CTF Written Submission

Written Input to the SEC Crypto Task Force

March 10, 2026
  • Standardized compliance interfaces such as ERC‑7943 can reduce operational risk and fragmentation by enabling consistent eligibility checks, transfer controls, freezing, and enforcement mechanisms across tokenized instruments.
  • The existence or absence of onchain compliance controls should not be treated as a legal classification test; tokenization does not alter whether the underlying asset is a security under U.S. law.
  • Tokenized instruments incorporating administrative powers like freezing or forced transfers require transparent disclosure of authority, governance processes, emitted events, and remediation pathways to safeguard investor protection.

Last Reviewed or Updated: March 10, 2026