI brokerage. Unlike tools that merely provide data dashboards, Questflow deploys AI Agents that proactively scan markets, form judgments, and execute trades via a conversational interface—operating 24/7 without requiring manual confirmation for each decision. This embodies the new AI paradigm of agents capable of executing multi-step workflows autonomously. Questflow's mission is to democratize institutional-grade trading intelligence. Historically reserved for the ultra-wealthy, this capability is now accessible starting from just $1 through Questflow's "AI Clone + Copy Trade" model. The platform charges only a 1% execution fee, aligning its incentives directly with users and eliminating traditional management or performance fees. The timing is opportune, aligning with key trends identified by CB Insights: the scalable deployment of AI Agents, accelerated AI adoption in financial services, and the maturation of on-chain infrastructure. With robust liquidity on platforms like Hyperliquid and Polymarket, alongside advancements in AI reasoning and non-custodial wallet security, Questflow is positioned to merge the roles of broker, fund, and exchange into a single, accessible platform for millions.

链捕手Há 33m

The AI Agent Era Accelerates Its Arrival: Questflow Defines a New Paradigm of Financial Intelligence with On-Chain AI Brokerage

链捕手Há 33m

Why Pricing Social Interactions is Doomed to Fail?

Titled "Why Putting a Price on Social Interaction Is Doomed to Fail," this article critiques attempts to monetize social networks directly through SocialFi models, arguing their inevitable failure stems from a fundamental misunderstanding of media dynamics. Using Marshall McLuhan's theory of "hot" and "cold" media, the author posits that social networks are inherently "cold" media. Their value isn't contained in individual posts but is co-created through user participation, interpretation, and fragmented, ongoing interaction (e.g., replies, shares). This ambiguity and need for user involvement are core to their function. The article asserts that SocialFi projects like Friend.tech failed because introducing real-time, tradable financial pricing (a definitive "hot" signal) into this "cold" environment doesn't add a layer—it replaces the medium's essence. The unambiguous price signal overshadows and nullifies the nuanced, participatory social signal. Users become traders, not participants, and when speculative profits vanish, the underlying social ecosystem—never genuinely cultivated—collapses entirely. This principle extends beyond crypto. The author argues platforms like Twitter have gradually "heated up" through metrics (likes, retweets counts, algorithmically defined value), shifting users from participants to performers and eroding organic engagement. The solution isn't to abandon capital but to manage its entry point. Successful models like Substack, Patreon, or Bandcamp allow capital to "condense" at specific, isolated nodes (e.g., subscriptions, one-time payments) without permeating and "heating" every social interaction. They preserve the core "cold," participatory medium while enabling monetization at designated boundaries. The NFT boom and bust serves as a stark parallel: the ancient "cold" medium of collecting (valued for story, community, gradual accumulation) was rapidly destroyed by platforms that introduced real-time floor prices, rarity scores, and trading dashboards, transforming collectors into speculators and vaporizing cultural value when prices fell. The core lesson: "Liquidity equals heat." Injecting high liquidity and definitive pricing into a "cold" participatory medium doesn't optimize it; it fundamentally alters and destroys its value-creating mechanism. The future lies not in pricing every social gesture but in finding precise, non-invasive points for capital to condense without overheating the entire ecosystem.

marsbitHá 41m

Why Pricing Social Interactions is Doomed to Fail?

marsbitHá 41m

Trading

Spot
Futuros
活动图片