The Bitcoin Bond Company

The Bitcoin Bond CompanyOtherBusiness
Summary: The Bitcoin Bond Company, represented by its CEO, submits a comment requesting specific clarifications on how the proposed rule treats bitcoin-related exposures. The commenter argues that the agencies must explicitly state whether they intend to change existing capital treatments, adopt elements of the Basel SCO60 framework, or rely on existing domestic categories for various types of bitcoin-related activities.
Attached please find The Bitcoin Bond Company’s comment on the March 19, 2026 proposal “Regulatory Capital Rule: Category I and II Banking Organizations, Banking Organizations With Significant Trading Activity, and Optional Adoption for Other Banking Organizations.” This submission addresses a shared threshold notice-and-framework issue. A substantially identical comment is also being filed in the companion standardized-approach docket. This comment is responsive at minimum to Questions 17 and 87.

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