The United States Establishes the "Five Categories Law" for Cryptographic Assets: A Summary to Understand the New Regulatory Framework
On March 17, 2026, the U.S. Securities and Exchange Commission (SEC) and the Commodity Futures Trading Commission (CFTC) jointly released the interpretive document numbered 33-11412, a 68-page regulatory framework officially declaring: the U.S. crypto regulation bids farewell to a decade-long era of "enforcement-based regulation" and enters a new era of clarity and harmonization driven by "Project Crypto."
This document is not only a rare regulatory collaboration result between the SEC and CFTC but also the most milestone-guiding document in the history of U.S. crypto regulation. Below is a summary interpretation of the full text:
I. Background: From Conflict to Collaboration in "Project Crypto"
In 2017, the SEC first applied the Howey test to crypto assets through the "The DAO Report." Over the next decade, regulation primarily relied on enforcement actions to define asset attributes, leaving the market in a long-term state of uncertainty and controversy.
In early 2025, the SEC established the "Crypto Task Force," which subsequently launched the "Project Crypto" initiative co-led by SEC Chairman Paul S. Atkins and CFTC Chairman Michael S. Selig, aimed at coordinating the powers of the two regulatory agencies and establishing a unified asset classification system to provide a clear path for crypto innovation to remain in the U.S. In January 2026, the project officially upgraded to a joint action by the SEC and CFTC.
II. Asset Classification: The "Five Categories" Logic of Crypto Assets
The document classifies crypto assets into five major categories based on asset characteristics, uses, and functions, providing the market with clear classification standards for the first time:
Digital Commodities
Definition: Refers to assets whose value derives from the programmatic operation and supply-demand dynamics of a "functional" crypto system, rather than relying on the management efforts of others.
Core List: The document explicitly names mainstream tokens such as BTC, ETH, SOL, XRP, ADA, DOT, AVAX, LINK as digital commodities. These assets are not controlled by any single centralized entity and do not possess inherent economic rights to generate passive income.
Digital Securities
Definition: Refers to "tokenized securities," which are traditional securities represented in the form of crypto assets or digital assets with economic substance of securities (such as representing ownership in a company or dividend rights).
Regulation: Whether on-chain or off-chain, as long as they meet the economic substance, they fall under the SEC's regulatory scope.
Regulated Payment Stablecoins
Definition: Stablecoins issued by authorized entities that meet the definition in the 2025 GENIUS Act.
Classification: These stablecoins are explicitly excluded from the definition of "securities" and are primarily used as payment tools subject to specific legal constraints.
Digital Tools
Use: Tokens that have practical functions only within specific crypto systems (such as access rights or service payments) and are generally not considered securities.
Digital Collectibles
Definition: Assets intended to be collected and/or used, representing artworks, music, videos, in-game items, or internet memes.
Examples: CryptoPunks, Chromie Squiggles, WIF, VCOIN, etc.
Classification: They are not securities in themselves, and their value derives from supply and demand rather than the management efforts of others. However, if they are fragmented and sold, they may constitute securities.
III. Innovation: "Separation" and "Dynamic Conversion" of Securities Attributes
This is the most groundbreaking legal innovation in the document— the SEC acknowledges for the first time that the "securities attributes" of crypto assets are not permanent.
"Separation" Mechanism
Principle: A project may initially be considered a security (investment contract) due to meeting the Howey test during its fundraising phase. However, once the project completes its roadmap, achieves autonomous operation of open-source code, and decentralizes network power, the asset can be "separated" from the investment contract.
Judgment Criteria: When investors no longer reasonably rely on the issuer's "core management efforts" to obtain profits but instead rely on the system's operation and market supply and demand, the asset transitions from "security" to "digital commodity."
Timing of Separation: It can occur immediately when the asset is delivered to the purchaser or at a future date.
Three Scenarios of Separation
Issuer Completes Commitments: After completing core management efforts, even if they continue to provide non-core maintenance, the asset is no longer bound by the investment contract.
Issuer Abandons Project: If the issuer publicly announces the abandonment of development and no longer fulfills commitments, the asset is detached from securities law jurisdiction (but the issuer may still bear legal liability for fraud).
Secondary Market Trading: If subsequent purchasers no longer reasonably expect to rely on the issuer's efforts for profit, the transaction does not constitute a securities transaction.
Transparency Recommendations
The SEC encourages project parties to publicly disclose the progress of their roadmaps and milestone achievements to help the market identify "separation points."
IV. On-Chain Activity Classification: Clearing the Minefield for Decentralization
In response to long-standing controversies surrounding staking, mining, wrapping, and airdrops, the document provides extremely detailed and favorable explanations:
Protocol Mining
Classification: PoW mining is an "administrative or transactional" activity that ensures network security and verifies transactions.
Conclusion: Whether solo mining or joining a mining pool, it does not involve securities issuance.
Mining Pool Operations: The activities of mining pool operators are considered administrative affairs and do not constitute core management efforts.
Protocol Staking
Classification: Staking is an administrative activity that maintains network operation.
Coverage: Includes solo staking, delegated third-party staking, custodial staking, and liquid staking.
Custodial Staking: When custodians stake on behalf of users, as long as it does not involve secondary lending, leverage, or discretionary trading of assets, it does not constitute securities activity.
Supporting Services: Services such as slash insurance, early unstaking, flexible yield distribution, and asset aggregation are all considered administrative affairs.
Staking Receipt Tokens
Classification: If the underlying asset is a non-security commodity and not bound by an investment contract, the receipt itself is not a security.
Principle: The receipt exists only as a "receipt" and does not generate income; income derives from the underlying staking activity.
Wrapping Tokens
Definition: Users deposit crypto assets with custodians or cross-chain bridges to obtain redeemable wrapped tokens pegged 1:1.
Classification: If the underlying asset is a non-security commodity and not bound by an investment contract, wrapped tokens are considered "administrative functions" aimed at enhancing interoperability and do not constitute securities transactions.
Key Limitation: The custodian must lock the assets and may not lend, pledge, or re-stake them.
Airdrops
Classification Breakthrough: As long as the recipient does not provide money, goods, services, or other consideration, it does not meet the "money investment" element of the Howey test.
Applicable Scenarios:
Airdropping to wallets holding specific tokens without prior announcement.
Rewarding early users of test networks.
Airdropping to eligible users based on application usage.
Red Line: If the recipient must provide services (such as social media promotion) in exchange for the airdrop, it may constitute a securities issuance.
V. Consolidation of U.S. Leadership
The document concludes with a detailed analysis of its economic significance:
Eliminating the "chilling effect": By providing legal clarity, it reduces business stagnation caused by compliance opacity and encourages crypto innovation to return to the U.S.
Lowering compliance costs: Clear classifications and separation paths significantly reduce legal consulting and regulatory response costs for businesses.
Enhancing market transparency: The new framework requires more detailed disclosures during the "investment contract" phase, better protecting investors.
Promoting competition and innovation: Clear rules will attract more issuers and entrepreneurs to enter the market.
Improving pricing efficiency: Reducing price distortions caused by uncertainty.
VI. Historic Breakthrough in Regulatory Collaboration
Structurally, the document establishes a clear analytical path: first classify assets, then determine transaction structures, and finally analyze whether investment relationships continue to exist.
More importantly, this is a rare coordinated result between the SEC and CFTC on crypto regulatory issues. Previously, the two agencies had long-standing disagreements on the definition of "securities vs. commodities," and this joint framework essentially provides a preliminary classification of major asset categories, marking a formal shift in U.S. crypto regulation from a stage of "institutional power competition" to a "division of labor system based on unified rules."
This 68-page document not only ends a decade of regulatory chaos but also establishes the U.S.'s leadership position in the global crypto regulatory landscape. For practitioners, it is a must-read "industry constitution"; for investors, it is a clear "rights protection guide"; for entrepreneurs, it is a definitive "compliance roadmap."
The "Wild West" era of crypto assets has officially come to an end.
Original Link
You may also like

Morning Report | BitMine increased its holdings by 126,971 ETH last week; trader Eugene announced his exit from the crypto market

Wang Chuan: How can one not feel anxious after the neighbor Old Wang made thirty times profit by investing in storage stocks? (Seven) - A quarter-century cycle

Cryptocurrency CEXs are flocking to sell US stocks, and traditional brokerages are facing an "uninvited guest."

$75 billion in foreign capital has fled, and South Korean retail investors have absorbed it all using leverage

Japan’s Three Megabanks Plan Joint Stablecoin Issuance in Fiscal 2026
MUFG, SMBC, and Mizuho reportedly plan to jointly issue fiat-pegged stablecoins in fiscal 2026, signaling Japan’s growing push into bank-led digital payment infrastructure.

Humanity Discloses H Token Dual-Chain Attack Details, With Losses on Ethereum and BSC Exceeding $36 Million
Humanity said the H token attack across Ethereum and BSC caused more than $36 million in losses after leaked ProxyAdmin keys enabled malicious contract upgrades and token minting.

White House Discusses CLARITY Act With Law Enforcement Ahead of Senate Vote
The White House discussed the CLARITY Act with law enforcement ahead of a Senate vote, focusing on illicit finance risks and developer protections.

Bitcoin Trading Guide 2026: Strategies for Experienced Traders

What Is XAUT and PAXG? Why Tokenized Gold Is Booming in 2026

Will the SpaceX IPO Hurt Bitcoin? Here's What Traders Are Watching

Foreign selling in the South Korean stock market accelerates, with cumulative net sales reportedly reaching $75 billion this year
On June 9, The Kobeissi Letter, citing Goldman Sachs data, reported that global investors are selling South Korean stocks at an unusually rapid pace. In the latest trading session, foreign investors sold about $801 million worth of Kospi constituent stocks again; total foreign outflows last week reached about $10 billion, and the market has been in net foreign selling on nearly every trading day over the past month. According to the data cited in the report, foreign investors have sold about $75 billion worth of South Korean stocks so far this year. Meanwhile, South Korean retail and institutional investors together recorded roughly $69 billion in net buying over the same period, suggesting that the market’s main buying support has come from domestic capital rather than returning overseas funds. The information currently disclosed still mainly comes from The Kobeissi Letter’s retelling and Goldman Sachs data summaries, while public details on the statistical period and the specific definition of “selling” remain relatively limited.

Fortune Warns of Strategy’s Financing Structure Risks as Bitcoin Premium Narrows
Fortune warned that Strategy’s Bitcoin treasury model faces growing financing risks as MSTR’s net asset premium narrows and preferred stock dividend pressure increases.

Ferrari Challenge Le Mans: Carl Moon to Dominate in WEEX Livery

Sahara AI Responds to SAHARA’s Sharp Drop: No Contract or Product Security Issues Found, Internal Investigation Underway
Sahara AI responded to SAHARA’s 60% price drop, saying no token contract or product security issues have been found and an internal investigation is underway.

WEEX Deposit/Withdrawal Dynamic Island: Your Asset Status, Always in Sight

Scaling Crypto Derivatives: The Digital Asset Infrastructure Behind High-Volume Trading
In the fast-moving digital asset ecosystem, derivatives platforms face an extreme architectural test. High-leverage futures markets demand more than just standard security—they require absolute operational precision, zero-latency matching engines, and ironclad structural scalability, all while navigating intense market volatility.
As global platforms scale to meet these demands, the industry is shifting away from rigid, monolithic setups toward a more agile, "decoupled" infrastructure philosophy.
The Blueprint for High-Volume Copy TradingFor elite global exchanges like WEEX (founded in 2018), this architectural choice becomes critical when scaling high-volume retail features like social copy trading. When thousands of users automatically mirror the real-time strategies of elite traders simultaneously, it triggers sudden, monumental spikes in concurrent transactional volume.
To prevent execution latency or settlement bottlenecks during these peak volatility events, a platform's primary engine must remain entirely dedicated to risk management, copy-trade synchronization, and order matching.
The Architectural Rule: New-generation platforms must separate front-end user execution engines from heavy backend infrastructural overhead to eliminate operational friction.
By separating these layers, platforms can maintain complete sovereignty over their trading environments and user experiences while strategically aligning with institutional-grade infrastructure ecosystems. This strategic framework allows modern exchanges to leverage advanced Digital Asset Custody infrastructure such as Cobo’s behind the scenes, ensuring that backend wallet management scales elastically alongside trading spikes.
Capitalizing on Market Momentum and 400× LeverageIn a derivatives arena where platforms offer up to 400× leverage on perpetual contracts, capital efficiency and market agility are core business metrics. To capture market momentum, an exchange needs the ability to rapidly expand its asset offerings, supporting everything from legacy crypto assets to sudden, trending altcoins across a massive library of trading pairs.
Adopting a flexible, scalable Wallet-as-a-Service (WaaS) solution such as Cobo’s could completely rewrite the development timeline for high-growth exchanges. Instead of spending months of engineering capital building out custom backend wallet architectures for every new blockchain network, platforms can deploy localized infrastructure in days.
This agility allows platforms to instantly scale their listings to over a thousand trading pairs without compromising security or delaying time-to-market. It mirrors the exact operational advantages seen during high-velocity market events, similar to how advanced wallet infrastructure empowers platforms during sudden asset surges; allowing exchanges to pass that speed and liquidity directly to their global user base.
A Mature Foundation for GrowthThe synergy between trusted infrastructure ecosystems and global trading platforms represents the natural evolution of a maturing crypto market. As WEEX continues to scale its global spot and derivatives offerings for over 6 million users, adopting robust backend paradigms proves that platforms no longer have to compromise between cutting-edge trading velocity and uncompromised structural security.

Get Paid to Onboard? Try WEEX’s New Homepage with Rewards for Registration, Deposit & Trade

WEEX Custom Layout: Build Your Perfect Trading Workspace in Seconds
Morning Report | BitMine increased its holdings by 126,971 ETH last week; trader Eugene announced his exit from the crypto market
Wang Chuan: How can one not feel anxious after the neighbor Old Wang made thirty times profit by investing in storage stocks? (Seven) - A quarter-century cycle
Cryptocurrency CEXs are flocking to sell US stocks, and traditional brokerages are facing an "uninvited guest."
$75 billion in foreign capital has fled, and South Korean retail investors have absorbed it all using leverage
Japan’s Three Megabanks Plan Joint Stablecoin Issuance in Fiscal 2026
MUFG, SMBC, and Mizuho reportedly plan to jointly issue fiat-pegged stablecoins in fiscal 2026, signaling Japan’s growing push into bank-led digital payment infrastructure.
Humanity Discloses H Token Dual-Chain Attack Details, With Losses on Ethereum and BSC Exceeding $36 Million
Humanity said the H token attack across Ethereum and BSC caused more than $36 million in losses after leaked ProxyAdmin keys enabled malicious contract upgrades and token minting.



