US Treasury Publishes Proposed Rules for Regulating Stablecoins Under GENIUS Act

cryptonews.ruОпубліковано о 2026-08-18Востаннє оновлено о 2026-08-18

Анотація

The U.S. Treasury Department has published a notice of proposed rulemaking (NPRM) to implement the stablecoin provisions of the GENIUS Act. The rules detail who can issue "payment stablecoins" in the U.S. and under what conditions, with the law set to take effect on January 18, 2027. A key proposal defines the "issuance" of a stablecoin not at token creation, but at its first transfer to a user. Issuance is deemed to occur in the U.S. if either the issuer or the recipient is physically located there at that moment, regardless of citizenship. The framework allows foreign issuers to operate in the U.S. if they meet specific criteria, including comparable home-country regulation and registration with the OCC. They can avoid liability for accidental U.S. distribution with reasonable location verification procedures and by not marketing to the U.S. market. Liability for an illegal issuance may extend beyond the issuer to entities facilitating key steps like redemption, token creation, initial distribution, or providing primary market access, potentially including exchanges. The proposal addresses atypical distributions, stating that free airdrops to U.S. persons may constitute issuance. Rules for crypto asset service providers will phase in, with a ban on offering unlicensed stablecoins to U.S. persons starting July 18, 2028. The Treasury is soliciting comments on several open questions, including treatment of cross-chain bridges and wrapped assets, and is considering stricte...

The US Department of the Treasury has published a notice of proposed rulemaking (NPRM) outlining proposed rules for implementing the third section of the $GENIUS Act. The document primarily addresses who, where, and under what conditions can issue payment stablecoins in the United States, as well as when they can be offered to American users.

What Exactly is the US Treasury Proposing?

The $GENIUS Act generally prohibits the issuance of payment stablecoins in the United States without a corresponding federal or state license. The law is expected to take effect on January 18, 2027.

The Treasury is now seeking to detail what exactly will be considered issuing a stablecoin in the US.

According to the proposed rules, a stablecoin will be considered issued not when the issuer technically creates the tokens, but when their first transfer occurs. This refers to the moment when another person obtains the right to use, transfer, or redeem the asset.

It is separately stipulated that returning tokens to the issuer effectively "resets" the previous issuance. If after this the company transfers such a token to another person again, this will be considered a new issuance.

Furthermore, the proposed model ties the rules to the location of the issuer and the recipient. Issuance will be considered to have occurred in the US if, at the time of the first transfer, the issuer is located in the US or the recipient is located in the US.

For an individual, the determining factor will be their physical location, not citizenship. For example, a US citizen who is abroad will not be considered a person located in the US at the time of receiving the token under the proposed rules.

The Treasury even gives a corresponding example. If a foreign issuer, which does not meet the requirements to operate in the US, issues a stablecoin to a US citizen who is abroad, this will not be considered a US issuance.

For foreign companies, the criteria are different. It is sufficient for a company to be registered in the US or have its principal place of business there.

Foreign Issuers Will Be Able to Operate in the US

The $GENIUS Act does not close the American market to foreign stablecoins. The Treasury proposes to allow foreign issuers to operate in the US if they meet the requirements of Section 18(a).

In particular, this refers to regulation in the country of origin, which the Treasury recognizes as comparable to the American regime, as well as registration with the US Comptroller of the Currency (OCC). For foreign issuers, there is also protection from liability due to the accidental delivery of tokens to an American user.

A company will be able to prove that it did not conduct an issuance in the US if:

  • it is itself located outside the US;
  • it reasonably believed the recipients were located outside the US;
  • it actually applied procedures to verify user location;
  • it did not advertise or promote the stablecoin in the American market.

For this, data from account opening, IP address verification, device location, contractual confirmations, and transaction tracking can be used. However, the Treasury has not yet established a specific mandatory set of such measures and is asking market participants for feedback on this matter.

Exchanges and Market Makers Could Also Face Liability

One part of the document deals with the concept of participating in an unlawful issuance. The Treasury proposes not to limit liability only to the direct issuer. In certain cases, companies that:

  • facilitate the redemption of a stablecoin;
  • coordinate key stages of issuance;
  • seek initial buyers;
  • carry out token creation;
  • perform market-making functions during the initial distribution;
  • distribute tokens to initial buyers;
  • facilitate the asset's initial entry into the secondary market.

may be deemed participants in an unlawful issuance.

For example, an exchange that, immediately after an unlawful issuance, conducts an initial offering of such a stablecoin could potentially be considered a participant in the unlawful issuance.

At the same time, ordinary trading of a token long after its issuance, according to the specific provision on participating in an unlawful issuance, generally would not fall under this rule. However, other requirements of the $GENIUS Act may apply to it.

Airdrops, Bridges, and Native Wallets

The proposed rules also address non-typical methods of stablecoin distribution.

A free airdrop may be considered an issuance. If an issuer freely creates stablecoins and transfers them to a user in the US, the Treasury proposes to consider this an issuance in the US. Selling the token is not required for this.

At the same time, the question of whether such an airdrop would also constitute an offer for sale is left open by the Treasury.

Separately, the agency is asking market participants for feedback regarding the operation of bridges and wrapped stablecoins. For now, the document does not establish that every movement of a token through a bridge automatically creates a new issuance.

Changes for Crypto Exchanges

Separate restrictions for providers of digital asset services will take effect later.

Starting July 18, 2028, such companies generally will not be able to offer or sell payment stablecoins to persons in the US if the token is not issued by a licensed issuer.

For foreign stablecoins, part of the requirements will take effect already from the expected effective date of the $GENIUS Act—January 18, 2027. A service provider will not be able to offer or make available in the US a stablecoin from a foreign issuer if that issuer lacks the technical capability to comply with lawful US requirements and does not agree to comply with them.

This refers, in particular, to the ability to execute lawful orders regarding the tokens. The Treasury separately mentions smart contract functions that allow freezing, seizing, or burning assets. However, the document does not yet establish a requirement for mandatory technical audit of such functions.

An exchange will be able to rely on statements from a foreign issuer, but must first conduct appropriate due diligence. If the company knew or had sufficient reason to believe that such a statement was false, it cannot rely on it.

Potential Updates

The agency is considering the possibility of a stricter approach, under which any issuance or sale to an American would be considered a violation regardless of whether the issuer or platform knew the user's location. In that case, the presence of proper verification procedures would primarily affect the question of criminal liability.

The Treasury is also considering an option similar to the Regulation S regime for operations outside the US. It could allow foreign companies to operate provided that transactions genuinely occur outside the country and are not accompanied by targeted promotion in the US.

Separately, the agency is soliciting opinions regarding a possible simplified regime for small operations. Among the options mentioned is a threshold of $1 million per year, but this is not a proposed rule, merely one option for discussion.

The US Treasury also asked market participants to help shape the final rules. Comments will be accepted for 60 days after the NPRM is published in the Federal Register.

Recall that earlier we reported that Tether has two years left to bring USDT into compliance with the $GENIUS Act.

end-content

Трендові криптовалюти

Пов'язані питання

QWhat is the key regulatory requirement for issuing payment stablecoins in the US according to the published NPRM related to the GENIUS Act?

AThe NPRM outlines that the GENIUS Act generally prohibits the issuance of payment stablecoins in the US without the appropriate federal or state license.

QWhen is a stablecoin considered to have been 'issued' in the US under the proposed rules?

AA stablecoin is considered issued not at the moment of technical token creation, but at the moment of its first transfer, i.e., when another person obtains the right to use, transfer, or redeem the asset.

QHow does the proposal determine if a stablecoin issuance occurs 'in the United States'?

AAn issuance is considered to have occurred in the United States if, at the time of the first transfer, the issuer is located in the US or the recipient is located in the US. For individuals, physical location, not citizenship, is the determining factor.

QUnder what conditions can foreign stablecoin issuers operate in the US market according to the proposal?

AForeign issuers can operate in the US if they meet the requirements of Section 18(a), which includes having home-country regulation deemed comparable to the US regime by the Treasury and registering with the US Office of the Comptroller of the Currency (OCC).

QWhat major restriction for digital asset service providers (e.g., exchanges) regarding stablecoins will take effect on July 18, 2028?

AStarting July 18, 2028, digital asset service providers generally cannot offer or sell payment stablecoins to persons in the US unless the token is issued by a licensed issuer.

Пов'язані матеріали

Gas Is Becoming Obsolete: From VM to Resource Markets, Blockchain Is Moving Toward 'Chain Cloud'

"Gas Is Becoming Obsolete: From VM to Resource Markets, Blockchain Is Evolving into 'Chain Cloud'" The central thesis is that Gas, as blockchain's unified abstraction for resource pricing, is losing its explanatory power. This is evidenced by four distinct trends: 1) Hyperliquid hides Gas costs within trading fees, prioritizing service over raw computation. 2) Solana's proposed resource fee model separates transaction inclusion from the cost of specific consumed resources (compute, storage, etc.). 3) ICP uses cycles pegged to real-world resource costs and offers "Cloud Engines," letting users provision dedicated execution environments, moving beyond per-transaction fees. 4) Ethereum itself, via the Glamsterdam upgrade, is adjusting Gas costs to better reflect real node work and exploring a multi-dimensional fee market (EIP-7999). The analysis suggests the industry's decade-long focus on Virtual Machines (VMs) was misplaced. No single VM (EVM, SVM, Move, RISC-V) will "win"; instead, the entire stack is being rebuilt. The key realization is that computation is not a single resource but a bundle (compute, state, storage, bandwidth, data availability). Early chains like EOS and TRON explored multi-resource models, but they failed at user abstraction. The real competition shifts to resource pricing and markets. Projects like Hedera, ICP, and Filecoin demonstrate different approaches to pricing, allocation, and creating markets for specific resources. A mature system would involve a multi-dimensional resource market where the final fee is a sum of each resource's consumption multiplied by its dynamic price. The ultimate vision is "Chain-Cloud": a verifiable, globally distributed computing resource pool managed by protocol and priced by markets. The user experience must abstract away all resource complexity (Gas, CU, etc.). Users should interact with services (trading, gaming, storage), not infrastructure. The blockchain stack of the future is envisioned as five layers: Service, Resource Abstraction, Resource Market, Parallel Runtime, and Execution ISA/Distributed State. In conclusion, Gas is not disappearing but receding into a settlement layer for a sophisticated resource market. The evolution is from Blockchain to World Computer to Resource Market, culminating in a decentralized cloud powered by cryptography.

marsbit8 хв тому

Gas Is Becoming Obsolete: From VM to Resource Markets, Blockchain Is Moving Toward 'Chain Cloud'

marsbit8 хв тому

Bank of America's Hartnett: "Democratic Midterm Sweep" Would Crash U.S. Stocks, Puncture AI Bubble

Bank of America's chief investment strategist Michael Hartnett warns that a Democratic sweep in the upcoming US midterm elections could trigger a more than 10% decline in US stocks, weaken the dollar, lower bond yields, and burst the AI bubble. He identifies this as a major, yet underpriced, market tail risk. Hartnett highlights that soaring global bond yields pose the biggest threat to the AI capital expenditure boom. With key yields at multi-year highs, he argues long-term bond yields, not equity narratives, are the true anchor for AI investments. AI infrastructure builders will underperform until global 30-year yields fall below 5%. Current polls show a 50% probability of a Democratic sweep, a scenario Hartnett believes would shift policy toward higher taxes and regulation, hurting corporate profits and the AI spending surge. His recommended hedge for this outcome is to short financial stocks and the dollar, while expecting international equities (Europe over Asia) to outperform. Conversely, a Republican hold on both chambers would reignite risk appetite and the AI narrative. The most likely scenario—a divided government—represents a "Goldilocks" state of mild risk-on. Hartnett's strategic advice remains long commodities and gold to hedge inflation and geopolitics. He cautions directly against the crowded AI infrastructure trade, noting negative free cash flow at major cloud providers signals the bubble is fragile. He suggests rotating into defensive sectors like consumer staples, materials, and healthcare.

marsbit12 хв тому

Bank of America's Hartnett: "Democratic Midterm Sweep" Would Crash U.S. Stocks, Puncture AI Bubble

marsbit12 хв тому

The End of Gasoline Cars is Imminent

The End of Gasoline Cars Is Imminent In the summer of 2026, the demise of gasoline-powered vehicles (ICE) in China has shifted from a future trend to a present reality. Current data reveals a rapid, irreversible decline. **Market Collapse:** From January to August 2026, ICE vehicle retail sales have plummeted by approximately 40% year-over-year. Their monthly market share has fallen below 35%, while New Energy Vehicle (NEV) penetration has steadily climbed, reaching 65.7% by August. For the first time, monthly top-ten sales lists are now completely dominated by NEVs. **Structural Shift:** The automotive industry's future investment is decisively in NEVs. The launch of entirely new ICE models has dropped to near zero since 2023, indicating that major R&D for gasoline platforms ceased around 2021-2022. Conversely, ICE model discontinuations are accelerating, with over 60 models confirmed to be ceasing production or sales in 2026 alone. Major brands like Jeep, Acura, Mitsubishi, Skoda, and Chevrolet have already exited or significantly scaled back their Chinese market presence. **Death Spiral Dynamics:** ICE vehicles are trapped in a vicious cycle: falling sales lead to lower production capacity utilization and higher unit costs, eroding price competitiveness and causing further sales decline. With minimal room for further price cuts, ICE models cannot compete with NEVs, which continue to benefit from annual cost reductions in core technologies like batteries. **Future Challenges for ICE Owners:** Beyond market collapse, remaining ICE owners will soon face practical difficulties. As the ICE fleet shrinks, supporting infrastructure like gas stations and repair networks will rapidly deteriorate due to declining profitability. This will lead to "refueling anxiety," rising maintenance costs, and plummeting resale values within the next five years. **Conclusion:** The transition is following an S-curve and has entered its accelerated phase. Projections suggest NEV penetration could exceed 80% by 2027, relegating ICE vehicles to a niche segment before a near-total phase-out. The era of electric vehicle dominance has arrived.

marsbit15 хв тому

The End of Gasoline Cars is Imminent

marsbit15 хв тому

Solving a 20-Year Math Problem, Microsoft Open-Sources Argus, Using Evidence-Driven Automatic Research for 1,548 Hours

Microsoft, in collaboration with institutions like Shanghai Jiao Tong University, has open-sourced Argus, a general-purpose Agent reasoning runtime designed for long-term research tasks. The system addresses a key bottleneck in current AI agents: while they can execute actions (through "Harness"), they lack autonomous, long-term decision-making ("Driving") for projects spanning days. Argus introduces an "Evidence-Driven" approach, where the agent's next steps are determined by accumulated evidence rather than a rigid initial goal. This enables sustained, multi-day operation with minimal human intervention, averaging one human request per 40.7 hours over 1,548 hours of wall-clock time tested. The runtime architecture organizes work into Campaigns and Missions, employing a multi-agent loop with Manager, Planner, Engineer, and Reviewer roles. This separation of planning, execution, and validation improves efficiency and prevents local optimization. Argus is designed with a decoupled core and vertical components, allowing domain experts to customize workflows for fields like mathematics, GPU optimization, and chip design. In less than a month, Argus has delivered concrete research outcomes across AI4AI, GPU kernels, AI4Science, chip design, AI4Math, and AI4System tasks. These results demonstrate its ability to autonomously drive projects from execution to exploration of open-ended research questions, effectively transitioning the human role from a constant driver to a supervisory co-pilot. Argus represents a shift towards organizing research as a continuously evolving, evidence-guided system that progresses independently of human availability.

marsbit16 хв тому

Solving a 20-Year Math Problem, Microsoft Open-Sources Argus, Using Evidence-Driven Automatic Research for 1,548 Hours

marsbit16 хв тому

Торгівля

Спот

Популярні статті

Як купити GENIUS

Ласкаво просимо до HTX.com! Ми зробили покупку Genius (GENIUS) простою та зручною. Дотримуйтесь нашої покрокової інструкції, щоб розпочати свою криптовалютну подорож.Крок 1: Створіть обліковий запис на HTXВикористовуйте свою електронну пошту або номер телефону, щоб зареєструвати обліковий запис на HTX безплатно. Пройдіть безпроблемну реєстрацію й отримайте доступ до всіх функцій.ЗареєструватисьКрок 2: Перейдіть до розділу Купити крипту і виберіть спосіб оплатиКредитна/дебетова картка: використовуйте вашу картку Visa або Mastercard, щоб миттєво купити Genius (GENIUS).Баланс: використовуйте кошти з балансу вашого рахунку HTX для безперешкодної торгівлі.Треті особи: ми додали популярні способи оплати, такі як Google Pay та Apple Pay, щоб підвищити зручність.P2P: Торгуйте безпосередньо з іншими користувачами на HTX.Позабіржова торгівля (OTC): ми пропонуємо індивідуальні послуги та конкурентні обмінні курси для трейдерів.Крок 3: Зберігайте свої Genius (GENIUS)Після придбання Genius (GENIUS) збережіть його у своєму обліковому записі на HTX. Крім того, ви можете відправити його в інше місце за допомогою блокчейн-переказу або використовувати його для торгівлі іншими криптовалютами.Крок 4: Торгівля Genius (GENIUS)Легко торгуйте Genius (GENIUS) на спотовому ринку HTX. Просто увійдіть до свого облікового запису, виберіть торгову пару, укладайте угоди та спостерігайте за ними в режимі реального часу. Ми пропонуємо зручний досвід як для початківців, так і для досвідчених трейдерів.

780 переглядів усьогоОпубліковано 2026.04.29Оновлено 2026.06.02

Як купити GENIUS

Обговорення

Ласкаво просимо до спільноти HTX. Тут ви можете бути в курсі останніх подій розвитку платформи та отримати доступ до професійної ринкової інформації. Нижче представлені думки користувачів щодо ціни GENIUS (GENIUS).

活动图片