Comment on CFTC-2026-1321, CFTC-2026-1321-0001, Solana Policy Institute

Solana Policy InstituteSupportAdvocacy
Summary: The Solana Policy Institute (SPI) supports the Commission's effort to identify regulations that impede fintech innovation and proposes three specific clarifications. They argue that non-custodial user interfaces should not be classified as intermediaries, compliance rules should be updated to reflect 24/7 onchain markets, and blockchain records should be acceptable for reporting and recordkeeping.
Please see the attached submission.

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