Self-Regulatory Organizations; Cboe BZX Exchange, Inc.; Notice of Filing of Amendment No. 1 to a Proposed Rule Change To List and Trade Shares of the ARK 21Shares Bitcoin ETF Under BZX Rule 14.11(e)(4), Commodity-Based Trust Shares, 73360-73391 [2021-27824]
Download as PDF
73360
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B. Self-Regulatory Organization’s
Statement on Burden on Competition
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The Exchange does not believe that
the proposed rule change will impose
any burden on competition that is not
necessary or appropriate in furtherance
of the purposes of the Act. The
Exchange does not believe the proposed
rule change will impose any burden on
intramarket competition that is not
necessary or appropriate in furtherance
of the purposes of the Act because the
increased position limits (and exercise
limits) will be available to all market
participants and apply to each in the
same manner. The Exchange believes
that the proposed rule change will
provide additional opportunities for
market participants to more efficiently
achieve their investment and trading
objectives of market participants. The
proposed rule change would also align
the position limits for GLD and SLV
options with the position limits for
other ETF options, which, as
demonstrated herein, experience
similar, or even less, volume than
options on GLD and SLV.
The Exchange does not believe that
the proposed rule change will impose
any burden on intermarket competition
that is not necessary or appropriate in
furtherance of the Act. On the contrary,
the Exchange believes the proposal
promotes competition because it may
attract additional order flow from the
OTC market to exchanges, which would
in turn compete amongst each other for
those orders.49 The Exchange believes
market participants would benefit from
being able to trade options with
increased position limits in an exchange
environment in several ways, including
but not limited to the following: (1)
Enhanced efficiency in initiating and
closing out position; (2) increased
market transparency; and (3) heightened
contra-party creditworthiness due to the
role of OCC as issuer and guarantor. The
Exchange notes that other options
exchanges may choose to file similar
proposals with the Commission to
increase position limits on options on
the Underlying ETFs.
49 Additionally, several other options exchanges
have the same position limits as the Exchange, as
they incorporate by reference to the Exchange’s
position limits, and as a result the position limits
for options on the Underlying ETFs will increase at
those exchanges. For example, Nasdaq Options
position limits are determined by the position
limits established by the Exchange. See Nasdaq
Stock Market LLC Rules, Options 9, Sec. 13
(Position Limits).
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C. Self-Regulatory Organization’s
Statement on Comments on the
Proposed Rule Change Received From
Members, Participants, or Others
The Exchange neither solicited nor
received comments on the proposed
rule change.
III. Date of Effectiveness of the
Proposed Rule Change and Timing for
Commission Action
Within 45 days of the date of
publication of this notice in the Federal
Register or within such longer period
up to 90 days (i) as the Commission may
designate if it finds such longer period
to be appropriate and publishes its
reasons for so finding or (ii) as to which
the Exchange consents, the Commission
will:
A. by order approve or disapprove
such proposed rule change, or
B. institute proceedings to determine
whether the proposed rule change
should be disapproved.
IV. Solicitation of Comments
Interested persons are invited to
submit written data, views, and
arguments concerning the foregoing,
including whether the proposed rule
change is consistent with the Act.
Comments may be submitted by any of
the following methods:
Electronic Comments
• Use the Commission’s internet
comment form (https://www.sec.gov/
rules/sro.shtml); or
• Send an email to rule-comments@
sec.gov. Please include File Number SR–
CBOE–2021–075 on the subject line.
Paper Comments
• Send paper comments in triplicate
to Secretary, Securities and Exchange
Commission, 100 F Street NE,
Washington, DC 20549–1090.
All submissions should refer to File
Number SR–CBOE–2021–075. This file
number should be included on the
subject line if email is used. To help the
Commission process and review your
comments more efficiently, please use
only one method. The Commission will
post all comments on the Commission’s
internet website (https://www.sec.gov/
rules/sro.shtml). Copies of the
submission, all subsequent
amendments, all written statements
with respect to the proposed rule
change that are filed with the
Commission, and all written
communications relating to the
proposed rule change between the
Commission and any person, other than
those that may be withheld from the
public in accordance with the
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provisions of 5 U.S.C. 552, will be
available for website viewing and
printing in the Commission’s Public
Reference Room, 100 F Street NE,
Washington, DC 20549 on official
business days between the hours of
10:00 a.m. and 3:00 p.m. Copies of the
filing also will be available for
inspection and copying at the principal
office of the Exchange. All comments
received will be posted without change.
Persons submitting comments are
cautioned that we do not redact or edit
personal identifying information from
comment submissions. You should
submit only information that you wish
to make available publicly. All
submissions should refer to File
Number SR–CBOE–2021–075 and
should be submitted on or before
January 18, 2022.
For the Commission, by the Division of
Trading and Markets, pursuant to delegated
authority.50
Jill M. Peterson,
Assistant Secretary.
[FR Doc. 2021–27924 Filed 12–23–21; 8:45 am]
BILLING CODE 8011–01–P
SECURITIES AND EXCHANGE
COMMISSION
[Release No. 34–93822; File No. SR–
CboeBZX–2021–051]
Self-Regulatory Organizations; Cboe
BZX Exchange, Inc.; Notice of Filing of
Amendment No. 1 to a Proposed Rule
Change To List and Trade Shares of
the ARK 21Shares Bitcoin ETF Under
BZX Rule 14.11(e)(4), CommodityBased Trust Shares
December 17, 2021.
I. Introduction
On July 20, 2021, Cboe BZX
Exchange, Inc. (‘‘BZX’’) filed with the
Securities and Exchange Commission
(‘‘Commission’’), pursuant to Section
19(b)(1) of the Securities Exchange Act
of 1934 (‘‘Act’’ or ‘‘Exchange Act’’) 1 and
Rule 19b–4 thereunder,2 a proposed rule
change to list and trade shares of the
ARK 21Shares Bitcoin ETF under BZX
Rule 14.11(e)(4), Commodity-Based
Trust Shares. The proposed rule change
was published for comment in the
Federal Register on August 6, 2021.3
50 17
CFR 200.30–3(a)(12).
U.S.C. 78s(b)(1).
2 17 CFR 240.19b–4.
3 See Securities Exchange Act Release No. 92543
(Aug. 2, 2021), 86 FR 43289. Comments on the
proposed rule change can be found at: https://
www.sec.gov/comments/sr-cboebzx-2021-051/
srcboebzx2021051.htm.
1 15
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On September 15, 2021, pursuant to
Section 19(b)(2) of the Exchange Act,4
the Commission designated a longer
period within which to approve the
proposed rule change, disapprove the
proposed rule change, or institute
proceedings to determine whether to
disapprove the proposed rule change.5
On November 2, 2021, the Commission
instituted proceedings under Section
19(b)(2)(B) of the Exchange Act 6 to
determine whether to approve or
disapprove the proposed rule change.7
On December 9, 2021, the Exchange
filed Amendment No. 1 to the proposed
rule change, which replaced and
superseded the proposed rule change as
originally filed.8 The Commission is
publishing this notice to solicit
comments from interested persons on
Amendment No. 1, as described in Items
II and III below, which Items have been
prepared by the Exchange.
II. Self-Regulatory Organization’s
Statement of the Terms of Substance of
the Proposed Rule Change
The Exchange proposes a rule change
to list and trade shares of the ARK
21Shares Bitcoin ETF (the ‘‘Trust’’),9
under BZX Rule 14.11(e)(4),
Commodity-Based Trust Shares. The
shares of the Trust are referred to herein
as the ‘‘Shares.’’
The text of the proposed rule change
is also available on the Exchange’s
website (https://markets.cboe.com/us/
equities/regulation/rule_filings/bzx/), at
the Exchange’s Office of the Secretary,
and at the Commission’s Public
Reference Room.
III. Self-Regulatory Organization’s
Statement of the Purpose of, and
Statutory Basis for, the Proposed Rule
Change
In its filing with the Commission, the
Exchange included statements
concerning the purpose of and basis for
the proposed rule change and discussed
any comments it received on the
proposed rule change. The text of these
statements may be examined at the
places specified in Item IV below. The
Exchange has prepared summaries, set
forth in sections A, B, and C below, of
4 15
U.S.C. 78s(b)(2).
Securities Exchange Act Release No. 92989,
86 FR 52530 (Sept. 21, 2021).
6 15 U.S.C. 78s(b)(2)(B).
7 See Securities Exchange Act Release No. 93510,
86 FR 61820 (Nov. 8, 2021).
8 Amendment No. 1 is available at: https://
www.sec.gov/comments/sr-cboebzx-2021-051/
srcboebzx2021051-9436437-263630.pdf.
9 The Trust was formed as a Delaware statutory
trust on June 22, 2021 and is operated as a grantor
trust for U.S. federal tax purposes. The Trust has
no fixed termination date.
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5 See
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the most significant aspects of such
statements.
A. Self-Regulatory Organization’s
Statement of the Purpose of, and
Statutory Basis for, the Proposed Rule
Change
1. Purpose
This Amendment No. 1 to SR–
CboeBZX–2021–051 amends and
replaces in its entirety the proposal as
originally submitted on July 20, 2021.
The Exchange submits this Amendment
No. 1 in order to clarify certain points
and add additional details to the
proposal.
The Exchange proposes to list and
trade the Shares under BZX Rule
14.11(e)(4),10 which governs the listing
and trading of Commodity-Based Trust
Shares on the Exchange.11 21Shares US
LLC is the sponsor of the Trust (the
‘‘Sponsor’’). The Shares will be
registered with the Commission by
means of the Trust’s registration
statement on Form S–1 (the
‘‘Registration Statement’’).12 As further
discussed below, the Commission has
historically approved or disapproved
exchange filings to list and trade series
of Trust Issued Receipts, including spotbased Commodity-Based Trust Shares,
on the basis of whether the listing
exchange has in place a comprehensive
surveillance sharing agreement with a
regulated market of significant size
related to the underlying commodity.13
A survey of previously approved series
of Commodity-Based Trust Shares and
Currency Trust Shares makes clear that
the spot markets for commodities and
currencies held in such ETPs are
generally unregulated. In fact, the
Commission specifically noted in the
Winklevoss Order that the first gold ETP
10 The Commission approved BZX Rule
14.11(e)(4) in Securities Exchange Act Release No.
65225 (August 30, 2011), 76 FR 55148 (September
6, 2011) (SR–BATS–2011–018).
11 All statements and representations made in this
filing regarding (a) the description of the portfolio,
(b) limitations on portfolio holdings or reference
assets, or (c) the applicability of Exchange rules and
surveillance procedures shall constitute continued
listing requirements for listing the Shares on the
Exchange.
12 See draft Registration Statement on Form S–1,
dated June 28, 2021 submitted to the Commission
by the Sponsor on behalf of the Trust. The
descriptions of the Trust, the Shares, and the Index
(as defined below) contained herein are based, in
part, on information in the Registration Statement.
The Registration Statement is not yet effective and
the Shares will not trade on the Exchange until
such time that the Registration Statement is
effective.
13 See Securities Exchange Act Release No. 83723
(July 26, 2018), 83 FR 37579 (August 1, 2018). This
proposal was subsequently disapproved by the
Commission. See Securities Exchange Act Release
No. 83723 (July 26, 2018), 83 FR 37579 (August 1,
2018) (the ‘‘Winklevoss Order’’).
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73361
approval order, which was also the first
commodity-trust ETP, ‘‘was based on an
assumption that the currency market
and the spot gold market were largely
unregulated.’’ 14 This makes clear that
the applicable standard is not whether
the underlying commodity market itself
is regulated. Further to this point, prior
orders have also emphasized that in
every prior approval order for
Commodity-Based Trust Shares there
was a regulated derivatives market of
significant size, generally a Commodity
Futures Trading Commission (the
‘‘CFTC’’) regulated futures market.15
14 See Winklevoss Order at 37592 and Exchange
Act Release No. 50603 (Oct. 28, 2004), 69 FR 64614
(Nov. 5, 2004) (SR–NYSE–2004–22) (order
approving the listing and trading of streetTRACKS
Gold Shares) (the ‘‘First Gold Approval Order’’).
15 See Winklevoss Order at 37592. See also the
First Gold Approval Order at 64618–19; iShares
COMEX Gold Trust, Exchange Act Release No.
51058 (Jan. 19, 2005), 70 FR 3749, 3751, 3754–55
(Jan. 26, 2005) (SR–Amex–2004–38); iShares Silver
Trust, Exchange Act Release No. 53521 (Mar. 20,
2006), 71 FR 14967, 14968, 14973–74 (Mar. 24,
2006) (SR–Amex–2005–072); ETFS Gold Trust,
Exchange Act Release No. 59895 (May 8, 2009), 74
FR 22993, 22994–95, 22998, 23000 (May 15, 2009)
(SR–NYSEArca–2009–40); ETFS Silver Trust,
Exchange Act Release No. 59781 (Apr. 17, 2009), 74
FR 18771, 18772, 18775–77 (Apr. 24, 2009) (SR–
NYSEArca–2009–28); ETFS Palladium Trust,
Exchange Act Release No. 61220 (Dec. 22, 2009), 74
FR 68895, 68896 (Dec. 29, 2009) (SR–NYSEArca–
2009–94) (notice of proposed rule change included
NYSE Arca’s representation that ‘‘[t]he most
significant palladium futures exchanges are the
NYMEX and the Tokyo Commodity Exchange,’’ that
‘‘NYMEX is the largest exchange in the world for
trading precious metals futures and options,’’ and
that NYSE Arca ‘‘may obtain trading information
via the Intermarket Surveillance Group,’’ of which
NYMEX is a member, Exchange Act Release No.
60971 (Nov. 9, 2009), 74 FR 59283, 59285–86,
59291 (Nov. 17, 2009)); ETFS Platinum Trust,
Exchange Act Release No. 61219 (Dec. 22, 2009), 74
FR 68886, 68887–88 (Dec. 29, 2009) (SR–
NYSEArca–2009–95) (notice of proposed rule
change included NYSE Arca’s representation that
‘‘[t]he most significant platinum futures exchanges
are the NYMEX and the Tokyo Commodity
Exchange,’’ that ‘‘NYMEX is the largest exchange in
the world for trading precious metals futures and
options,’’ and that NYSE Arca ‘‘may obtain trading
information via the Intermarket Surveillance
Group,’’ of which NYMEX is a member, Exchange
Act Release No. 60970 (Nov. 9, 2009), 74 FR 59319,
59321, 59327 (Nov. 17, 2009)); Sprott Physical Gold
Trust, Exchange Act Release No. 61496 (Feb. 4,
2010), 75 FR 6758, 6760 (Feb. 10, 2010) (SR–
NYSEArca–2009–113) (notice of proposed rule
change included NYSE Arca’s representation that
the COMEX is one of the ‘‘major world gold
markets,’’ that NYSE Arca ‘‘may obtain trading
information via the Intermarket Surveillance
Group,’’ and that NYMEX, of which COMEX is a
division, is a member of the Intermarket
Surveillance Group, Exchange Act Release No.
61236 (Dec. 23, 2009), 75 FR 170, 171, 174 (Jan. 4,
2010)); Sprott Physical Silver Trust, Exchange Act
Release No. 63043 (Oct. 5, 2010), 75 FR 62615,
62616, 62619, 62621 (Oct. 12, 2010) (SR–
NYSEArca–2010–84); ETFS Precious Metals Basket
Trust, Exchange Act Release No. 62692 (Aug. 11,
2010), 75 FR 50789, 50790 (Aug. 17, 2010) (SR–
NYSEArca–2010–56) (notice of proposed rule
change included NYSE Arca’s representation that
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‘‘the most significant gold, silver, platinum and
palladium futures exchanges are the COMEX and
the TOCOM’’ and that NYSE Arca ‘‘may obtain
trading information via the Intermarket
Surveillance Group,’’ of which COMEX is a
member, Exchange Act Release No. 62402 (Jun. 29,
2010), 75 FR 39292, 39295, 39298 (July 8, 2010));
ETFS White Metals Basket Trust, Exchange Act
Release No. 62875 (Sept. 9, 2010), 75 FR 56156,
56158 (Sept. 15, 2010) (SR–NYSEArca–2010–71)
(notice of proposed rule change included NYSE
Arca’s representation that ‘‘the most significant
silver, platinum and palladium futures exchanges
are the COMEX and the TOCOM’’ and that NYSE
Arca ‘‘may obtain trading information via the
Intermarket Surveillance Group,’’ of which COMEX
is a member, Exchange Act Release No. 62620 (July
30, 2010), 75 FR 47655, 47657, 47660 (Aug. 6,
2010)); ETFS Asian Gold Trust, Exchange Act
Release No. 63464 (Dec. 8, 2010), 75 FR 77926,
77928 (Dec. 14, 2010) (SR–NYSEArca–2010–95)
(notice of proposed rule change included NYSE
Arca’s representation that ‘‘the most significant gold
futures exchanges are the COMEX and the Tokyo
Commodity Exchange,’’ that ‘‘COMEX is the largest
exchange in the world for trading precious metals
futures and options,’’ and that NYSE Arca ‘‘may
obtain trading information via the Intermarket
Surveillance Group,’’ of which COMEX is a
member, Exchange Act Release No. 63267 (Nov. 8,
2010), 75 FR 69494, 69496, 69500–01 (Nov. 12,
2010)); Sprott Physical Platinum and Palladium
Trust, Exchange Act Release No. 68430 (Dec. 13,
2012), 77 FR 75239, 75240–41 (Dec. 19, 2012) (SR–
NYSEArca–2012–111) (notice of proposed rule
change included NYSE Arca’s representation that
‘‘[f]utures on platinum and palladium are traded on
two major exchanges: The New York Mercantile
Exchange . . . and Tokyo Commodities Exchange’’
and that NYSE Arca ‘‘may obtain trading
information via the Intermarket Surveillance
Group,’’ of which COMEX is a member, Exchange
Act Release No. 68101 (Oct. 24, 2012), 77 FR 65732,
65733, 65739 (Oct. 30, 2012)); APMEX Physical—
1 oz. Gold Redeemable Trust, Exchange Act Release
No. 66930 (May 7, 2012), 77 FR 27817, 27818 (May
11, 2012) (SR–NYSEArca–2012–18) (notice of
proposed rule change included NYSE Arca’s
representation that NYSE Arca ‘‘may obtain trading
information via the Intermarket Surveillance
Group,’’ of which COMEX is a member, and that
gold futures are traded on COMEX and the Tokyo
Commodity Exchange, with a cross-reference to the
proposed rule change to list and trade shares of the
ETFS Gold Trust, in which NYSE Arca represented
that COMEX is one of the ‘‘major world gold
markets,’’ Exchange Act Release No. 66627 (Mar.
20, 2012), 77 FR 17539, 17542–43, 17547 (Mar. 26,
2012)); JPM XF Physical Copper Trust, Exchange
Act Release No. 68440 (Dec. 14, 2012), 77 FR 75468,
75469–70, 75472, 75485–86 (Dec. 20, 2012) (SR–
NYSEArca–2012–28); iShares Copper Trust,
Exchange Act Release No. 68973 (Feb. 22, 2013), 78
FR 13726, 13727, 13729–30, 13739–40 (Feb. 28,
2013) (SR–NYSEArca–2012–66); First Trust Gold
Trust, Exchange Act Release No. 70195 (Aug. 14,
2013), 78 FR 51239, 51240 (Aug. 20, 2013) (SR–
NYSEArca–2013–61) (notice of proposed rule
change included NYSE Arca’s representation that
FINRA, on behalf of the exchange, may obtain
trading information regarding gold futures and
options on gold futures from members of the
Intermarket Surveillance Group, including COMEX,
or from markets ‘‘with which [NYSE Arca] has in
place a comprehensive surveillance sharing
agreement,’’ and that gold futures are traded on
COMEX and the Tokyo Commodity Exchange, with
a cross-reference to the proposed rule change to list
and trade shares of the ETFS Gold Trust, in which
NYSE Arca represented that COMEX is one of the
‘‘major world gold markets,’’ Exchange Act Release
No. 69847 (June 25, 2013), 78 FR 39399, 39400,
39405 (July 1, 2013)); Merk Gold Trust, Exchange
Act Release No. 71378 (Jan. 23, 2014), 79 FR 4786,
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Despite the lack of regulation of the
underlying spot commodity and
currency markets, the Commission
approved series of Currency and
Commodity-Based Trust Shares,
including those that held gold, silver,
platinum, palladium, copper, and other
commodities and currencies, because it
determined that the futures markets for
these commodities and currencies
represented regulated markets of
significant size and that the listing
exchange had a surveillance sharing
agreement in place with that market.16
The Exchange acknowledges that
unregulated currency and commodity
markets do not provide the same
protections as the markets that are
subject to the Commission’s oversight.
However, the Commission has
consistently looked to surveillance
sharing agreements with an underlying
futures market to determine whether
ETPs holding currency or commodities
were consistent with the Act, as
established above. As such, the
Commission’s regulated market of
significant size test does not require that
the spot bitcoin market be regulated to
approve this proposal. To the contrary,
precedent makes clear that any
requirement that the spot bitcoin market
be a ‘‘regulated market’’ prior to
approval would be incongruous with all
prior spot commodity and currency
approval orders. With this in mind, the
CME Bitcoin Futures market is the
proper market for the Commission to
consider in determining whether this
proposal is consistent with the Act. The
Exchange has a comprehensive
surveillance sharing agreement in place
with CME, which operates a bitcoin
futures market that, as established by
the included analysis below, represents
a regulated market of significant size
related to the underlying commodity
(bitcoin) to be held by the Trust.
Therefore, both the Exchange and the
Sponsor believe that the CME Bitcoin
Futures market satisfies the standard
that the Commission has applied to all
previously approved series of
4786–87 (Jan. 29, 2014) (SR–NYSEArca–2013–137)
(notice of proposed rule change included NYSE
Arca’s representation that ‘‘COMEX is the largest
gold futures and options exchange’’ and that NYSE
Arca ‘‘may obtain trading information via the
Intermarket Surveillance Group,’’ including with
respect to transactions occurring on COMEX
pursuant to CME and NYMEX’s membership, or
from exchanges ‘‘with which [NYSE Arca] has in
place a comprehensive surveillance sharing
agreement,’’ Exchange Act Release No. 71038 (Dec.
11, 2013), 78 FR 76367, 76369, 76374 (Dec. 17,
2013)); Long Dollar Gold Trust, Exchange Act
Release No. 79518 (Dec. 9, 2016), 81 FR 90876,
90881, 90886, 90888 (Dec. 15, 2016) (SR–
NYSEArca–2016–84).
16 Id.
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Commodity-Based Trust Shares and that
this proposal should be approved.
Background
Bitcoin is a digital asset based on the
decentralized, open source protocol of
the peer-to-peer computer network
launched in 2009 that governs the
creation, movement, and ownership of
bitcoin and hosts the public ledger, or
‘‘blockchain,’’ on which all bitcoin
transactions are recorded (the ‘‘Bitcoin
Network’’ or ‘‘Bitcoin’’). The
decentralized nature of the Bitcoin
Network allows parties to transact
directly with one another based on
cryptographic proof instead of relying
on a trusted third party. The protocol
also lays out the rate of issuance of new
bitcoin within the Bitcoin Network, a
rate that is reduced by half
approximately every four years with an
eventual hard cap of 21 million. It’s
generally understood that the
combination of these two features—a
systemic hard cap of 21 million bitcoin
and the ability to transact trustlessly
with anyone connected to the Bitcoin
Network—gives bitcoin its value.17 The
first rule filing proposing to list an
exchange-traded product to provide
exposure to bitcoin in the U.S. was
submitted by the Exchange on June 30,
2016.18 At that time, blockchain
technology, and digital assets that
utilized it, were relatively new to the
broader public. The market cap of all
bitcoin in existence at that time was
approximately $10 billion. No registered
offering of digital asset securities or
shares in an investment vehicle with
exposure to bitcoin or any other
cryptocurrency had yet been conducted,
and the regulated infrastructure for
conducting a digital asset securities
offering had not begun to develop.19
Similarly, regulated U.S. bitcoin futures
contracts did not exist. The CFTC had
determined that bitcoin is a
commodity,20 but had not engaged in
17 For additional information about bitcoin and
the Bitcoin Network, see https://bitcoin.org/en/
getting-started; https://
www.fidelitydigitalassets.com/articles/addressingbitcoin-criticisms; and https://www.vaneck.com/
education/investment-ideas/investing-in-bitcoinand-digital-assets/.
18 See Winklevoss Order.
19 Digital assets that are securities under U.S. law
are referred to throughout this proposal as ‘‘digital
asset securities.’’ All other digital assets, including
bitcoin, are referred to interchangeably as
‘‘cryptocurrencies’’ or ‘‘virtual currencies.’’ The
term ‘‘digital assets’’ refers to all digital assets,
including both digital asset securities and
cryptocurrencies, together.
20 See ‘‘In the Matter of Coinflip, Inc.’’
(‘‘Coinflip’’) (CFTC Docket 15–29 (September 17,
2015)) (order instituting proceedings pursuant to
Sections 6(c) and 6(d) of the CEA, making findings
and imposing remedial sanctions), in which the
CFTC stated: ‘‘Section 1a(9) of the CEA defines
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significant enforcement actions in the
space. The New York Department of
Financial Services (‘‘NYDFS’’) adopted
its final BitLicense regulatory
framework in 2015, but had only
approved four entities to engage in
activities relating to virtual currencies
(whether through granting a BitLicense
or a limited-purpose trust charter) as of
June 30, 2016.21 While the first over-thecounter bitcoin fund launched in 2013,
public trading was limited and the fund
had only $60 million in assets.22 There
were very few, if any, traditional
financial institutions engaged in the
space, whether through investment or
providing services to digital asset
companies. In January 2018, the Staff of
the Commission noted in a letter to the
Investment Company Institute and
SIFMA that it was not aware, at that
time, of a single custodian providing
fund custodial services for digital
assets.23 Fast forward to the fourth
quarter of 2021 and the digital assets
financial ecosystem, including bitcoin,
has progressed significantly. The
development of a regulated market for
digital asset securities has significantly
evolved, with market participants
having conducted registered public
offerings of both digital asset
securities 24 and shares in investment
vehicles holding bitcoin futures.25
Additionally, licensed and regulated
service providers have emerged to
provide fund custodial services for
‘commodity’ to include, among other things, ‘all
services, rights, and interests in which contracts for
future delivery are presently or in the future dealt
in.’ 7 U.S.C. 1a(9). The definition of a ‘commodity’
is broad. See, e.g., Board of Trade of City of Chicago
v. SEC, 677 F. 2d 1137, 1142 (7th Cir. 1982). Bitcoin
and other virtual currencies are encompassed in the
definition and properly defined as commodities.’’
21 A list of virtual currency businesses that are
entities regulated by the NYDFS is available on the
NYDFS website. See https://www.dfs.ny.gov/apps_
and_licensing/virtual_currency_businesses/
regulated_entities.
22 Data as of March 31, 2016 according to publicly
available filings. See Bitcoin Investment Trust Form
S–1, dated May 27, 2016, available: https://
www.sec.gov/Archives/edgar/data/1588489/
000095012316017801/filename1.htm.
23 See letter from Dalia Blass, Director, Division
of Investment Management, U.S. Securities and
Exchange Commission to Paul Schott Stevens,
President & CEO, Investment Company Institute
and Timothy W. Cameron, Asset Management
Group—Head, Securities Industry and Financial
Markets Association (January 18, 2018), available at
https://www.sec.gov/divisions/investment/
noaction/2018/cryptocurrency-011818.htm.
24 See Prospectus supplement filed pursuant to
Rule 424(b)(1) for INX Tokens (Registration No.
333–233363), available at: https://www.sec.gov/
Archives/edgar/data/1725882/
000121390020023202/ea125858-424b1_
inxlimited.htm.
25 See Prospectus filed by Stone Ridge Trust VI
on behalf of NYDIG Bitcoin Strategy Fund
Registration, available at: https://www.sec.gov/
Archives/edgar/data/1764894/
000119312519309942/d693146d497.htm.
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19:11 Dec 23, 2021
Jkt 256001
digital assets, among other services. For
example, in May 2021, the Staff of the
Commission released a statement
permitting open-end mutual funds to
invest in cash-settled bitcoin futures; in
December 2020, the Commission
adopted a conditional no-action
position permitting certain special
purpose broker-dealers to custody
digital asset securities under Rule 15c3–
3 under the Exchange Act (the ‘‘Custody
Statement’’); 26 in September 2020, the
Staff of the Commission released a noaction letter permitting certain brokerdealers to operate a non-custodial
Alternative Trading System (‘‘ATS’’) for
digital asset securities, subject to
specified conditions; 27 in October 2019,
the Staff of the Commission granted
temporary relief from the clearing
agency registration requirement to an
entity seeking to establish a securities
clearance and settlement system based
on distributed ledger technology,28 and
multiple transfer agents who provide
services for digital asset securities
registered with the Commission.29
Outside the Commission’s purview,
the regulatory landscape has changed
significantly since 2016, and
cryptocurrency markets have grown and
evolved as well. The market for bitcoin
is approximately 100 times larger, with
a market cap of over $1 trillion.30
According to the CME Bitcoin Futures
Report, from October 25, 2021 through
November 19, 2021, CFTC regulated
bitcoin futures represented
approximately $2.9 billion in notional
trading volume on Chicago Mercantile
Exchange (‘‘CME’’) (‘‘CME Bitcoin
Futures’’) on a daily basis and notional
volume was never below $1.2 billion
26 See Securities Exchange Act Release No. 90788,
86 FR 11627 (February 26, 2021) (File Number S7–
25–20) (Custody of Digital Asset Securities by
Special Purpose Broker-Dealers).
27 See letter from Elizabeth Baird, Deputy
Director, Division of Trading and Markets, U.S.
Securities and Exchange Commission to Kris
Dailey, Vice President, Risk Oversight &
Operational Regulation, Financial Industry
Regulatory Authority (September 25, 2020),
available at: https://www.sec.gov/divisions/
marketreg/mr-noaction/2020/finra-ats-role-insettlement-of-digital-asset-security-trades09252020.pdf.
28 See letter from Jeffrey S. Mooney, Associate
Director, Division of Trading and Markets, U.S.
Securities and Exchange Commission to Charles G.
Cascarilla & Daniel M. Burstein, Paxos Trust
Company, LLC (October 28, 2019), available at:
https://www.sec.gov/divisions/marketreg/mrnoaction/2019/paxos-trust-company-10281917a.pdf.
29 See, e.g., Form TA–1/A filed by Tokensoft
Transfer Agent LLC (CIK: 0001794142) on January
8, 2021, available at: https://www.sec.gov/Archives/
edgar/data/1794142/000179414219000001/
xslFTA1X01/primary_doc.xml.
30 As of December 1, 2021, the total market cap
of all bitcoin in circulation was approximately
$1.08 trillion.
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per day.31 Open interest was over $4
billion for the entirety of the period and
at one point reached $5.5 billion. The
CFTC has exercised its regulatory
jurisdiction in bringing a number of
enforcement actions related to bitcoin
and against trading platforms that offer
cryptocurrency trading.32 The U.S.
Office of the Comptroller of the
Currency (the ‘‘OCC’’) has made clear
that federally-chartered banks are able
to provide custody services for
cryptocurrencies and other digital
assets.33 The OCC recently granted
conditional approval of two charter
conversions by state-chartered trust
companies to national banks, both of
which provide cryptocurrency custody
services.34 NYDFS has granted no fewer
than twenty-five BitLicenses, including
to established public payment
companies like PayPal Holdings, Inc.
and Square, Inc., and limited purpose
trust charters to entities providing
cryptocurrency custody services,
including the Trust’s Custodian. The
U.S. Treasury Financial Crimes
Enforcement Network (‘‘FinCEN’’) has
released extensive guidance regarding
the applicability of the Bank Secrecy
Act (‘‘BSA’’) and implementing
regulations to virtual currency
businesses,35 and has proposed rules
imposing requirements on entities
subject to the BSA that are specific to
the technological context of virtual
currencies.36 In addition, the Treasury’s
31 Data sourced from the CME Bitcoin Futures
Report: 19 Nov, 2021, available at: https://
www.cmegroup.com/ftp/bitcoinfutures/Bitcoin_
Futures_Liquidity_Report.pdf.
32 The CFTC’s annual report for Fiscal Year 2020
(which ended on September 30, 2020) noted that
the CFTC ‘‘continued to aggressively prosecute
misconduct involving digital assets that fit within
the CEA’s definition of commodity’’ and ‘‘brought
a record setting seven cases involving digital
assets.’’ See CFTC FY2020 Division of Enforcement
Annual Report, available at: https://www.cftc.gov/
media/5321/DOE_FY2020_AnnualReport_120120/
download. Additionally, the CFTC filed on October
1, 2020, a civil enforcement action against the
owner/operators of the BitMEX trading platform,
which was one of the largest bitcoin derivative
exchanges. See CFTC Release No. 8270–20 (October
1, 2020) available at: https://www.cftc.gov/
PressRoom/PressReleases/8270-20.
33 See OCC News Release 2021–2 (January 4,
2021) available at: https://www.occ.gov/newsissuances/news-releases/2021/nr-occ-2021-2.html.
34 See OCC News Release 2021–6 (January 13,
2021) available at: https://www.occ.gov/newsissuances/news-releases/2021/nr-occ-2021-6.html
and OCC News Release 2021–19 (February 5, 2021)
available at: https://www.occ.gov/news-issuances/
news-releases/2021/nr-occ-2021-19.html.
35 See FinCEN Guidance FIN–2019–G001 (May 9,
2019) (Application of FinCEN’s Regulations to
Certain Business Models Involving Convertible
Virtual Currencies) available at: https://
www.fincen.gov/sites/default/files/2019-05/FinCEN
%20Guidance%20CVC%20FINAL%20508.pdf.
36 See U.S. Department of the Treasury Press
Release: ‘‘The Financial Crimes Enforcement
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Office of Foreign Assets Control
(‘‘OFAC’’) has brought enforcement
actions over apparent violations of the
sanctions laws in connection with the
provision of wallet management
services for digital assets.37
In addition to the regulatory
developments laid out above, more
traditional financial market participants
have embraced and continue to embrace
cryptocurrency: Large insurance
companies,38 asset managers,39
university endowments,40 pension
funds,41 and even historically bitcoin
skeptical fund managers 42 are allocating
to bitcoin. The largest over-the-counter
bitcoin fund previously filed a Form 10
registration statement, which the Staff of
the Commission reviewed and which
took effect automatically, and is now a
reporting company.43 Established
Network Proposes Rule Aimed at Closing AntiMoney Laundering Regulatory Gaps for Certain
Convertible Virtual Currency and Digital Asset
Transactions’’ (December 18, 2020), available at:
https://home.treasury.gov/news/press-releases/
sm1216.
37 See U.S. Department of the Treasury
Enforcement Release: ‘‘OFAC Enters Into $98,830
Settlement with BitGo, Inc. for Apparent Violations
of Multiple Sanctions Programs Related to Digital
Currency Transactions’’ (December 30, 2020)
available at: https://home.treasury.gov/system/files/
126/20201230_bitgo.pdf.
38 On December 10, 2020, Massachusetts Mutual
Life Insurance Company (MassMutual) announced
that it had purchased $100 million in bitcoin for its
general investment account. See MassMutual Press
Release ‘‘Institutional Bitcoin provider NYDIG
announces minority stake purchase by
MassMutual’’ (December 10, 2020) available at:
https://www.massmutual.com/about-us/news-andpress-releases/press-releases/2020/12/institutionalbitcoin-provider-nydig-announces-minority-stakepurchase-by-massmutual.
39 See e.g., ‘‘BlackRock’s Rick Rieder says the
world’s largest asset manager has ‘started to dabble’
in bitcoin’’ (February 17, 2021) available at: https://
www.cnbc.com/2021/02/17/blackrock-has-startedto-dabble-in-bitcoin-says-rick-rieder.html and
‘‘Guggenheim’s Scott Minerd Says Bitcoin Should
Be Worth $400,000’’ (December 16, 2020) available
at: https://www.bloomberg.com/news/articles/202012-16/guggenheim-s-scott-minerd-says-bitcoinshould-be-worth-400-000.
40 See e.g., ‘‘Harvard and Yale Endowments
Among Those Reportedly Buying Crypto’’ (January
25, 2021) available at: https://www.bloomberg.com/
news/articles/2021-01-26/harvard-and-yaleendowments-among-those-reportedly-buyingcrypto.
41 See e.g., ‘‘Virginia Police Department Reveals
Why its Pension Fund is Betting on Bitcoin’’
(February 14, 2019) available at: https://
finance.yahoo.com/news/virginia-policedepartment-reveals-why-194558505.html.
42 See e.g., ‘‘Bridgewater: Our Thoughts on
Bitcoin’’ (January 28, 2021) available at: https://
www.bridgewater.com/research-and-insights/ourthoughts-on-bitcoin and ‘‘Paul Tudor Jones says he
likes bitcoin even more now, rally still in the ‘first
inning’’’ (October 22, 2020) available at: https://
www.cnbc.com/2020/10/22/-paul-tudor-jones-sayshe-likes-bitcoin-even-more-now-rally-still-in-thefirst-inning.html.
43 See Letter from Division of Corporation
Finance, Office of Real Estate & Construction to
Barry E. Silbert, Chief Executive Officer, Grayscale
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companies like Tesla, Inc.,44
MicroStrategy Incorporated,45 and
Square, Inc.,46 among others, have
recently announced substantial
investments in bitcoin in amounts as
large as 43,200 BTC 47, worth around
$2.5 billion (Tesla) valued at a BTCUSD
price of $60,000 and 121,043 BTC worth
$7.2 billion (MicroStrategy). The
foregoing examples demonstrate that
bitcoin has gained mainstream usage
and recognition.
Despite these developments, access
for U.S. retail investors to gain exposure
to bitcoin via a transparent and U.S.
regulated, U.S. exchange-traded vehicle
remains limited. Instead current options
include: (i) Paying a potentially high
premium (and high management fees) to
buy over-the-counter bitcoin funds
(‘‘OTC Bitcoin Funds’’), to the
advantage of more sophisticated
investors that are able to create shares
at net asset value (‘‘NAV’’) directly with
the issuing trust; 48 (ii) facing the
Bitcoin Trust (January 31, 2020) https://
www.sec.gov/Archives/edgar/data/1588489/
00000000020000953/filename1.pdf.
44 See Form 10–K submitted by Tesla, Inc. for the
fiscal year ended December 31, 2020 at 23: https://
www.sec.gov/ix?doc=/Archives/edgar/data/
1318605/000156459021004599/tsla-10k_20201231.
htm.
45 See Form 10–Q submitted by MicroStrategy
Incorporated for the quarterly period ended
September 30, 2020 at 8: https://www.sec.gov/ix?
doc=/Archives/edgar/data/1050446/
000156459020047995/mstr-10q_20200930.htm.
46 See Form 10–Q submitted by Square, Inc. for
the quarterly period ended September 30, 2020 at
51: https://www.sec.gov/ix?doc=/Archives/edgar/
data/1512673/000151267320000012/sq20200930.htm.
47 Amount obtained from https://
bitcointreasuries.net as of December 3, 2021.
48 The largest OTC Bitcoin Fund has grown its
AUM from approximately $2.6 billion on February
26, 2020, the date on which the Commission issued
the disapproval order for the United States Bitcoin
and Treasury Investment Trust, to $37.1 billion on
December 1, 2021, according to Grayscale’s website.
See Securities Exchange Act Release No. 88284
(February 26, 2020), 85 FR 12595 (March 3, 2020)
(SR–NYSEArca–2019–39) (the ‘‘Wilshire Phoenix
Disapproval’’). While the price of one bitcoin has
increased approximately 690% in the intervening
period, the total AUM has increased by
approximately 1540%, indicating that the increase
in AUM was created beyond just price appreciation
in bitcoin. The premium and discount for OTC
Bitcoin Funds is known to move rapidly. For
example, over the period of 12/21/20 to 1/21/20, the
premium for the largest OTC Bitcoin Fund went
from 40.18% to 2.79%. While the price of bitcoin
appreciated significantly during this period and
NAV per share increased by 41.25%, the price per
share increased by only 3.58%. This means that
investors are buying shares of a fund that
experiences significant volatility in its premium
and discount outside of the fluctuations in price of
the underlying asset. Even operating within the
normal premium and discount range, it’s possible
for an investor to buy shares of an OTC Bitcoin
Fund only to have those shares quickly lose 10%
or more in dollar value excluding any movement of
the price of bitcoin. That is to say—the price of
bitcoin could have stayed exactly the same from
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technical risk, complexity and generally
high fees associated with buying spot
bitcoin; (iii) purchasing shares of
operating companies that they believe
will provide proxy exposure to bitcoin
with limited disclosure about the
associated risks; 49 or (iv) through the
purchase of Bitcoin Futures ETFs,
which represent a sub-optimal structure
for long-term investors that will cost
them collectively tens of millions of
dollars every year, as further discussed
below. Meanwhile, investors in many
other countries, including Canada 50 and
Brazil, are able to use more traditional
exchange listed and traded products
(including exchange-traded funds
market close on one day to market open the next,
yet the value of the shares held by the investor
decreased only because of the fluctuation of the
premium. As more investment vehicles, including
mutual funds and ETFs, seek to gain exposure to
bitcoin, the easiest option for a buy and hold
strategy for such vehicles is often an OTC Bitcoin
Fund, meaning that even investors that do not
directly buy OTC Bitcoin Funds can be
disadvantaged by extreme premiums (or discounts)
and premium volatility.
49 Recently a number of operating companies
engaged in unrelated businesses—such as Tesla (a
car manufacturer) and MicroStrategy (an enterprise
software company)—have announced investments
as large as $5.3 billion in bitcoin. Without access
to bitcoin exchange-traded products, retail investors
seeking investment exposure to bitcoin may end up
purchasing shares in these companies in order to
gain the exposure to bitcoin that they seek. In fact,
mainstream financial news networks have written
a number of articles providing investors with
guidance for obtaining bitcoin exposure through
publicly traded companies (such as MicroStrategy,
Tesla, and bitcoin mining companies, among
others) instead of dealing with the complications
associated with buying spot bitcoin in the absence
of a bitcoin ETP. See e.g., ‘‘7 public companies with
exposure to bitcoin’’ (February 8, 2021) available at:
https://finance.yahoo.com/news/7-publiccompanies-with-exposure-to-bitcoin154201525.html; and ‘‘Want to get in the crypto
trade without holding bitcoin yourself? Here are
some investing ideas’’ (February 19, 2021) available
at: https://www.cnbc.com/2021/02/19/ways-toinvest-in-bitcoin-without-holding-thecryptocurrency-yourself-.html. Such operating
companies, however, are imperfect bitcoin proxies
and provide investors with partial bitcoin exposure
paired with a host of additional risks associated
with whichever operating company they decide to
purchase. Additionally, the disclosures provided by
such operating companies with respect to risks
relating to their bitcoin holdings are generally
substantially smaller than the registration statement
of a bitcoin ETP, including the Registration
Statement, typically amounting to a few sentences
of narrative description and a handful of risk
factors. In other words, investors seeking bitcoin
exposure through publicly traded companies are
gaining only partial exposure to bitcoin and are not
fully benefitting from the risk disclosures and
associated investor protections that come from the
securities registration process.
50 The Exchange notes that the Purpose Bitcoin
ETF, a retail physical bitcoin ETP launched in
Canada, reportedly reached $1.2 billion in assets
under management as of October 15, 2021
(‘‘AUM’’), demonstrating the demand for a North
American market listed bitcoin exchange-traded
product (‘‘ETP’’). The Purpose Bitcoin ETF also
offers a class of units that is U.S. dollar
denominated, which could appeal to U.S. investors.
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holding physical bitcoin) to gain
exposure to bitcoin, disadvantaging U.S.
investors and leaving them with more
risky means of getting bitcoin
exposure.51 Additionally, investors in
other countries, specifically Canada,
generally pay lower fees than U.S. retail
investors that invest in OTC Bitcoin
Funds due to the fee pressure that
results from increased competition
among available bitcoin investment
options. Without an approved and
regulated spot bitcoin ETP in the U.S. as
a viable alternative, U.S. investors could
seek to purchase shares of non-U.S.
bitcoin vehicles in order to get access to
bitcoin exposure. Given the separate
regulatory regime and the potential
difficulties associated with any
international litigation, such an
arrangement would create more risk
exposure for U.S. investors than they
would otherwise have with a U.S.
exchange listed ETP. Further to this
point, the lack of a U.S.-listed spot
bitcoin ETP is not preventing U.S. funds
from gaining exposure to bitcoin—
several U.S. exchange-traded funds are
using Canadian bitcoin ETPs to gain
exposure to spot bitcoin. In addition to
the benefits to U.S. investors articulated
throughout this proposal, approving this
proposal (and others like it) would
provide U.S. exchange-traded funds
with a U.S.-listed and regulated product
to provide such access rather than
relying on either flawed products or
products listed and primarily regulated
in other countries.
Bitcoin Futures ETFs
khammond on DSKJM1Z7X2PROD with NOTICES
The Exchange and Sponsor applaud
the Commission for allowing the recent
launch of the ETFs registered under the
Investment Company Act of 1940, as
amended (the ‘‘1940 Act’’), that provide
exposure to bitcoin through CME
Bitcoin Futures (‘‘Bitcoin Futures
ETFs’’). Allowing such products to list
and trade is a productive first step in
providing transparent, exchange-listed
tools for expressing a view on bitcoin
for U.S. investors and traders. However,
as has been reported by numerous
outlets, the structure of such products
provides negative outcomes for buy and
hold investors as compared to an ETP
that would hold actual bitcoin instead
of derivatives contracts (‘‘Spot Bitcoin
51 The Exchange notes that securities regulators in
a number of other countries have either approved
or otherwise allowed the listing and trading of
bitcoin ETPs. Specifically, these funds include the
Purpose Bitcoin ETF, Bitcoin ETF, VanEck Vectors
Bitcoin ETN, WisdomTree Bitcoin ETP, Bitcoin
Tracker One, BTCetc bitcoin ETP, Amun Bitcoin
ETP, Amun Bitcoin Suisse ETP, 21Shares Short
Bitcoin ETP, CoinShares Physical Bitcoin ETP.
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19:11 Dec 23, 2021
Jkt 256001
ETPs’’).52 Specifically, the cost of rolling
CME Bitcoin Futures contracts (which
has reached as high as 17% annually 53
excluding a fund’s management fees and
borrowing costs, if any) will cause the
Bitcoin Futures ETFs to lag the
performance of bitcoin itself and, at over
a billion dollars in assets under
management, would cost U.S. investors
hundreds of millions of dollars on an
annual basis. Such rolling costs would
not be required for Spot Bitcoin ETPs
that hold bitcoin. Further, Bitcoin
Futures ETFs have grown so rapidly that
they face potentially running into CME
position limits, which would force a
Bitcoin Futures ETF to invest in nonfutures assets for bitcoin exposure and
cause potential investor confusion and
lack of certainty about what such
Bitcoin Futures ETFs are actually
holding to try to get exposure to bitcoin,
not to mention completely changing the
risk profile associated with such an
ETF. While Bitcoin Futures ETFs
represent a useful trading tool, they are
clearly a sub-optimal structure for U.S.
investors that are looking for long-term
exposure to bitcoin that will, based on
the calculations above, unnecessarily
cost U.S. investors millions of dollars
every year and the Exchange believes
that any proposal to list and trade a Spot
Bitcoin ETP should be reviewed by the
Commission with this important
investor protection context in mind.
As discussed further below, the
Commission’s primary test in
determining whether to approve or
disapprove a series of Commodity-Based
Trust Shares, a product type which
includes Spot Bitcoin ETPs, is whether
the listing exchange has in place a
comprehensive surveillance sharing
agreement with a regulated market of
significant size in the underlying asset.
Previous disapproval orders have made
clear that a regulated market of
significant size is generally a futures
and/or options market rather than the
spot commodity markets, which are
often unregulated.54 Leaving aside the
52 See e.g., ‘‘Bitcoin ETF’s Success Could Come at
Fundholders’ Expense,’’ Wall Street Journal
(October 24, 2021), available at: https://
www.wsj.com/articles/bitcoin-etfs-success-couldcome-at-fundholders-expense-11635080580;
‘‘Physical Bitcoin ETF Prospects Accelerate,’’
ETF.com (October 25, 2021), available at: https://
www.etf.com/sections/blog/physical-bitcoin-etfprospects-shine?nopaging=1&__cf_chl_jschl_tk__
=pmd_
JsK.fjXz9eAQW9zol0qpzhXDrrlpIVdoCloLXbLjl441635476946-0-gqNtZGzNApCjcnBszQql.
53 Id.
54 See Winklevoss Order at 37593, specifically
footnote 202, which includes the language from
numerous approval orders for which the underlying
futures markets formed the basis for approving
series of ETPs that hold physical metals, including
gold, silver, palladium, platinum, and precious
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73365
analysis of that standard for now,55
Cboe believes it would be inconsistent
to allow the listing and trading of
Bitcoin Futures ETFs that hold
primarily CME Bitcoin Futures while
simultaneously disapproving Spot
Bitcoin ETPs on the basis that the CME
Bitcoin Futures market is not a
regulated market of significant size. If
the CME Bitcoin Futures market were
not, in the opinion of the Commission,
a regulated market of significant size,
permitting Bitcoin Futures ETFs that
trade on such market would seem to be
inconsistent with the requirement under
the Act of being designed to ‘‘prevent
fraudulent and manipulative acts and
practices’’ as articulated in the
Winklevoss Order and other disapproval
orders.56 One may argue that the 1940
Act provides certain investor
protections that could mitigate some of
these concerns, but the investor
protection mechanisms under the 1940
Act relate primarily to the composition
of a 1940 Act fund’s board of directors,
limitations on leverage and transactions
with affiliates, among others. Those
requirements—which primarily relate to
a 1940 Act fund’s internal structure and
operations, rather than to the markets
for the assets which the 1940 Act fund
trades—would not confer additional
protections to investors in relation to
the underlying CME Bitcoin Futures
market that would justify different
regulatory outcomes for Bitcoin Futures
ETFs and Spot Bitcoin ETPs.57
Further to this point, part of the
analysis of the regulated market of
significant size test is whether an
underlying market is sufficiently large
to support an ETP is whether trading in
the ETP is likely to be the predominant
influence on prices in the market of
metals more broadly; and 37600, specifically where
the Commission provides that ‘‘when the spot
market is unregulated—the requirement of
preventing fraudulent and manipulative acts may
possibly be satisfied by showing that the ETP listing
market has entered into a surveillance-sharing
agreement with a regulated market of significant
size in derivatives related to the underlying asset.’’
As noted above, the Exchange believes that these
citations are particularly helpful in making clear
that the spot market for a spot commodity ETP need
not be ‘‘regulated’’ in order for a spot commodity
ETP to be approved by the Commission, and in fact
that it’s been the common historical practice of the
Commission to rely on such derivatives markets as
the regulated market of significant size because
such spot commodities markets are largely
unregulated.
55 As further outlined below, both the Exchange
and the Sponsor believe that the CME Bitcoin
Futures market represents a regulated market of
significant size and that this proposal and others
like it should be approved on this basis.
56 15 U.S.C. 78f(b)(5). For additional detail, see
Winklevoss Order at 37600.
57 The largest OTC Bitcoin Funds holding spot
Bitcoin today are not 1940 Act Funds.
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significant size.58 According to publicly
available data, the largest Bitcoin
Futures ETF represents 3,803
contracts 59 of the total 9,625 contracts
of open interest in December CME
Bitcoin Futures 60 as of 12/2/21 (roughly
40% of open interest). This seems to
directly contradict the previously
articulated standards by the
Commission in the disapproval orders
issued for Spot Bitcoin ETPs related to
whether the trading in the ETP would
be the predominant influence on prices
in that market.61 While it is difficult at
this point to assess the direct impact on
pricing of the CME Bitcoin Futures
based on the launch of the Bitcoin
Futures ETFs, such circumstances,
especially related to the generally
predictable trading behaviors of an ETF,
seem to have the potential to represent
a significant influence over pricing in
the market. Allowing Spot Bitcoin ETPs
to come to market will alleviate these
concerns because such ETPs would be
transacting in the spot bitcoin market on
a more limited basis (acquiring spot
bitcoin as needed and not rolling
contracts on a monthly basis). As further
discussed below, research indicates that
the CME Bitcoin Futures market is a
regulated market of significant size that
generally leads price discovery across
USD-based trading in bitcoin futures
and spot markets globally.
To the extent the Commission may
view differential treatment of Bitcoin
Futures ETFs and Spot Bitcoin ETPs as
warranted based on the Commission’s
concerns about the custody of physical
Bitcoin that a Spot Bitcoin ETP would
hold (compared to cash-settled futures
contracts),62 the Sponsor believes this
concern is mitigated to a significant
degree by the custodial arrangements
that the Trust has contracted with
Coinbase Trust Company, LLC (the
‘‘Custodian’’) to provide. In the Custody
Statement, the Commission stated that
the fourth step that a broker-dealer
could take to shield traditional
securities customers and others from the
risks and consequences of digital asset
security fraud, theft, or loss is to
establish, maintain, and enforce
58 See
Winklevoss Order at 37594.
Fund Holdings Information available at
https://www.proshares.com/funds/bito.html.
60 See Volume and Open Interest data available at
https://www.cmegroup.com/markets/
cryptocurrencies/bitcoin/bitcoin.volume.html.
61 See Winklevoss Order at 37594–37595.
62 See, e.g., Division of Investment Management
Staff, Staff Statement on Funds Registered Under
the Investment Company Act Investing in the
Bitcoin Futures Market, May 11, 2021 (‘‘The Bitcoin
futures market also has not presented the custody
challenges associated with some cryptocurrencybased investing because the futures are cashsettled’’).
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59 See
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reasonably designed written policies,
procedures, and controls for safekeeping
and demonstrating the broker-dealer has
exclusive possession or control over
digital asset securities that are
consistent with industry best practices
to protect against the theft, loss, and
unauthorized and accidental use of the
private keys necessary to access and
transfer the digital asset securities the
broker-dealer holds in custody. While
bitcoin is not a security and the
Custodian is not a broker-dealer, the
Sponsor believes that similar
considerations apply to the Custodian’s
holding of the Trust’s bitcoin. After
diligent investigation, the Sponsor
believes that the Custodian’s policies,
procedures, and controls for
safekeeping, exclusively possessing, and
controlling the Trust’s bitcoin holdings
are consistent with industry best
practices to protect against the theft,
loss, and unauthorized and accidental
use of the private keys. As a trust
company chartered by the New York
Department of Financial Services, the
Sponsor notes that the Custodian is
subject to extensive regulation and has
among the longest track records in the
industry of providing custodial services
for digital asset private keys. The
Custodian has represented to the Trust
that it has never suffered a loss of
bitcoin belonging to customers. Under
the circumstances, therefore, to the
extent the Commission believes that its
concerns about the risks of spot bitcoin
custody justifies differential treatment
of a Bitcoin Futures ETF versus a Spot
Bitcoin ETP, the Sponsor believes that
the fact that the Custodian employs the
same types of policies, procedures, and
safeguards in handling spot bitcoin that
the Commission has stated that brokerdealers should implement with respect
to digital asset securities would appear
to weaken the justification for treating a
Bitcoin Futures ETF compared to a Spot
Bitcoin ETP differently due to spot
bitcoin custody concerns.
Based on the foregoing, the Exchange
and Sponsor believe that any objective
review of the proposals to list Spot
Bitcoin ETPs compared to the already
listed and traded Bitcoin Futures ETFs
would lead to the conclusion that Spot
Bitcoin ETPs should be available to U.S.
investors and, as such, this proposal and
other comparable proposals to list and
trade Spot Bitcoin ETPs should be
approved by the Commission. Stated
simply, U.S. investors stand to lose
hundreds of millions of dollars from
holding Bitcoin Futures ETFs, losses
which could be prevented by the
Commission approving Spot Bitcoin
ETPs. Additionally, any concerns
PO 00000
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Fmt 4703
Sfmt 4703
related to preventing fraudulent and
manipulative acts and practices related
to Spot Bitcoin ETPs would apply
equally to the spot markets underlying
the futures contracts held by a Bitcoin
Futures ETF. While the 1940 Act does
offer certain investor protections, those
protections do not relate to mitigating
potential manipulation of the holdings
of an ETF in a way that warrants
distinction between Bitcoin Futures
ETFs and Spot Bitcoin ETPs. To be
clear, both the Exchange and Sponsor
believe that the CME Bitcoin Futures
market is a regulated market of
significant size and that such
manipulation concerns are mitigated, as
described extensively below. After
allowing the listing and trading of
Bitcoin Futures ETFs that hold
primarily CME Bitcoin Futures,
however, the only consistent outcome
would be approving Spot Bitcoin ETPs
on the basis that the CME Bitcoin
Futures market is a regulated market of
significant size. Including in the
analysis the significant and preventable
losses to U.S. investors that comes with
Bitcoin Futures ETFs, disapproving
Spot Bitcoin ETPs seems even more
arbitrary and capricious. Given the
current landscape, approving this
proposal (and others like it) and
allowing Spot Bitcoin ETPs to be listed
and traded alongside Bitcoin Futures
ETFs would establish a consistent
regulatory approach, provide U.S.
investors with choice in product
structures for bitcoin exposure, and
offer flexibility in the means of gaining
exposure to bitcoin through transparent,
regulated, U.S. exchange-listed vehicles.
Bitcoin Futures
CME began offering trading in CME
Bitcoin Futures in December 2017. Each
contract represents five bitcoin and is
based on the CME CF Bitcoin Reference
Rate.63 The contracts trade and settle
like other cash-settled commodity
futures contracts. Nearly every
measurable metric related to CME
Bitcoin Futures has trended consistently
up since launch and/or accelerated
upward in the past year, which is
captured in the following charts.
63 According to CME, the CME CF Bitcoin
Reference Rate aggregates the trade flow of major
bitcoin spot exchanges during a specific calculation
window into a once-a-day reference rate of the U.S.
dollar price of bitcoin. Calculation rules are geared
toward maximum transparency and real-time
replicability in underlying spot markets, including
Bitstamp, Coinbase, Gemini, itBit, and Kraken. For
additional information, refer to https://
www.cmegroup.com/trading/cryptocurrencyindices/cf-bitcoin-reference-rate.html?redirect=/
trading/cf-bitcoin-reference-rate.html.
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73367
Federal Register / Vol. 86, No. 245 / Monday, December 27, 2021 / Notices
Clvffi Bitcoin Futures Average Daily Volume and Open Interest
20.000
100,000
18,000
90,000
16,000
80.000
,...
70,000
"'0-=
~ 12,000
60,000
§
r:Q
.....
0
10,000
50,000
~
8,000
40.000
J!
ffl
6,000
30,000
14,000
·
~----~~
-~--~~~----·
~ - . c · . . .....
. ......
·~----~·····~-- -
"'
,...u
0
'J:!::
-~
~
~~
C"
ll4
4,000
20,000
2,000
10,000
0
0
■ Avg
Open Interest
According to the Sponsor, the
increase in the volume on the CME is
reflected in a higher proportion of the
bitcoin market share. This is illustrated
by plotting the proportion of monthly
volume traded in bitcoin on the CME 65
(categorized as regulated in the chart
and used as the numerator) in relation
to the total bitcoin market, which
comprises of the sum of the volume of
bitcoin futures on the CME and the spot
volume on cryptocurrency exchanges 66
(categorized as unregulated and used as
the denominator) from January 1, 2018
to December 1, 2021 illustrates this
point.
64 Unless otherwise noted, all data and analysis
presented in this section and referenced elsewhere
in the filing has been provided by the Sponsor.
65 Data on Bitcoin futures is obtained from
https://www.cmegroup.com/markets/
cryptocurrencies/bitcoin/bitcoin.volume.html.
66 Data on Bitcoin volume traded on
cryptocurrency exchanges is obtained from https://
www.cryptocompare.com.
Additional Analysis 64
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■ Avg Daily
73368
Federal Register / Vol. 86, No. 245 / Monday, December 27, 2021 / Notices
Proportion of Regulated BTC Market Share From January 1, 2018 to December 1, 2021
- · ~ BTC (%)
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from centralized exchanges, ETP
providers, and the CME from January
20, 2021 to December 1, 2021,67 the
Sponsor calculates the Pearson
correlation of returns 68 across these
markets and find a high degree of
correlation.
67 The calculation of correlations used the period
January 20, 2021 to December 1, 2021 as this is the
common period across all the exchanges and data
sources being analyzed.
68 The Pearson correlation is a measure of linear
association between two variables, and indicates
the magnitude as well as direction of this
relationship. The value can range between ¥1
(suggesting a strong negative association) and 1
(suggesting a strong positive association).
PO 00000
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Correlations are between 57% and
99%, with the latter found mainly
across centralized exchanges due to
their higher level of interconnectedness.
The lower correlations pertain mainly to
the ETPs, which are relatively newer
products and are mainly offered by a
few competing market makers who are
required to trade in large blocks, thus
making it economically infeasible to
capture small mispricings. As additional
investors and arbitrageurs enter the
market and capture the mispricing
opportunities between these markets, it
is likely that there will be much higher
levels of correlations across all markets.
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The proportion of volume traded on
the CME has increased from less than
5% at inception, to more than 20% over
three and a half years. Furthermore, the
CME market, as well as other cryptolinked markets, and the spot market are
highly correlated. In markets that are
globally and efficiently integrated, one
would expect that changes in prices of
an asset across all markets to be highly
correlated. The rationale behind this is
that quick and efficient arbitrageurs
would capture potentially profitable
opportunities, consequently converging
prices to the average intrinsic value very
rapidly.
Bitcoin markets exhibit a high degree
of correlation. Using daily Bitcoin prices
Federal Register / Vol. 86, No. 245 / Monday, December 27, 2021 / Notices
73369
Pairwise Correlation of Bitcoin Returns across Centralized Exchanges, ETPs, and the CME
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random variables change together. If two
returns series exhibit a high degree of
cokurtosis, this means that they tend to
undergo extreme positive and negative
changes simultaneously. A cokurtosis
value larger than +3 or less than ¥3 is
considered statistically significant. This
table shows that the level of cokurtosis
is positive and very high between all
market combinations,69 which suggests
69 The
cokurtosis was calculated using hourly
Bitcoin returns across centralized exchanges,
PO 00000
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that Bitcoin markets tend to move very
similarly especially for extreme price
deviations. These results present
evidence of a robust global Bitcoin
market that quickly reacts in a
unanimous manner to extreme price
movements across both the spot
markets, futures and ETP markets.
ETPs—21Shares Bitcoin ETP (Ticker: ABTC) and
VanEck Vectors Bitcoin ETN (Ticker: VBTC)—and
CME Bitcoin Futures.
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According to the Sponsor’s research,
this relationship holds true during
periods of extreme price volatility. This
implies that no single Bitcoin market
can deviate significantly from the
consensus for a prolonged period of
time, such that the global Bitcoin market
is sufficiently large and has an inherent
unique resistance to manipulation.
Hence, the Sponsor introduces a
statistical component called cokurtosis,
which measures to what extent two
73370
Federal Register / Vol. 86, No. 245 / Monday, December 27, 2021 / Notices
Cokurtosis of Bitcoin Retumsacross.Centralized. Exchanges. ETPs, and 1he CME
·~
~
~
(MW,
70 See Hu, Y., Hou, Y. and Oxley, L. (2019).
‘‘What role do futures markets play in Bitcoin
pricing? Causality, cointegration and price
discovery from a time-varying perspective’’
(available at: https://www.ncbi.nlm.nih.gov/pmc/
articles/PMC7481826/). This academic research
paper concludes that ‘‘There exist no episodes
where the Bitcoin spot markets dominates the price
discovery processes with regard to Bitcoin futures.
This points to a conclusion that the price formation
originates solely in the Bitcoin futures market. We
can, therefore, conclude that the Bitcoin futures
markets dominate the dynamic price discovery
process based upon time-varying information share
measures. Overall, price discovery seems to occur
in the Bitcoin futures markets rather than the
underlying spot market based upon a time-varying
perspective.’’
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Section 6(b)(5) and the Applicable
Standards
The Commission has approved
numerous series of Trust Issued
Receipts,71 including Commodity-Based
Trust Shares,72 to be listed on U.S.
national securities exchanges. In order
for any proposed rule change from an
exchange to be approved, the
Commission must determine that,
among other things, the proposal is
consistent with the requirements of
Section 6(b)(5) of the Act, specifically
including: (i) The requirement that a
national securities exchange’s rules are
designed to prevent fraudulent and
manipulative acts and practices; 73 and
71 See
Exchange Rule 14.11(f).
Trust Shares, as described in
Exchange Rule 14.11(e)(4), are a type of Trust
Issued Receipt.
73 As the Exchange has stated in a number of
other public documents, it continues to believe that
bitcoin is resistant to price manipulation and that
‘‘other means to prevent fraudulent and
manipulative acts and practices’’ exist to justify
dispensing with the requisite surveillance sharing
agreement. The geographically diverse and
continuous nature of bitcoin trading render it
difficult and prohibitively costly to manipulate the
price of bitcoin. The fragmentation across bitcoin
platforms, the relatively slow speed of transactions,
and the capital necessary to maintain a significant
presence on each trading platform make
72 Commodity-Based
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(ii) the requirement that an exchange
proposal be designed, in general, to
protect investors and the public interest.
The Exchange believes that this
proposal is consistent with the
requirements of Section 6(b)(5) of the
Act and that this filing sufficiently
demonstrates that the CME Bitcoin
Futures market represents a regulated
market of significant size and that, on
the whole, the manipulation concerns
previously articulated by the
manipulation of bitcoin prices through continuous
trading activity challenging. To the extent that there
are bitcoin exchanges engaged in or allowing wash
trading or other activity intended to manipulate the
price of bitcoin on other markets, such pricing does
not normally impact prices on other exchange
because participants will generally ignore markets
with quotes that they deem non-executable.
Moreover, the linkage between the bitcoin markets
and the presence of arbitrageurs in those markets
means that the manipulation of the price of bitcoin
price on any single venue would require
manipulation of the global bitcoin price in order to
be effective. Arbitrageurs must have funds
distributed across multiple trading platforms in
order to take advantage of temporary price
dislocations, thereby making it unlikely that there
will be strong concentration of funds on any
particular bitcoin exchange or OTC platform. As a
result, the potential for manipulation on a trading
platform would require overcoming the liquidity
supply of such arbitrageurs who are effectively
eliminating any cross-market pricing differences.
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The Sponsor further believes that
academic research corroborates the
overall trend outlined above and
supports the thesis that the CME Bitcoin
Futures pricing leads the spot market
and, thus, a person attempting to
manipulate the Shares would also have
to trade on that market to manipulate
the ETP. Specifically, the Sponsor
believes that such research supports the
evidence in the literature (highlighted
later on) that bitcoin futures lead the
bitcoin spot market in price formation.70
Federal Register / Vol. 86, No. 245 / Monday, December 27, 2021 / Notices
Commission are sufficiently mitigated to
the point that they are outweighed by
quantifiable investor protection issues
that would be resolved by approving
this proposal.
(i) Designed To Prevent Fraudulent and
Manipulative Acts and Practices
In order to meet this standard in a
proposal to list and trade a series of
Commodity-Based Trust Shares, the
Commission requires that an exchange
demonstrate that there is a
comprehensive surveillance-sharing
agreement in place 74 with a regulated
market of significant size. Both the
Exchange and CME are members of
ISG.75 The only remaining issue to be
addressed is whether the CME Bitcoin
Futures market constitutes a market of
significant size, which both the
Exchange and the Sponsor believe that
it does. The terms ‘‘significant market’’
and ‘‘market of significant size’’ include
a market (or group of markets) as to
which: (a) There is a reasonable
likelihood that a person attempting to
manipulate the ETP would also have to
trade on that market to manipulate the
ETP, so that a surveillance-sharing
agreement would assist the listing
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74 As previously articulated by the Commission,
‘‘The standard requires such surveillance-sharing
agreements since ‘‘they provide a necessary
deterrent to manipulation because they facilitate the
availability of information needed to fully
investigate a manipulation if it were to occur.’’ The
Commission has emphasized that it is essential for
an exchange listing a derivative securities product
to enter into a surveillance- sharing agreement with
markets trading underlying securities for the listing
exchange to have the ability to obtain information
necessary to detect, investigate, and deter fraud and
market manipulation, as well as violations of
exchange rules and applicable federal securities
laws and rules. The hallmarks of a surveillancesharing agreement are that the agreement provides
for the sharing of information about market trading
activity, clearing activity, and customer identity;
that the parties to the agreement have reasonable
ability to obtain access to and produce requested
information; and that no existing rules, laws, or
practices would impede one party to the agreement
from obtaining this information from, or producing
it to, the other party.’’ The Commission has
historically held that joint membership in the
Intermarket Surveillance Group (‘‘ISG’’) constitutes
such a surveillance sharing agreement. See Wilshire
Phoenix Disapproval.
75 For a list of the current members and affiliate
members of ISG, see www.isgportal.com.
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exchange in detecting and deterring
misconduct; and (b) it is unlikely that
trading in the ETP would be the
predominant influence on prices in that
market.76
The Commission has also recognized
that the ‘‘regulated market of significant
size’’ standard is not the only means for
satisfying Section 6(b)(5) of the act,
specifically providing that a listing
exchange could demonstrate that ‘‘other
means to prevent fraudulent and
manipulative acts and practices’’ are
sufficient to justify dispensing with the
requisite surveillance-sharing
agreement.77
(a) Manipulation of the ETP
The topic of price discovery in
Bitcoin markets, including both spot
and futures, has attracted the attention
of many researchers. Nevertheless,
despite the use of similar measures of
price discovery, the literature has
presented mixed evidence according to
analysis by the Sponsor.
On the one hand, an early study by
Corbet et al. (2018) 78 applied four
metrics of price discovery including the
information share approach of
Hasbrouck (1995),79 the component
share methodology of Gonzalo and
Granger (1995),80 the information
leadership approach of Yan and Zivot
(2010),81 and the information leadership
76 See
Wilshire Phoenix Disapproval.
Winklevoss Order at 37580. The
Commission has also specifically noted that it ‘‘is
not applying a ‘cannot be manipulated’ standard;
instead, the Commission is examining whether the
proposal meets the requirements of the Exchange
Act and, pursuant to its Rules of Practice, places the
burden on the listing exchange to demonstrate the
validity of its contentions and to establish that the
requirements of the Exchange Act have been met.’’
Id. at 37582.
78 Corbet S., Lucey B., Peat M., Vigne S. Bitcoin
futures—What use are they? Economics Letters.
2018;172:23–27.
79 Hasbrouck J. One security, many markets:
Determining the contributions to price discovery.
The Journal of Finance. 1995;50(4):1175–1199.
80 Gonzalo J., Granger C. Estimation of common
long-memory components in cointegrated systems.
Journal of Business & Economic Statistics.
1995;13(1):27–35.
81 Yan B., Zivot E. A structural analysis of price
discovery measures. Journal of Financial Markets.
2010;13(1):1–19.
77 See
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73371
share measure of Putnins (2013) 82
between the CME, CBOE, and spot
prices using data sampled on a oneminute frequency. The authors find that
price discovery is focused on the spot
market. Similar evidence is presented
by Baur and Dimpfl (2019),83 where the
authors use data sampled on a fiveminute interval and conclude that price
discovery occurs in the spot market.
On the other hand, a study by Kapar
and Olmo (2019) 84 finds contradictory
evidence using daily-sampled data,
concluding that the CME futures market
dominates price discovery based on the
approaches of Gonzalo and Granger
(1995) and Hasbrouck (1995). Similarly,
Akyildirim et al. (2019) 85 show that
Bitcoin futures play a significant role in
price discovery relative to the spot
market using the four previously
mentioned measures of price discovery.
One potential reason for the mixed
evidence, according to Hu et al. (2020) 86
is that cointegration relationships may
go undetected if the underlying model
formulation is constrained to be timeinvariant. As such, the authors apply
time-varying cointegrating coefficients
based on the works of Park and Hahn
(1999) 87 and Shi et al. (2018),88 and
conclude that futures prices Grangercause spot prices and that futures prices
dominate Bitcoin price discovery.
82 Putnin
¸ sˇ T.J. What do price discovery metrics
really measure? Journal of Empirical Finance.
2013;23:68–83.
83 Baur D.G., Dimpfl T. Price discovery in bitcoin
spot or futures? Journal of Futures Markets.
2019;39(7):803–817.
84 Kapar B., Olmo J. An analysis of price
discovery between Bitcoin futures and spot
markets. Economics Letters. 2019;174:62–64.
85 Akyildirim E., Corbet S., Katsiampa P., Kellard
N., Sensoy A. The development of bitcoin futures:
Exploring the interactions between cryptocurrency
derivatives. Finance Research Letters. 2019;34:1–9.
86 Hu, Yang et al. ‘‘What role do futures markets
play in Bitcoin pricing? Causality, cointegration and
price discovery from a time-varying perspective?.’’
International Review of Financial Analysis vol. 72
(2020): 101569.
87 Park J.Y., Hahn S.B. Cointegrating regressions
with time varying coefficients. Econometric Theory.
1999;15(5):664–703.
88 Shi S., Phillips P.C., Hurn S. Change detection
and the causal impact of the yield curve. Journal of
Time Series Analysis. 2018;39(6):966–987.
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Federal Register / Vol. 86, No. 245 / Monday, December 27, 2021 / Notices
Additionally, the Bitcoin futures
market is by orders of magnitude larger
than the entire spot market of all
cryptoassets in terms of traded volume.
According to a study by the Blockchain
Lab of Massachusetts Institute of
Technology, ‘‘the derivative market
leads price discovery of bitcoin more
frequently than the spot markets. The
spot market is more likely to indicate
the direction of the price movement
while the derivatives market is more
likely to lead the magnitude of the price
movement’’, says the report.89
The Bitcoin futures market has
processed more than $1 trillion in
futures volume per month since the start
of the year. In November 2021, Bitcoin
futures volume accounted for $1.58
trillion, while spot volume, in the same
time frame, amounted to $1.4 trillion
including both crypto-only and fiat
currency volumes of all cryptoassets,
not just Bitcoin. Namely, the Bitcoin
futures market is 12% larger than the
entire spot market in terms of volume
just in the last month. Over the past
three months, the average monthly spot
volume was $1.3 trillion while the
average Bitcoin futures volume was
significantly greater (approximately
30%) than the spot at $1.71 trillion.90
In the past twelve months, the average
monthly futures volume for Bitcoin was
$1.89 trillion, while the monthly spot
volume for all cryptoassets was $1.24
trillion.91 In other words, since the start
of the year, the Bitcoin futures market
is 52% larger than the spot volume of
all cryptoassets traded on exchanges. As
of December 2, 2021, the ratio of Bitcoin
spot vs futures volume currently stands
at 0.17.92 In other words, the Bitcoin
spot market accounts for 17% of the
bitcoin futures market in volume terms.
Where CME Bitcoin Futures lead the
price in the spot market such that a
potential manipulator of the bitcoin spot
market (beyond just the constituents of
the Index 93) would have to participate
in the CME Bitcoin Futures market, it
follows that a potential manipulator of
the Shares would similarly have to
transact in the CME Bitcoin Futures
market because the Index is based on
spot prices.
Further, the Trust only allows for inkind creation and redemption, which, as
further described below, reduces the
potential for manipulation of the Shares
through manipulation of the Index or
any of its individual constituents, again
emphasizing that a potential
manipulator of the Shares would have
to manipulate the entirety of the bitcoin
spot market, which is led by the CME
Bitcoin Futures market. As such, the
Exchange believes that part (a) of the
significant market test outlined above is
satisfied and that common membership
in ISG between the Exchange and CME
would assist the listing exchange in
detecting and deterring misconduct in
the Shares.
(a) Predominant Influence on Prices in
Spot and Bitcoin Futures
The Exchange and Sponsor also
believe that trading in the Shares would
not be the predominant force on prices
in the CME Bitcoin Futures market or
spot market for a number of reasons,
including the significant volume in the
CME Bitcoin Futures market, the size of
bitcoin’s market cap, and the significant
liquidity available in the spot market.
Moreover, the fact that the Shares are
created in-kind means that they are fully
collateralized and should remain close
to NAV given that investors and market
makers would arbitrage any significant
price deviations between the price of
the Shares and prices in the spot
market. In addition to the CME Bitcoin
Futures market data points cited above,
the spot market for bitcoin is also very
liquid. According to data from
CoinRoutes from February 2021, the
cost to buy or sell $5 million worth of
bitcoin averages roughly 10 basis points
with a market impact of 30 basis
points.94 For a $10 million market order,
the cost to buy or sell is roughly 20 basis
points with a market impact of 50 basis
points. Stated another way, a market
participant could enter a market buy or
sell order for $10 million of bitcoin and
only move the market 0.5%. More
strategic purchases or sales (such as
using limit orders and executing
through OTC bitcoin trade desks) would
likely have less obvious impact on the
market—which is consistent with
MicroStrategy, Tesla, and Square being
able to collectively purchase billions of
dollars in bitcoin. As such, the
combination of CME Bitcoin Futures
leading price discovery, the overall size
of the bitcoin market, and the ability for
market participants, including
authorized participants creating and
redeeming in-kind with the Trust, to
buy or sell large amounts of bitcoin
without significant market impact will
help prevent the Shares from becoming
the predominant force on pricing in
either the bitcoin spot or CME Bitcoin
Futures markets, satisfying part (b) of
the test outlined above.
(b) Other Means to Prevent Fraudulent
and Manipulative Acts and Practices
As noted above, the Commission also
permits a listing exchange to
demonstrate that ‘‘other means to
prevent fraudulent and manipulative
acts and practices’’ are sufficient to
justify dispensing with the requisite
surveillance-sharing agreement. The
Exchange and Sponsor believe that such
conditions are present. According to the
Sponsor, a significant portion of the
considerations around Bitcoin pricing
have historically stemmed from a lack of
consistent pricing across markets.
However, according to the Sponsor’s
research, cross-exchange spreads in
Bitcoin have been declining consistently
over the past several years. Based on the
daily Bitcoin price series from several
popular centralized exchanges 95 the
Sponsor has calculated the largest crossexchange percentage spread (labelled as
%C-Spread) by deducting the highest or
maximum price (P) at time t from the
lowest or minimum, and dividing by the
lowest across all exchanges (i).
Formally, this is expressed as:
%C - Spread,, == m~(P.,t) - niin(P~i)
89 Eguren, Luisa, Fondufe, Bryan, Hogan, Caleb,
and Matthews, Claire. ‘‘Price Discovery in the
Bitcoin Spot and Derivatives Markets’’
Massachusetts Institute of Technology Blockchain
Lab Program, May 15th, 2020.
90 According to data from CryptoCompare and
Coinglass.
91 Id.
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92 Id.
93 As
further described below, the ‘‘Index’’ for the
Fund is the S&P Bitcoin Index. The current
exchange composition of the Index is Binance,
Bitfinex, Bitflyer, Bittrex, Bitstamp, Coinbase Pro,
Gemini, HitBTC, Huobi, Kraken, KuCoin, and
Poloniex.
94 These statistics are based on samples of bitcoin
liquidity in USD (excluding stablecoins or Euro
PO 00000
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liquidity) based on executable quotes on Coinbase
Pro, Gemini, Bitstamp, Kraken, LMAX Exchange,
BinanceUS, and OKCoin during February 2021.
95 The exchanges include Binance, Bitfinex,
Bithumb, Bitstamp, Cexio, Coinbase, Coinone,
Gateio, Gemini, HuobiPro, itBit, Kraken, Kucoin,
and OKEX.
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Federal Register / Vol. 86, No. 245 / Monday, December 27, 2021 / Notices
73373
more efficient as cross-exchange prices
have converged over time.
The results show a clear and sharp
decline in the %C-Spread, indicating
that the Bitcoin market has become
C-Spread of Bltcoln Prices in Percent(%) across Exchanges From January 1, 2017 to December 1, 2021
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In addition, the magnitude of outlier
% C-spreads has also declined over
time. This boxplot shows that, not only
did the median value of the %C-Spread
decline over time, but also the extreme
VerDate Sep<11>2014
19:11 Dec 23, 2021
Jkt 256001
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outlier values. For instance, the
maximum %C-Spread for 2017, 2018,
2019, 2020, and 2021 are 29.14%,
14.45%, 8.54%, 6.04%, and 7.1%,
respectively. The market has
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experienced a 38% year-on-year decline
in the annual median %C-Spread
indicating a greater degree of Bitcoin
price convergence across exchanges and
a more efficient market.
E:\FR\FM\27DEN1.SGM
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------------ ----- --------~-,l;u, io11
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73374
Federal Register / Vol. 86, No. 245 / Monday, December 27, 2021 / Notices
Boxplot of C~Spread (in%) of Bitcoin across Exchanges From January 1, 2017 to December 1, 2021
30; ----------
l l
2017
2018
khammond on DSKJM1Z7X2PROD with NOTICES
The dispersion (s) of Bitcoin Prices
has also declined over the same period.
This chart shows the 7-day rolling
standard deviation of the %C-Spread
from January 1, 2017 to December 1,
2021. The Sponsor’s research finds that
the dispersion in Bitcoin prices across
all exchanges has decreased over time,
VerDate Sep<11>2014
19:11 Dec 23, 2021
Jkt 256001
indicating that prices on all the
considered exchanges converge towards
the intrinsic average much more
efficiently. This suggests that the market
has become better at quickly reaching a
consensus price for Bitcoin.
As the pricing of the Bitcoin market
becomes increasingly efficient, pricing
PO 00000
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methodologies become more accurate
and less susceptible to manipulation.
The clustering of prices across a variety
of sources within the primary market
points towards robust price discovery
mechanisms and efficient arbitrage.
E:\FR\FM\27DEN1.SGM
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5
Federal Register / Vol. 86, No. 245 / Monday, December 27, 2021 / Notices
73375
7~Day Standard Deviation (a) of C•Spread across Exchanges From January 1, 2017 to December 1, 2021
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participants, and subsequently, the total
dollar amount allocated to this market.
This can be illustrated by the following
chart, which shows the number of
One factor that has contributed to the
overall efficiency, price discovery, and
lower volatility of the Bitcoin market is
the increase in the number of
wallet addresses holding Bitcoin from
March 2012 to December 2021.
NUMBER OF BITCOIN ADDRESSES WITH BALANCE> 0
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19:11 Dec 23, 2021
Jkt 256001
within the first 100 price levels across
several of the largest centralized crypto
exchanges from October 2020 to April
2021. Specifically, the dollar notional
that is allocated closest to the mid price
has increased from around $230 million
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to $860 million over that period,
representing a 270% increase in half a
year.
E:\FR\FM\27DEN1.SGM
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The increase in the number of
participants has manifested itself in
higher liquidity in the market. This is
exhibited in the following chart, which
shows the daily aggregated dollar
notional of the bid and ask order books
VerDate Sep<11>2014
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COINMETRICS
73376
Federal Register / Vol. 86, No. 245 / Monday, December 27, 2021 / Notices
Daily Aggregated Bid and Ask Order Books of BTC/USO(T) across Binance, Bitfinex, Cexio,
Geminl, Huob~ Ibit, Kraken and Okex for the First 100 Price Levels
0.-98:_
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An increased notional order book
suggests that there is a higher degree of
consensus among investors regarding
the price of Bitcoin. Moreover, this
market characteristic hampers any
attempt of price manipulation by any
single large entity.
As a robustness check, the Sponsor
investigates whether the dollar notional
in the order book changes significantly
prior to, and post an extreme price
event. Specifically, for events
constituting large increases in the price
of Bitcoin, if the ask (or sell) side of the
order book experiences a significant
shrinkage in the dollar notional right
before the event, then this may be an
indication of market manipulation
whereby the ask-side of the order book
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Jan .2021
Oec.202.0
MID-4021
becomes sufficiently thin for a large
order to move the price upward.
Similarly, for events constituting large
decreases in the price of Bitcoin, if the
bid (or buy) side of the order book
experiences a significant shrinkage in
the dollar notional prior to such events,
then this may be an indication of market
manipulation whereby the thinner bidside of the order book may potentially
lead to significant downward price
movements.
Using the top and bottom 0.1% of
hourly price changes from October 2020
to April 2021 as events of extreme
upward and downward market
movements, respectively, the Sponsor
plotted the bid (left charts) and ask
(right charts) dollar notional of the
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Mar-2021
~2021
Bitcoin order book within a six-hour
window around these events in the
chart below, which shows the results for
extreme upward price movements. The
extreme price events (indicated by the
dashed green lines) perfectly coincide
with the decrease in dollar notional of
the ask-side of the order book. This is
indicative of an efficient market,
whereby large market movements are
quickly and dynamically absorbed by a
thick orderbook. Moreover, the dollar
notional on the ask side after the event
is replenished back to its pre-event
level, which implies that market
participants’ reactions are quick to
restore the market back to its
equilibrium level.
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Federal Register / Vol. 86, No. 245 / Monday, December 27, 2021 / Notices
73377
Median Hourly Order Book Dollar Notional of Bid (Left Charts) and Ask {Right Charts) on
Six Hours Pre and Post Extreme Price Deviations in the Top 0.1%
.
2021-01-11 07:00:00
2021-01-11 07:00:00
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2021-01-29 08:00:00
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khammond on DSKJM1Z7X2PROD with NOTICES
The same results and conclusions are
found for extreme downward price
movements. The charts below show that
such price events perfectly coincide
19:11 Dec 23, 2021
12:00
.
2021-02-23 20:00:00
-
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:ZOOM!
VerDate Sep<11>2014
09:00
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06:00
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18:00
with shrinkages on the bid side of the
order book (left charts), indicating an
efficient and dynamic Bitcoin market.
Moreover, the bid-side of the order book
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after the event is also restored back to
its pre-event level, which suggests that
the market is symmetrically efficient in
moving back to equilibrium.
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73378
Federal Register / Vol. 86, No. 245 / Monday, December 27, 2021 / Notices
Median Hourly Order Book Dollar Notional of Bid (Left Charts) and Ask (Right Charts) on
Six Hours Pre and Post Extreme Price Deviations in the Bottom 0.1 %
.
2021-01-02 20:00:00
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Finally, offering only in-kind creation
and redemption will provide unique
protections against potential attempts to
manipulate the Shares. While the
Sponsor believes that the Index which
it uses to value the Trust’s bitcoin is
designed to reduce the risk of
manipulation based on the methodology
further described below, the fact that
creations and redemptions are only
available in-kind makes the
manipulability of the Index significantly
less important. Specifically, because the
Trust will not accept cash to buy bitcoin
in order to create new shares or, barring
a forced redemption of the Trust or
under other extraordinary
circumstances, be forced to sell bitcoin
to pay cash for redeemed shares, the
price that the Sponsor uses to value the
Trust’s bitcoin is not particularly
important.96 When authorized
participants are creating with the Trust,
they need to deliver a certain number of
bitcoin per share (regardless of the
valuation used) and when they’re
redeeming, they can similarly expect to
receive a certain number of bitcoin per
share. As such, even if the price used to
value the Trust’s bitcoin is manipulated
(which the Sponsor believes that its
methodology is resistant to), the ratio of
96 While the Index will not be particularly
important for the creation and redemption process,
it will be used for calculating fees.
VerDate Sep<11>2014
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18:00
21:00
12:00
Jan 11, 2021
15:00
bitcoin per Share does not change and
the Trust will either accept (for
creations) or distribute (for
redemptions) the same number of
bitcoin regardless of the value. This not
only mitigates the risk associated with
potential manipulation, but also
discourages and disincentivizes
manipulation of the Index because there
is little financial incentive to do so.
(ii) Designed To Protect Investors and
the Public Interest
The Exchange believes that the
proposal is designed to protect investors
and the public interest. Over the past
1.5 years, U.S. investor exposure to
bitcoin through OTC Bitcoin Funds has
grown into the tens of billions of dollars
and more than a billion dollars of
exposure through Bitcoin Futures ETFs.
With that growth, so too has grown the
quantifiable investor protection issues
to U.S. investors through roll costs for
Bitcoin Futures ETFs and premium/
discount volatility and management fees
for OTC Bitcoin Funds. The Exchange
believes that the concerns related to the
prevention of fraudulent and
manipulative acts and practices have
been sufficiently addressed to be
consistent with the Act. As such, the
Exchange believes that approving this
proposal (and comparable proposals)
provides the Commission with the
opportunity to allow U.S. investors with
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18:00
21:00
access to bitcoin in a regulated and
transparent exchange-traded vehicle
that would act to limit risk to U.S.
investors by: (i) Reducing premium and
discount volatility; (ii) reducing
management fees through meaningful
competition; (iii) reducing risks and
costs associated with investing in
Bitcoin Futures ETFs and operating
companies that are imperfect proxies for
bitcoin exposure; and (iv) providing an
alternative for investors to selfcustodying spot bitcoin.
ARK 21Shares Bitcoin ETF
Delaware Trust Company is the
trustee (‘‘Trustee’’). The Bank of New
York Mellon will be the administrator
(‘‘Administrator’’) and transfer agent
(‘‘Transfer Agent’’). Foreside Global
Services, LLC will be the marketing
agent (‘‘Marketing Agent’’) in
connection with the creation and
redemption of ‘‘Baskets’’ of Shares. ARK
Investment Management LLC (‘‘ARK’’)
will provide assistance in the marketing
of the Shares. Coinbase Custody Trust
Company, LLC, a third-party regulated
custodian (the ‘‘Custodian’’), will be
responsible for custody of the Trust’s
bitcoin.
According to the Registration
Statement, each Share will represent a
fractional undivided beneficial interest
in the bitcoin held by the Trust. The
Trust’s assets will consist of bitcoin
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Federal Register / Vol. 86, No. 245 / Monday, December 27, 2021 / Notices
held by the Custodian on behalf of the
Trust. The Trust generally does not
intend to hold cash or cash equivalents.
However, there may be situations where
the Trust will unexpectedly hold cash
on a temporary basis.
According to the Registration
Statement, the Trust is neither an
investment company registered under
the Investment Company Act of 1940, as
amended,97 nor a commodity pool for
purposes of the Commodity Exchange
Act (‘‘CEA’’), and neither the Trust nor
the Sponsor is subject to regulation as
a commodity pool operator or a
commodity trading adviser in
connection with the Shares.
When the Trust sells or redeems its
Shares, it will do so in ‘‘in-kind’’
transactions in blocks of 5,000 Shares (a
‘‘Creation Basket’’) at the Trust’s NAV.
Authorized participants will deliver, or
facilitate the delivery of, bitcoin to the
Trust’s account with the Custodian in
exchange for Shares when they
purchase Shares, and the Trust, through
the Custodian, will deliver bitcoin to
such authorized participants when they
redeem Shares with the Trust.
Authorized participants may then offer
Shares to the public at prices that
depend on various factors, including the
supply and demand for Shares, the
value of the Trust’s assets, and market
conditions at the time of a transaction.
Shareholders who buy or sell Shares
during the day from their broker may do
so at a premium or discount relative to
the NAV of the Shares of the Trust.
Investment Objective
According to the Registration
Statement and as further described
below, the investment objective of the
Trust is to seek to track the performance
of bitcoin, as measured by the
performance of the S&P Bitcoin Index
(the ‘‘Index’’), adjusted for the Trust’s
expenses and other liabilities. In seeking
to achieve its investment objective, the
Trust will hold bitcoin and will value
the Shares daily based on the Index. The
Trust will process all creations and
redemptions in-kind in transactions
with authorized participants. The Trust
is not actively managed.
khammond on DSKJM1Z7X2PROD with NOTICES
The Index
As described in the Registration
Statement, the Fund will use the Index
to calculate the Trust’s NAV. The Index
is a U.S. dollar-denominated composite
reference rate for the price of bitcoin.
There is no component other than
bitcoin in the Index. The underlying
exchanges are sourced by Lukka Inc.
97 15
U.S.C. 80a–1.
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19:11 Dec 23, 2021
Jkt 256001
(the ‘‘Data Provider’’) 98 based on a
combination of qualitative and
quantitative metrics to analyze a
comprehensive data set and evaluate
factors including legal/regulation, KYC/
transaction risk, data provision,
security, team/exchange, asset quality/
diversity, market quality and negative
events. The Index price is currently
sourced from the following set of
exchanges: Binance, Bitfinex, Bitflyer,
Bittrex, Bitstamp, Coinbase Pro, Gemini,
HitBTC, Huobi, Kraken, KuCoin, and
Poloniex. As the digital ecosystem
continues to evolve, the Data Provider
can add additional or remove exchanges
based on the processes established by
Lukka’s Pricing Integrity Oversight
Board.99
The Index methodology is intended to
determine the fair market value
(‘‘FMV’’) for bitcoin by determining the
principal market for bitcoin as of 4 p.m.
ET daily. The Index methodology uses
a ranking approach that considers
several exchange characteristics
including oversight and intra-day
trading volume. Specifically, to rank the
credibility and quality of each exchange,
the Data Provider dynamically assigns a
Base Exchange Score (‘‘BES’’) score to
the key characteristics for each
exchange.
The BES reflects the fundamentals of
an exchange and determines which
exchange should be designated as the
principal market at a given point of
time. This score is determined by
computing a weighted average of the
values assigned to four different
exchange characteristics. The exchange
characteristics are as follows: (i)
Oversight; (ii) microstructure efficiency;
(iii) data transparency and (iv) data
integrity.
Oversight
This score reflects the rules in place
to protect and to give access to the
investor. The score assigned for
exchange oversight will depend on
parameters such as jurisdiction,
regulation, ‘‘Know Your Customer and
Anti-Money Laundering Compliance’’
98 Lukka is an independent third-party digital
asset data company engaged by the Sponsor to
provide fair market value (FMV) bitcoin prices. This
price, commercially available from Lukka, will form
the basis for determining the value of the Trust’s
Bitcoin Holdings. Lukka is not affiliated with the
Trust or the Sponsor other than through a
commercial relationship. All of Lukka’s products
are also SOC 1 and 2 Type 2 certified.
99 The purpose of Lukka’s Pricing Integrity
Oversight Board is to ensure (i) the integrity and
validity of the Lukka pricing and valuation
products and (ii) the Lukka pricing and valuation
products remain fit for purpose in the rapidly
evolving market and corresponding regulatory
environments.
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73379
(KYC/AML), among other proprietary
factors.
Microstructure Efficiency
The effective bid ask spread is used as
a proxy for efficiency. For example, for
each exchange and currency pair, the
Data Provider takes an estimate of the
‘‘effective spread’’ relative to the price.
Data Transparency
Transparency is the term used for a
quality score that is determined by the
level of detail of the data offered by an
exchange. The most transparent
exchanges offer order-level data,
followed by order book, trade-level, and
then candles.
Data Integrity
Data integrity reconstructs orders to
ensure the transaction amounts that
make up an order equal the overall
order amount matching on both a
minute and daily basis. This data would
help expose nefarious actions such as
wash trading or other potential
manipulation of data.
The methodology then applies a fivestep weighting process for identifying a
principal exchange and the last price on
that exchange. Following this weighting
process, an executed exchange price is
assigned for bitcoin as of 4 p.m. ET. The
Index price is determined according to
the following procedure:
• Step 1: Assign each exchange a Base
Exchange Score (‘‘BES’’) reflecting static
exchange characteristics such as
oversight, microstructure and
technology, as discussed below.
• Step 2: Adjust the BES based on the
relative monthly volume each exchange
services. This new score is the Volume
Adjusted Score (‘‘VAS’’).
• Step 3: Decay the VAS based on the
time passed since the last trade on the
exchange. Here, the Data Provider is
assessing the level of activity in the
market by considering the frequency
(volume) of trades. The decay factor
reflects the time since the last trade on
the exchange. This is the final Decayed
Volume Adjusted Score (‘‘DVAS’’),
which tracks the freshness of the data by
tracking most recent trades.
• Step 4: Rank the exchanges by the
DVAS score and designate the highestranking exchange as the principal
market for that point in time. The
principal market is the exchange with
the highest DVAS.
• Step 5: After selecting a primary
exchange, an executed exchange price is
used for bitcoin representing FMV at 4
p.m. ET. The Data Provider takes the
last traded prices at that moment in time
on that trading venue for the relevant
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73380
Federal Register / Vol. 86, No. 245 / Monday, December 27, 2021 / Notices
pair (Bitcoin/USD) when determining
the Index price.
As discussed in the Registration
Statement, the fact that there are
multiple bitcoin spot markets that may
contribute prices to the Index price
makes manipulation more difficult in a
well-arbitraged and fractured market, as
a malicious actor would need to
manipulate multiple spot markets
simultaneously to impact the Index
price, or dramatically skew the
historical distribution of volume
between the various exchanges.
The Data Provider has designed a
series of automated algorithms designed
to supplement the core Lukka Prime
Methodology in enhancing the ability to
detect potentially anomalous price
activity which could be detrimental to
the goal of obtaining a Fair Market
Value price that is representative of the
market at a point in time.100
In addition to the automated
algorithms, the Data Provider has
dedicated resources and has established
committees to ensure all prices are
representative of the market. Any price
challenges will result in an independent
analysis of the price. This includes
assessing whether the price from the
selected exchange is biased according to
analyses designed to recognize patterns
consistent with manipulative activity,
such as a quick reversion to previous
traded levels following a sharp price
change or any significant deviations
from the volume weighted average price
on a particular exchange or pricing on
any other exchange included in the
Lukka Prime eligibility universe.
Policies and procedures for any
adjustments to prices or changes to core
parameters (e.g., exchange selection) are
described in the Lukka Price Integrity
Manual.101
Upon detection or external referral of
suspect manipulative activities, the case
is raised to the Price Integrity Oversight
Board. These checks occur on an ongoing, intraday basis and any
investigations are typically resolved
promptly, in clear cases within minutes
and in more complex cases same
business day. The evidence uncovered
shall be turned over to the Data
Provider’s Price Integrity Oversight
Board for final decision and action. The
Price Integrity Oversight Board may
choose to pick an alternative primary
market and may exclude such market
from future inclusion in the Index
100 Upon request, Lukka can provide additional
information and detail to the Commission regarding
the algorithms and data quality checks that are put
in place, with confidential treatment requested.
101 Upon request, Lukka can provide the
Commission the Lukka Pricing Integrity Manual,
with confidential treatment requested.
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19:11 Dec 23, 2021
Jkt 256001
methodology or choose to stand by the
original published price upon fully
evaluating all available evidence. It may
also initiate an investigation of prior
prices from such markets and shall
evaluate evidence presented on a caseby-case basis.
After the Lukka Prime price is
generated, the S&P DJI (‘‘The Index
Provider’’) performs independent
quality checks as a second layer of
validation to those employed by the
Data Provider, including checks against
assets with large price movements,
assets with missing prices, assets with
zero prices, assets with unchanged
prices, assets that have ceased pricing
and assets where the price does not
match the Lukka Prime primary
exchange. The Index Provider may
submit a price challenge to Lukka if any
of the checks listed above are found to
be material. Lukka will perform an
independent review of the price
challenge to ensure the price is
representative of the fair value of a
particular cryptocurrency. If there is a
change, the process will follow that
described in the Recalculation Policy
found on the The Index Provider Digital
Assets Indices Policies & Practices and
Index Mathematics Methodology.
In addition, The Index Provider
currently provides the below additional
quality assurance mechanisms with
respect to crypto price validation. These
checks are based on current market
conditions, internal system processes
and other assessments. The Index
Provider reserves the right within its
sole discretion to supplement, modify
and/or remove individual checks and/or
the parameters used within the checks,
at any time without notice.
Crypto Price and Exchange Validation
• Check for any assets with no price
received from Lukka;
• Check for any assets with a zero
price received from Lukka;
• Check for any assets with a large
change from the previous day. (Outliers
+/¥ 40%);
• Check for any assets with a stale
price, aggregating the number of days
the price remains stale;
• Confirm the Lukka price matches
the Lukka Prime primary exchange
price;
• Confirm the Lukka price is
consistent with other Lukka Prime
exchange prices;
• Check the volume of the Lukka
Prime exchanges and challenge the
Lukka primary exchange if the exchange
is not within the top percentile of the
trading volume for that asset;
• Aggregation of Lukka Prime
primary exchange changes.
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Availability of Information
In addition to the price transparency
of the Index, the Trust will provide
information regarding the Trust’s
bitcoin holdings as well as additional
data regarding the Trust. The Trust will
provide an Intraday Indicative Value
(‘‘IIV’’) per Share updated every 15
seconds, as calculated by the Exchange
or a third-party financial data provider
during the Exchange’s Regular Trading
Hours (9:30 a.m. to 4:00 p.m. E.T.). The
IIV will be calculated by using the prior
day’s closing NAV per Share as a base
and updating that value during Regular
Trading Hours to reflect changes in the
value of the Trust’s bitcoin holdings
during the trading day.
The IIV disseminated during Regular
Trading Hours should not be viewed as
an actual real-time update of the NAV,
which will be calculated only once at
the end of each trading day. The IIV will
be widely disseminated on a per Share
basis every 15 seconds during the
Exchange’s Regular Trading Hours by
one or more major market data vendors.
In addition, the IIV will be available
through on-line information services.
The website for the Trust, which will
be publicly accessible at no charge, will
contain the following information: (a)
The current NAV per Share daily and
the prior business day’s NAV and the
reported closing price; (b) the BZX
Official Closing Price 102 in relation to
the NAV as of the time the NAV is
calculated and a calculation of the
premium or discount of such price
against such NAV; (c) data in chart form
displaying the frequency distribution of
discounts and premiums of the Official
Closing Price against the NAV, within
appropriate ranges for each of the four
previous calendar quarters (or for the
life of the Trust, if shorter); (d) the
prospectus; and (e) other applicable
quantitative information. The Trust will
also disseminate the Trust’s holdings on
a daily basis on the Trust’s website. The
price of bitcoin will be made available
by one or more major market data
vendors, updated at least every 15
seconds during Regular Trading Hours.
Information about the Index, including
key elements of how the Index is
calculated, will be publicly available at
https://www.spglobal.com/spdji/en/
indices/digital-assets/sp-bitcoin-index//.
The NAV for the Trust will be
calculated by the Administrator once a
day and will be disseminated daily to
all market participants at the same time.
Quotation and last-sale information
102 As defined in Rule 11.23(a)(3), the term ‘‘BZX
Official Closing Price’’ shall mean the price
disseminated to the consolidated tape as the market
center closing trade.
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regarding the Shares will be
disseminated through the facilities of
the Consolidated Tape Association
(‘‘CTA’’).
Quotation and last sale information
for bitcoin is widely disseminated
through a variety of major market data
vendors, including Bloomberg and
Reuters, as well as the Index.
Information relating to trading,
including price and volume
information, in bitcoin is available from
major market data vendors and from the
exchanges on which bitcoin are traded.
Depth of book information is also
available from bitcoin exchanges. The
normal trading hours for bitcoin
exchanges are 24 hours per day, 365
days per year.
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Net Asset Value
NAV means the total assets of the
Trust including, but not limited to, all
bitcoin and cash less total liabilities of
the Trust, each determined on the basis
of generally accepted accounting
principles. The Administrator
determines the NAV of the Trust on
each day that the Exchange is open for
regular trading, as promptly as practical
after 4:00 p.m. EST. The NAV of the
Trust is the aggregate value of the
Trust’s assets less its estimated accrued
but unpaid liabilities (which include
accrued expenses). In determining the
Trust’s NAV, the Administrator values
the bitcoin held by the Trust based on
the price set by the Index as of 4:00 p.m.
EST. The Administrator also determines
the NAV per Share.
Creation and Redemption of Shares
According to the Registration
Statement, on any business day, an
authorized participant may place an
order to create one or more baskets.
Purchase orders must be placed by 4:00
p.m. Eastern Time, or the close of
regular trading on the Exchange,
whichever is earlier. The day on which
an order is received is considered the
purchase order date. The total deposit of
bitcoin required is an amount of bitcoin
that is in the same proportion to the
total assets of the Trust, net of accrued
expenses and other liabilities, on the
date the order to purchase is properly
received, as the number of Shares to be
created under the purchase order is in
proportion to the total number of Shares
outstanding on the date the order is
received. Each night, the Sponsor will
publish the amount of bitcoin that will
be required in exchange for each
creation order. The Administrator
determines the required deposit for a
given day by dividing the number of
bitcoin held by the Trust as of the
opening of business on that business
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day, adjusted for the amount of bitcoin
constituting estimated accrued but
unpaid fees and expenses of the Trust
as of the opening of business on that
business day, by the quotient of the
number of Shares outstanding at the
opening of business divided by 5,000.
The procedures by which an authorized
participant can redeem one or more
Creation Baskets mirror the procedures
for the creation of Creation Baskets.
Rule 14.11(e)(4)—Commodity-Based
Trust Shares
The Shares will be subject to BZX
Rule 14.11(e)(4), which sets forth the
initial and continued listing criteria
applicable to Commodity-Based Trust
Shares. The Exchange will obtain a
representation that the Trust’s NAV will
be calculated daily and that these values
and information about the assets of the
Trust will be made available to all
market participants at the same time.
The Exchange notes that, as defined in
Rule 14.11(e)(4)(C)(i), the Shares will be:
(a) Issued by a trust that holds a
specified commodity 103 deposited with
the trust; (b) issued by such trust in a
specified aggregate minimum number in
return for a deposit of a quantity of the
underlying commodity; and (c) when
aggregated in the same specified
minimum number, may be redeemed at
a holder’s request by such trust which
will deliver to the redeeming holder the
quantity of the underlying commodity.
Upon termination of the Trust, the
Shares will be removed from listing.
The Trustee, Delaware Trust Company,
is a trust company having substantial
capital and surplus and the experience
and facilities for handling corporate
trust business, as required under Rule
14.11(e)(4)(E)(iv)(a) and that no change
will be made to the trustee without prior
notice to and approval of the Exchange.
The Exchange also notes that, pursuant
to Rule 14.11(e)(4)(F), neither the
Exchange nor any agent of the Exchange
shall have any liability for damages,
claims, losses or expenses caused by
any errors, omissions or delays in
calculating or disseminating any
underlying commodity value, the
current value of the underlying
commodity required to be deposited to
the Trust in connection with issuance of
Commodity-Based Trust Shares;
resulting from any negligent act or
omission by the Exchange, or any agent
of the Exchange, or any act, condition or
cause beyond the reasonable control of
103 For purposes of Rule 14.11(e)(4), the term
commodity takes on the definition of the term as
provided in the Commodity Exchange Act. As noted
above, the CFTC has opined that Bitcoin is a
commodity as defined in Section 1a(9) of the
Commodity Exchange Act. See Coinflip.
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73381
the Exchange, its agent, including, but
not limited to, an act of God; fire; flood;
extraordinary weather conditions; war;
insurrection; riot; strike; accident;
action of government; communications
or power failure; equipment or software
malfunction; or any error, omission or
delay in the reports of transactions in an
underlying commodity. Finally, as
required in Rule 14.11(e)(4)(G), the
Exchange notes that any registered
market maker (‘‘Market Maker’’) in the
Shares must file with the Exchange in
a manner prescribed by the Exchange
and keep current a list identifying all
accounts for trading in an underlying
commodity, related commodity futures
or options on commodity futures, or any
other related commodity derivatives,
which the registered Market Maker may
have or over which it may exercise
investment discretion. No registered
Market Maker shall trade in an
underlying commodity, related
commodity futures or options on
commodity futures, or any other related
commodity derivatives, in an account in
which a registered Market Maker,
directly or indirectly, controls trading
activities, or has a direct interest in the
profits or losses thereof, which has not
been reported to the Exchange as
required by this Rule. In addition to the
existing obligations under Exchange
rules regarding the production of books
and records (see, e.g., Rule 4.2), the
registered Market Maker in CommodityBased Trust Shares shall make available
to the Exchange such books, records or
other information pertaining to
transactions by such entity or registered
or non-registered employee affiliated
with such entity for its or their own
accounts for trading the underlying
physical commodity, related commodity
futures or options on commodity
futures, or any other related commodity
derivatives, as may be requested by the
Exchange.
Trading Halts
With respect to trading halts, the
Exchange may consider all relevant
factors in exercising its discretion to
halt or suspend trading in the Shares.
The Exchange will halt trading in the
Shares under the conditions specified in
BZX Rule 11.18. Trading may be halted
because of market conditions or for
reasons that, in the view of the
Exchange, make trading in the Shares
inadvisable. These may include: (1) The
extent to which trading is not occurring
in the bitcoin underlying the Shares; or
(2) whether other unusual conditions or
circumstances detrimental to the
maintenance of a fair and orderly
market are present. Trading in the
Shares also will be subject to Rule
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14.11(e)(4)(E)(ii), which sets forth
circumstances under which trading in
the Shares may be halted.
Trading Rules
The Exchange deems the Shares to be
equity securities, thus rendering trading
in the Shares subject to the Exchange’s
existing rules governing the trading of
equity securities. BZX will allow trading
in the Shares during all trading sessions
on the Exchange. The Exchange has
appropriate rules to facilitate
transactions in the Shares during all
trading sessions. As provided in BZX
Rule 11.11(a), the minimum price
variation for quoting and entry of orders
in securities traded on the Exchange is
$0.01 where the price is greater than
$1.00 per share or $0.0001 where the
price is less than $1.00 per share.
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Surveillance
The Exchange believes that its
surveillance procedures are adequate to
properly monitor the trading of the
Shares on the Exchange during all
trading sessions and to deter and detect
violations of Exchange rules and the
applicable federal securities laws.
Trading of the Shares through the
Exchange will be subject to the
Exchange’s surveillance procedures for
derivative products, including
Commodity-Based Trust Shares. The
issuer has represented to the Exchange
that it will advise the Exchange of any
failure by the Trust or the Shares to
comply with the continued listing
requirements, and, pursuant to its
obligations under Section 19(g)(1) of the
Exchange Act, the Exchange will surveil
for compliance with the continued
listing requirements. If the Trust or the
Shares are not in compliance with the
applicable listing requirements, the
Exchange will commence delisting
procedures under Exchange Rule 14.12.
The Exchange may obtain information
regarding trading in the Shares and CME
Bitcoin Futures via ISG, from other
exchanges who are members or affiliates
of the ISG, or with which the Exchange
has entered into a comprehensive
surveillance sharing agreement.104
Information Circular
Prior to the commencement of
trading, the Exchange will inform its
members in an Information Circular of
the special characteristics and risks
associated with trading the Shares.
Specifically, the Information Circular
will discuss the following: (i) The
procedures for the creation and
redemption of Baskets (and that the
104 For a list of the current members and affiliate
members of ISG, see www.isgportal.com.
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Shares are not individually redeemable);
(ii) BZX Rule 3.7, which imposes
suitability obligations on Exchange
members with respect to recommending
transactions in the Shares to customers;
(iii) how information regarding the IIV
and the Trust’s NAV are disseminated;
(iv) the risks involved in trading the
Shares outside of Regular Trading
Hours 105 when an updated IIV will not
be calculated or publicly disseminated;
(v) the requirement that members
deliver a prospectus to investors
purchasing newly issued Shares prior to
or concurrently with the confirmation of
a transaction; and (vi) trading
information.
In addition, the Information Circular
will advise members, prior to the
commencement of trading, of the
prospectus delivery requirements
applicable to the Shares. Members
purchasing the Shares for resale to
investors will deliver a prospectus to
such investors. The Information Circular
will also discuss any exemptive, noaction and interpretive relief granted by
the Commission from any rules under
the Act.
2. Statutory Basis
The Exchange believes that the
proposal is consistent with Section 6(b)
of the Act 106 in general and Section
6(b)(5) of the Act 107 in particular in that
it is designed to prevent fraudulent and
manipulative acts and practices, to
promote just and equitable principles of
trade, to foster cooperation and
coordination with persons engaged in
facilitating transactions in securities, to
remove impediments to and perfect the
mechanism of a free and open market
and a national market system and, in
general, to protect investors and the
public interest.
The Commission has approved
numerous series of Trust Issued
Receipts,108 including CommodityBased Trust Shares,109 to be listed on
U.S. national securities exchanges. In
order for any proposed rule change from
an exchange to be approved, the
Commission must determine that,
among other things, the proposal is
consistent with the requirements of
Section 6(b)(5) of the Act, specifically
including: (i) The requirement that a
national securities exchange’s rules are
designed to prevent fraudulent and
105 Regular Trading Hours is the time between
9:30 a.m. and 4:00 p.m. Eastern Time.
106 15 U.S.C. 78f.
107 15 U.S.C. 78f(b)(5).
108 See Exchange Rule 14.11(f).
109 Commodity-Based Trust Shares, as described
in Exchange Rule 14.11(e)(4), are a type of Trust
Issued Receipt.
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manipulative acts and practices; 110 and
(ii) the requirement that an exchange
proposal be designed, in general, to
protect investors and the public interest.
The Exchange believes that this
proposal is consistent with the
requirements of Section 6(b)(5) of the
Act and that this filing sufficiently
demonstrates that the CME Bitcoin
Futures market represents a regulated
market of significant size and that, on
the whole, the manipulation concerns
previously articulated by the
Commission are sufficiently mitigated to
the point that they are outweighed by
quantifiable investor protection issues
that would be resolved by approving
this proposal.
(i) Designed To Prevent Fraudulent and
Manipulative Acts and Practices
In order to meet this standard in a
proposal to list and trade a series of
Commodity-Based Trust Shares, the
Commission requires that an exchange
demonstrate that there is a
comprehensive surveillance-sharing
agreement in place 111 with a regulated
110 As the Exchange has stated in a number of
other public documents, it continues to believe that
‘‘other means to prevent fraudulent and
manipulative acts and practices’’ exist to justify
dispensing with the requisite surveillance sharing
agreement. The geographically diverse and
continuous nature of bitcoin trading render it
difficult and prohibitively costly to manipulate the
price of bitcoin. The fragmentation across bitcoin
platforms, the relatively slow speed of transactions,
and the capital necessary to maintain a significant
presence on each trading platform make
manipulation of bitcoin prices through continuous
trading activity challenging. To the extent that there
are bitcoin exchanges engaged in or allowing wash
trading or other activity intended to manipulate the
price of bitcoin on other markets, such pricing does
not normally impact prices on other exchange
because participants will generally ignore markets
with quotes that they deem non-executable.
Moreover, the linkage between the bitcoin markets
and the presence of arbitrageurs in those markets
means that the manipulation of the price of bitcoin
price on any single venue would require
manipulation of the global bitcoin price in order to
be effective. Arbitrageurs must have funds
distributed across multiple trading platforms in
order to take advantage of temporary price
dislocations, thereby making it unlikely that there
will be strong concentration of funds on any
particular bitcoin exchange or OTC platform. As a
result, the potential for manipulation on a trading
platform would require overcoming the liquidity
supply of such arbitrageurs who are effectively
eliminating any cross-market pricing differences.
111 As previously articulated by the Commission,
‘‘The standard requires such surveillance-sharing
agreements since ‘‘they provide a necessary
deterrent to manipulation because they facilitate the
availability of information needed to fully
investigate a manipulation if it were to occur.’’ The
Commission has emphasized that it is essential for
an exchange listing a derivative securities product
to enter into a surveillance-sharing agreement with
markets trading underlying securities for the listing
exchange to have the ability to obtain information
necessary to detect, investigate, and deter fraud and
market manipulation, as well as violations of
exchange rules and applicable federal securities
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market of significant size. Both the
Exchange and CME are members of
ISG.112 The only remaining issue to be
addressed is whether the CME Bitcoin
Futures market constitutes a market of
significant size, which both the
Exchange and the Sponsor believe that
it does. The terms ‘‘significant market’’
and ‘‘market of significant size’’ include
a market (or group of markets) as to
which: (a) There is a reasonable
likelihood that a person attempting to
manipulate the ETP would also have to
trade on that market to manipulate the
ETP, so that a surveillance-sharing
agreement would assist the listing
exchange in detecting and deterring
misconduct; and (b) it is unlikely that
trading in the ETP would be the
predominant influence on prices in that
market.113
The Commission has also recognized
that the ‘‘regulated market of significant
size’’ standard is not the only means for
satisfying Section 6(b)(5) of the act,
specifically providing that a listing
exchange could demonstrate that ‘‘other
means to prevent fraudulent and
manipulative acts and practices’’ are
sufficient to justify dispensing with the
requisite surveillance-sharing
agreement.114
khammond on DSKJM1Z7X2PROD with NOTICES
laws and rules. The hallmarks of a surveillancesharing agreement are that the agreement provides
for the sharing of information about market trading
activity, clearing activity, and customer identity;
that the parties to the agreement have reasonable
ability to obtain access to and produce requested
information; and that no existing rules, laws, or
practices would impede one party to the agreement
from obtaining this information from, or producing
it to, the other party.’’ The Commission has
historically held that joint membership in ISG
constitutes such a surveillance sharing agreement.
See Wilshire Phoenix Disapproval.
112 For a list of the current members and affiliate
members of ISG, see www.isgportal.com.
113 See Wilshire Phoenix Disapproval.
114 See Winklevoss Order at 37580. The
Commission has also specifically noted that it ‘‘is
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(a) Manipulation of the ETP
The topic of price discovery in
Bitcoin markets, including both spot
and futures, has attracted the attention
of many researchers. Nevertheless,
despite the use of similar measures of
price discovery, the literature has
presented mixed evidence.
On the one hand, an early study by
Corbet et al. (2018) 115 applied four
metrics of price discovery including the
information share approach of
Hasbrouck (1995),116 the component
share methodology of Gonzalo and
Granger (1995),117 the information
leadership approach of Yan and Zivot
(2010),118 and the information
leadership share measure of Putnins
(2013) 119 between the CME, CBOE, and
spot prices using data sampled on a oneminute frequency. The authors find that
price discovery is focused on the spot
market. Similar evidence is presented
by Baur and Dimpfl (2019),120 where the
not applying a ‘cannot be manipulated’ standard;
instead, the Commission is examining whether the
proposal meets the requirements of the Exchange
Act and, pursuant to its Rules of Practice, places the
burden on the listing exchange to demonstrate the
validity of its contentions and to establish that the
requirements of the Exchange Act have been met.’’
Id. at 37582.
115 Corbet S., Lucey B., Peat M., Vigne S. Bitcoin
futures—What use are they? Economics Letters.
2018;172:23–27.
116 Hasbrouck J. One security, many markets:
Determining the contributions to price discovery.
The Journal of Finance. 1995;50(4):1175–1199.
117 Gonzalo J., Granger C. Estimation of common
long-memory components in cointegrated systems.
Journal of Business & Economic Statistics.
1995;13(1):27–35.
118 Yan B., Zivot E. A structural analysis of price
discovery measures. Journal of Financial Markets.
2010;13(1):1–19.
119 Putnin
¸ sˇ T.J. What do price discovery metrics
really measure? Journal of Empirical Finance.
2013;23:68–83.
120 Baur D.G., Dimpfl T. Price discovery in bitcoin
spot or futures? Journal of Futures Markets.
2019;39(7):803–817.
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authors use data sampled on a fiveminute interval and conclude that price
discovery occurs in the spot market.
On the other hand, a study by Kapar
and Olmo (2019) 121 finds contradictory
evidence using daily-sampled data,
concluding that the CME futures market
dominates price discovery based on the
approaches of Gonzalo and Granger
(1995) and Hasbrouck (1995). Similarly,
Akyildirim et al. (2019) 122 show that
Bitcoin futures play a significant role in
price discovery relative to the spot
market using the four previously
mentioned measures of price discovery.
One potential reason for the mixed
evidence, according to Hu et al.
(2020) 123 is that cointegration
relationships may go undetected if the
underlying model formulation is
constrained to be time-invariant. As
such, the authors apply time-varying
cointegrating coefficients based on the
works of Park and Hahn (1999) 124 and
Shi et al.(2018),125 and conclude that
futures prices Granger-cause spot prices
and that futures prices dominate Bitcoin
price discovery.
121 Kapar B., Olmo J. An analysis of price
discovery between Bitcoin futures and spot
markets. Economics Letters. 2019;174:62–64.
122 Akyildirim E., Corbet S., Katsiampa P., Kellard
N., Sensoy A. The development of bitcoin futures:
Exploring the interactions between cryptocurrency
derivatives. Finance Research Letters. 2019;34:1–9.
123 Hu, Yang et al. ‘‘What role do futures markets
play in Bitcoin pricing? Causality, cointegration and
price discovery from a time-varying perspective?.’’
International Review of Financial Analysis vol. 72
(2020): 101569.
124 Park J.Y., Hahn S.B. Cointegrating regressions
with time varying coefficients. Econometric Theory.
1999;15(5):664–703.
125 Shi S., Phillips P.C., Hurn S. Change detection
and the causal impact of the yield curve. Journal of
Time Series Analysis. 2018;39(6):966–987.
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Index 127) would have to participate in
the CME Bitcoin Futures market, it
follows that a potential manipulator of
the Shares would similarly have to
transact in the CME Bitcoin Futures
market because the Index is based on
spot prices.
Further, the Trust only allows for inkind creation and redemption, which, as
further described below, reduces the
potential for manipulation of the Shares
through manipulation of the Index or
any of its individual constituents, again
emphasizing that a potential
manipulator of the Shares would have
to manipulate the entirety of the bitcoin
spot market, which is led by the CME
Bitcoin Futures market. As such, the
Exchange believes that part (a) of the
significant market test outlined above is
satisfied and that common membership
in ISG between the Exchange and CME
would assist the listing exchange in
detecting and deterring misconduct in
the Shares.
50 basis points. Stated another way, a
market participant could enter a market
buy or sell order for $10 million of
bitcoin and only move the market 0.5%.
More strategic purchases or sales (such
as using limit orders and executing
through OTC bitcoin trade desks) would
likely have less obvious impact on the
market—which is consistent with
MicroStrategy, Tesla, and Square being
able to collectively purchase billions of
dollars in bitcoin. As such, the
combination of CME Bitcoin Futures
leading price discovery, the overall size
of the bitcoin market, and the ability for
market participants, including
authorized participants creating and
redeeming in-kind with the Trust, to
buy or sell large amounts of bitcoin
without significant market impact will
help prevent the Shares from becoming
the predominant force on pricing in
either the bitcoin spot or CME Bitcoin
Futures markets, satisfying part (b) of
the test outlined above.
Additionally, the Bitcoin futures
market is by orders of magnitude larger
than the entire spot market of all
cryptoassets in terms of traded volume.
According to a study by the Blockchain
Lab of Massachusetts Institute of
Technology, ‘‘the derivative market
leads price discovery of bitcoin more
frequently than the spot markets. The
spot market is more likely to indicate
the direction of the price movement
while the derivatives market is more
likely to lead the magnitude of the price
movement’’, says the report.126
The Bitcoin futures market has
processed more than $1 trillion in
futures volume per month since the start
of the year. In November 2021, Bitcoin
futures volume accounted for $1.58
trillion, while spot volume, in the same
time frame, amounted to $1.4 trillion
including both crypto-only and fiat
currency volumes of all cryptoassets,
not just Bitcoin. Namely, the Bitcoin
futures market is 12% larger than the
entire spot market in terms of volume
just in the last month. Over the past
three months, the average monthly spot
volume was $1.3 trillion while the
average Bitcoin futures volume was
significantly greater (approximately
30%) than the spot at $1.71 trillion
according to data from CryptoCompare
and Coinglass.
In the past twelve months, the average
monthly futures volume for Bitcoin was
$1.89 trillion, while the monthly spot
volume for all cryptoassets was $1.24
trillion. In other words, since the start
of the year, the Bitcoin futures market
is 52% larger than the spot volume of
all cryptoassets traded on exchanges. As
of December 2, the ratio of Bitcoin spot
vs futures volume currently stands at
0.17. In other words, the Bitcoin spot
market accounts for 17% of the bitcoin
futures market in volume terms.
According to the Sponsor’s research
presented above, the CME Bitcoin
Futures market is the leading market for
bitcoin price formation. Where CME
Bitcoin Futures lead the price in the
spot market such that a potential
manipulator of the bitcoin spot market
(beyond just the constituents of the
(b) Predominant Influence on Prices in
Spot and Bitcoin Futures
The Exchange and Sponsor also
believe that trading in the Shares would
not be the predominant force on prices
in the CME Bitcoin Futures market or
spot market for a number of reasons,
including the significant volume in the
CME Bitcoin Futures market, the size of
bitcoin’s market cap, and the significant
liquidity available in the spot market.
Moreover, the fact that the Shares are
created in-kind means that they are fully
collateralized and should remain close
to NAV given that investors and market
makers would arbitrage any significant
price deviations between the price of
the Shares and prices in the spot
market. In addition to the CME Bitcoin
Futures market data points cited above,
the spot market for bitcoin is also very
liquid. According to data from
CoinRoutes from February 2021, the
cost to buy or sell $5 million worth of
bitcoin averages roughly 10 basis points
with a market impact of 30 basis
points.128 For a $10 million market
order, the cost to buy or sell is roughly
20 basis points with a market impact of
As noted above, the Commission also
permits a listing exchange to
demonstrate that ‘‘other means to
prevent fraudulent and manipulative
acts and practices’’ are sufficient to
justify dispensing with the requisite
surveillance-sharing agreement. The
Exchange and Sponsor believe that such
conditions are present. According to the
Sponsor, a significant portion of the
considerations around Bitcoin pricing
have historically stemmed from a lack of
consistent pricing across markets.
However, according to the Sponsor’s
research, cross-exchange spreads in
Bitcoin have been declining consistently
over the past several years. Based on the
daily Bitcoin price series from several
popular centralized exchanges 129 the
Sponsor has calculated the largest crossexchange percentage spread (labelled as
%C-Spread) by deducting the highest or
maximum price (P) at time t from the
lowest or minimum, and dividing by the
lowest across all exchanges (i).
Formally, this is expressed as:
126 Eguren, Luisa, Fondufe, Bryan, Hogan, Caleb,
and Matthews, Claire. ‘‘Price Discovery in the
Bitcoin Spot and Derivatives Markets’’
Massachusetts Institute of Technology Blockchain
Lab Program, May 15th, 2020
127 As further described below, the ‘‘Index’’ for
the Fund is the S&P Bitcoin Index. The current
exchange composition of the Index is Binance,
Bitfinex, Bitflyer, Bittrex, Bitstamp, Coinbase Pro,
Gemini, HitBTC, Huobi, Kraken, KuCoin, and
Poloniex.
128 These statistics are based on samples of
bitcoin liquidity in USD (excluding stablecoins or
Euro liquidity) based on executable quotes on
Coinbase Pro, Gemini, Bitstamp, Kraken, LMAX
Exchange, BinanceUS, and OKCoin during February
2021.
129 The exchanges include Binance, Bitfinex,
Bithumb, Bitstamp, Cexio, Coinbase, Coinone,
Gateio, Gemini, HuobiPro, itBit, Kraken, Kucoin,
and OKEX.
VerDate Sep<11>2014
19:11 Dec 23, 2021
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PO 00000
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(c) Other Means To Prevent Fraudulent
and Manipulative Acts and Practices
E:\FR\FM\27DEN1.SGM
27DEN1
EN27DE21.013
khammond on DSKJM1Z7X2PROD with NOTICES
73384
Federal Register / Vol. 86, No. 245 / Monday, December 27, 2021 / Notices
73385
more efficient as cross-exchange prices
have converged over time.
The results show a clear and sharp
decline in the %C-Spread, indicating
that the Bitcoin market has become
C·Spraad of Bitcoin Prices in Percent(%) across Exchanges From January 1, 2017 to December 1, 2021
20' ------- ,.,,__ _ _ _
------------ - - - - - - - -
'i
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.
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u
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Jul 2017
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In addition, the magnitude of outlier
% C-spreads has also declined over
time. This boxplot shows that, not only
did the median value of the %C-Spread
decline over time, but also the extreme
VerDate Sep<11>2014
19:11 Dec 23, 2021
Jkt 256001
Jul 2018
Jan 2019
Ju! 2019
Jan 2020
Jul 2020
outlier values. For instance, the
maximum %C-Spread for 2017, 2018,
2019, 2020, and 2021 are 29.14%,
14.45%, 8.54%, 6.04%, and 7.1%,
respectively. The market has
PO 00000
Frm 00149
Fmt 4703
Sfmt 4703
Jan 2021
Jul 2021
experienced a 38% year-on-year decline
in the annual median %C-Spread
indicating a greater degree of Bitcoin
price convergence across exchanges and
a more efficient market.
E:\FR\FM\27DEN1.SGM
27DEN1
EN27DE21.014
Jan 2017
73386
Federal Register / Vol. 86, No. 245 / Monday, December 27, 2021 / Notices
Boxplot of C-Spread (in%) of Bitcoin across Exchanges From January 1, 2017 to December 1, 2021
3oi
'ii
C:
C.
~
15 t__ -----
!
T
khammond on DSKJM1Z7X2PROD with NOTICES
The dispersion (s) of Bitcoin Prices
has also declined over the same period.
This chart shows the 7-day rolling
standard deviation of the %C-Spread
from January 1, 2017 to December 1,
2021. The Sponsor’s research finds that
the dispersion in Bitcoin prices across
all exchanges has decreased over time,
VerDate Sep<11>2014
19:11 Dec 23, 2021
Jkt 256001
2019
2.018
indicating that prices on all the
considered exchanges converge towards
the intrinsic average much more
efficiently. This suggests that the market
has become better at quickly reaching a
consensus price for Bitcoin.
As the pricing of the crypto market
becomes increasingly efficient, pricing
PO 00000
Frm 00150
Fmt 4703
Sfmt 4703
2021
2.020
methodologies become more accurate
and less susceptible to manipulation.
The clustering of prices across a variety
of sources within the primary market
points towards robust price discovery
mechanisms and efficient arbitrage.
E:\FR\FM\27DEN1.SGM
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2.017
Federal Register / Vol. 86, No. 245 / Monday, December 27, 2021 / Notices
73387
7•Day Standard Deviation (a) of C•Spread across Exchanges From January 1, 2017 to December 1, 2021
12
#
C
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Jul 2017
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Jan 2020
Jul 2018
One factor that has contributed to the
overall efficiency, price discovery, and
lower volatility of the Bitcoin market is
the increase in the number of
Jul 2020
Jan 2021
participants, and subsequently, the total
dollar amount allocated to this market.
This can be illustrated by the following
chart, which shows the number of
Jul 2021
wallet addresses holding Bitcoin from
March 2012 to December 2021.
NUMBER OF BITCOIN ADDRESSES WITH BALANCE> 0
2013
201&
2017
201B
2019
2020
21121
19:11 Dec 23, 2021
Jkt 256001
within the first 100 price levels across
several of the largest centralized crypto
exchanges from October 2020 to April
2021. Specifically, the dollar notional
that is allocated closest to the mid price
has increased from around $230 million
PO 00000
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Fmt 4703
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to $860 million over that period,
representing a 270% increase in half a
year.
E:\FR\FM\27DEN1.SGM
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EN27DE21.017
BTC/ AddrCntofBal >O(natlveunlts)
The increase in the number of
participants has manifested itself in
higher liquidity in the market. This is
exhibited in the following chart, which
shows the daily aggregated dollar
notional of the bid and ask order books
VerDate Sep<11>2014
2015
EN27DE21.016
khammond on DSKJM1Z7X2PROD with NOTICES
-
2014
COINMETRICS
73388
Federal Register / Vol. 86, No. 245 / Monday, December 27, 2021 / Notices
Dally Aggregated Bid and Ask Order Books of BTC/USO(f) across Binance, Biffinex, Cexio,
Gemlni, -Huobi, !bit, Kraken and Okex-for the First 100 Price Levels
khammond on DSKJM1Z7X2PROD with NOTICES
An increased notional order book
suggests that there is a higher degree of
consensus among investors regarding
the price of Bitcoin. Moreover, this
market characteristic hampers any
attempt of price manipulation by any
single large entity.
As a robustness check, the Sponsor
investigates whether the dollar notional
in the order book changes significantly
prior to, and post an extreme price
event. Specifically, for events
constituting large increases in the price
of Bitcoin, if the ask (or sell) side of the
order book experiences a significant
shrinkage in the dollar notional right
before the event, then this may be an
indication of market manipulation
whereby the ask-side of the order book
becomes sufficiently thin for a large
order to move the price upward.
Similarly, for events constituting large
decreases in the price of Bitcoin, if the
VerDate Sep<11>2014
19:11 Dec 23, 2021
Jkt 256001
Jarf2021
Feb2021
bid (or buy) side of the order book
experiences a significant shrinkage in
the dollar notional prior to such events,
then this may be an indication of market
manipulation whereby the thinner bidside of the order book may potentially
lead to significant downward price
movements.
Using the top and bottom 0.1% of
hourly price changes from October 2020
to April 2021 as events of extreme
upward and downward market
movements, respectively, the Sponsor
plotted the bid (left charts) and ask
(right charts) dollar notional of the
Bitcoin order book within a six-hour
window around these events in the
chart below, which shows the results for
extreme upward price movements. The
extreme price events (indicated by the
dashed green lines) perfectly coincide
with the decrease in dollar notional of
the ask-side of the order book. This is
PO 00000
Frm 00152
Fmt 4703
Sfmt 4703
Mar2021
-Apr2021
indicative of an efficient market,
whereby large market movements are
quickly and dynamically absorbed by a
thick orderbook. Moreover, the dollar
notional on the ask side after the event
is replenished back to its pre-event
level, which implies that market
participants’ reactions are quick to
restore the market back to its
equilibrium level.
The same results and conclusions are
found for extreme downward price
movements. The charts below show that
such price events perfectly coincide
with shrinkages on the bid side of the
order book (left charts), indicating an
efficient and dynamic Bitcoin market.
Moreover, the bid-side of the order book
after the event is also restored back to
its pre-event level, which suggests that
the market is symmetrically efficient in
moving back to equilibrium.
E:\FR\FM\27DEN1.SGM
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0..:2020
Nov-2020
Federal Register / Vol. 86, No. 245 / Monday, December 27, 2021 / Notices
73389
Median Hourly Order Book Dollar Notional of Bid (Left Charts) and Ask (Right Charts) on
Six Hours Pre and Post Extreme Price Deviations in the Top 0.1%
2021-01-11 07:00:00
2021-01-11
, 07:00:00
200M
-
-150M
~
100M 03:00
Jan 11, 2021
iii
C
0
09:00
12:00
, -----~
03:00
Jan 11, 2021
2021-01-29 08:00:00
:g
z,._
____ ,____J_-06:00
09:00
12:00
2021-01-29 08:00:00
200M -
.!!
150M
s
100M
°g 150M
.:it:
,._
03:00
Jan 29, 2021
06:00
09:00
12:00
03:00
GI
.
~
2021-02-23 20:00:00
-
0
06:00
09:00
12:00
Jan 29, 2021
2021-02-23
, 20:00:002SOM1·-200M
250M - -
150M
200M
15:00
Feb 23, 2021
18:00
21:00
~ - - - ~ - ~ !_ _ _ _ _ __
15:00
18:00
21:00
00:00
00:00
Feb 24, 2021
Feb 23, 2021
Feb 24, 2021
Median Hourly Order Book Dollar Notional of Bid (Left Charts) and Ask (Right Charts) on
Six Hours Pre and Post Extreme Price Deviations in the Bottom 0.1%
2021-01-02 20:00:00
2021-01-02 20:00:00
.lOOM
SOM
60M
l
15:00
Jan2,2021
:8
i 250M
18:00
21:00
15:00
Jan 2, 2021
00:00
Jan 3, 2021
18:00
21:00
00:00
Jan 3, 2021
2021-01-11 06:00:00
'
2021-01-11 06:00:00
'
~ 200M
8150M
I
03:00
Jan 11, 2021
,._
06:00
09:00
12:00
03:00
Jan 11, 2-021
06:00
09:00
12:00
GI
~
2021-01-1115:00:00
0
2021-01-1115:00:00
200M
12:00
Jan 11, 2021
J. ____ .,
15:00
Finally, offering only in-kind creation
and redemption will provide unique
VerDate Sep<11>2014
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------.--lOOM,..c-- - ------ ------ --- I---__ - -----------~-- --- 18:00
2.1:00
12:00
15:00
18:00
21;00
Jan 11, 2021
protections against potential attempts to
manipulate the Shares. While the
PO 00000
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Fmt 4703
Sfmt 4703
Sponsor believes that the Index which
it uses to value the Trust’s bitcoin is
E:\FR\FM\27DEN1.SGM
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EN27DE21.020
L----~---
EN27DE21.019
khammond on DSKJM1Z7X2PROD with NOTICES
150M
200M
73390
Federal Register / Vol. 86, No. 245 / Monday, December 27, 2021 / Notices
khammond on DSKJM1Z7X2PROD with NOTICES
itself resistant to manipulation based on
the methodology further described
below, the fact that creations and
redemptions are only available in-kind
makes the manipulability of the Index
significantly less important.
Specifically, because the Trust will not
accept cash to buy bitcoin in order to
create new shares or, barring a forced
redemption of the Trust or under other
extraordinary circumstances, be forced
to sell bitcoin to pay cash for redeemed
shares, the price that the Sponsor uses
to value the Trust’s bitcoin is not
particularly important.130 When
authorized participants are creating
with the Trust, they need to deliver a
certain number of bitcoin per share
(regardless of the valuation used) and
when they’re redeeming, they can
similarly expect to receive a certain
number of bitcoin per share. As such,
even if the price used to value the
Trust’s bitcoin is manipulated (which
the Sponsor believes that its
methodology is resistant to), the ratio of
bitcoin per Share does not change and
the Trust will either accept (for
creations) or distribute (for
redemptions) the same number of
bitcoin regardless of the value. This not
only mitigates the risk associated with
potential manipulation, but also
discourages and disincentivizes
manipulation of the Index because there
is little financial incentive to do so.
(ii) Designed To Protect Investors and
the Public Interest
The Exchange believes that the
proposal is designed to protect investors
and the public interest. Over the past
1.5 years, U.S. investor exposure to
bitcoin through OTC Bitcoin Funds has
grown into the tens of billions of dollars
and more than a billion dollars of
exposure through Bitcoin Futures ETFs.
With that growth, so too has grown the
quantifiable investor protection issues
to U.S. investors through roll costs for
Bitcoin Futures ETFs and premium/
discount volatility and management fees
for OTC Bitcoin Funds. The Exchange
believes that the concerns related to the
prevention of fraudulent and
manipulative acts and practices have
been sufficiently addressed to be
consistent with the Act and, to the
extent that the Commission disagrees
with that assertion, also believes that
such concerns are now outweighed by
these investor protection concerns. As
such, the Exchange believes that
approving this proposal (and
comparable proposals) provides the
130 While the Index will not be particularly
important for the creation and redemption process,
it will be used for calculating fees.
VerDate Sep<11>2014
19:11 Dec 23, 2021
Jkt 256001
Commission with the opportunity to
allow U.S. investors with access to
bitcoin in a regulated and transparent
exchange-traded vehicle that would act
to limit risk to U.S. investors by: (i)
Reducing premium and discount
volatility; (ii) reducing management fees
through meaningful competition; (iii)
reducing risks and costs associated with
investing in Bitcoin Futures ETFs and
operating companies that are imperfect
proxies for bitcoin exposure; and (iv)
providing an alternative to custodying
spot bitcoin.
Commodity-Based Trust Shares
The Exchange believes that the
proposed rule change is designed to
prevent fraudulent and manipulative
acts and practices in that the Shares will
be listed on the Exchange pursuant to
the initial and continued listing criteria
in Exchange Rule 14.11(e)(4). The
Exchange believes that its surveillance
procedures are adequate to properly
monitor the trading of the Shares on the
Exchange during all trading sessions
and to deter and detect violations of
Exchange rules and the applicable
federal securities laws. Trading of the
Shares through the Exchange will be
subject to the Exchange’s surveillance
procedures for derivative products,
including Commodity-Based Trust
Shares. The issuer has represented to
the Exchange that it will advise the
Exchange of any failure by the Trust or
the Shares to comply with the
continued listing requirements, and,
pursuant to its obligations under
Section 19(g)(1) of the Exchange Act, the
Exchange will surveil for compliance
with the continued listing requirements.
If the Trust or the Shares are not in
compliance with the applicable listing
requirements, the Exchange will
commence delisting procedures under
Exchange Rule 14.12. The Exchange
may obtain information regarding
trading in the Shares and listed bitcoin
derivatives via the ISG, from other
exchanges who are members or affiliates
of the ISG, or with which the Exchange
has entered into a comprehensive
surveillance sharing agreement.
Availability of Information
The Exchange also believes that the
proposal promotes market transparency
in that a large amount of information is
currently available about bitcoin and
will be available regarding the Trust and
the Shares. In addition to the price
transparency of the Index, the Trust will
provide information regarding the
Trust’s bitcoin holdings as well as
additional data regarding the Trust. The
Trust will provide an IIV per Share
updated every 15 seconds, as calculated
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Frm 00154
Fmt 4703
Sfmt 4703
by the Exchange or a third-party
financial data provider during the
Exchange’s Regular Trading Hours (9:30
a.m. to 4:00 p.m. E.T.). The IIV will be
calculated by using the prior day’s
closing NAV per Share as a base and
updating that value during Regular
Trading Hours to reflect changes in the
value of the Trust’s bitcoin holdings
during the trading day.
The IIV disseminated during Regular
Trading Hours should not be viewed as
an actual real-time update of the NAV,
which will be calculated only once at
the end of each trading day. The IIV will
be widely disseminated on a per Share
basis every 15 seconds during the
Exchange’s Regular Trading Hours by
one or more major market data vendors.
In addition, the IIV will be available
through on-line information services.
The website for the Trust, which will
be publicly accessible at no charge, will
contain the following information: (a)
The current NAV per Share daily and
the prior business day’s NAV and the
reported closing price; (b) the BZX
Official Closing Price in relation to the
NAV as of the time the NAV is
calculated and a calculation of the
premium or discount of such price
against such NAV; (c) data in chart form
displaying the frequency distribution of
discounts and premiums of the Official
Closing Price against the NAV, within
appropriate ranges for each of the four
previous calendar quarters (or for the
life of the Trust, if shorter); (d) the
prospectus; and (e) other applicable
quantitative information. The Trust will
also disseminate the Trust’s holdings on
a daily basis on the Trust’s website. The
price of bitcoin will be made available
by one or more major market data
vendors, updated at least every 15
seconds during Regular Trading Hours.
Information about the Index, including
key elements of how the Index is
calculated, will be publicly available at
https://www.spglobal.com/spdji/en/
indices/digital-assets/sp-bitcoin-index/.
The NAV for the Trust will be
calculated by the Administrator once a
day and will be disseminated daily to
all market participants at the same time.
Quotation and last-sale information
regarding the Shares will be
disseminated through the facilities of
the CTA.
Quotation and last sale information
for bitcoin is widely disseminated
through a variety of major market data
vendors, including Bloomberg and
Reuters, as well as the Index.
Information relating to trading,
including price and volume
information, in bitcoin is available from
major market data vendors and from the
exchanges on which bitcoin are traded.
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Federal Register / Vol. 86, No. 245 / Monday, December 27, 2021 / Notices
Depth of book information is also
available from bitcoin exchanges. The
normal trading hours for bitcoin
exchanges are 24 hours per day, 365
days per year
For the above reasons, the Exchange
believes that the proposed rule change
is consistent with the requirements of
Section 6(b)(5) of the Act.
B. Self-Regulatory Organization’s
Statement on Burden on Competition
The Exchange does not believe that
the proposed rule change will impose
any burden on competition that is not
necessary or appropriate in furtherance
of the purpose of the Act. The Exchange
notes that the proposed rule change,
rather will facilitate the listing and
trading of an additional exchange-traded
product that will enhance competition
among both market participants and
listing venues, to the benefit of investors
and the marketplace.
C. Self-Regulatory Organization’s
Statement on Comments on the
Proposed Rule Change Received From
Members, Participants, or Others
The Exchange has neither solicited
nor received written comments on the
proposed rule change.
IV. Solicitation of Comments
Interested persons are invited to
submit written data, views, and
arguments concerning the foregoing,
including whether the proposed rule
change is consistent with the Act.
Comments may be submitted by any of
the following methods:
khammond on DSKJM1Z7X2PROD with NOTICES
Electronic Comments
• Use the Commission’s internet
comment form (https://www.sec.gov/
rules/sro.shtml); or
• Send an email to rule-comments@
sec.gov. Please include File Number SR–
CboeBZX–2021–051 on the subject line.
Paper Comments
• Send paper comments in triplicate
to Secretary, Securities and Exchange
Commission, 100 F Street NE,
Washington, DC 20549–1090.
All submissions should refer to File
Number SR–CboeBZX–2021–051. This
file number should be included on the
subject line if email is used. To help the
Commission process and review your
comments more efficiently, please use
only one method. The Commission will
post all comments on the Commission’s
internet website (https://www.sec.gov/
rules/sro.shtml). Copies of the
submission, all subsequent
amendments, all written statements
with respect to the proposed rule
change that are filed with the
VerDate Sep<11>2014
19:11 Dec 23, 2021
Jkt 256001
Commission, and all written
communications relating to the
proposed rule change between the
Commission and any person, other than
those that may be withheld from the
public in accordance with the
provisions of 5 U.S.C. 552, will be
available for website viewing and
printing in the Commission’s Public
Reference Room, 100 F Street NE,
Washington, DC 20549 on official
business days between the hours of
10:00 a.m. and 3:00 p.m. Copies of the
filing also will be available for
inspection and copying at the principal
office of the Exchange. All comments
received will be posted without change.
Persons submitting comments are
cautioned that we do not redact or edit
personal identifying information from
comment submissions. You should
submit only information that you wish
to make available publicly. All
submissions should refer to File
Number SR–CboeBZX–2021–051, and
should be submitted on or before
January 18, 2022.
For the Commission, by the Division of
Trading and Markets, pursuant to delegated
authority.131
J. Matthew DeLesDernier,
Assistant Secretary.
[FR Doc. 2021–27824 Filed 12–23–21; 8:45 am]
BILLING CODE 8011–01–P
73391
I. Self-Regulatory Organization’s
Statement of the Terms of the Substance
of the Proposed Rule Change
The Exchange proposes to amend
Rule 904 (Position Limits) to increase
position limits for options on certain
exchange-traded funds. The proposed
rule change is available on the
Exchange’s website at www.nyse.com, at
the principal office of the Exchange, and
at the Commission’s Public Reference
Room.
II. Self-Regulatory Organization’s
Statement of the Purpose of, and
Statutory Basis for, the Proposed Rule
Change
In its filing with the Commission, the
self-regulatory organization included
statements concerning the purpose of,
and basis for, the proposed rule change
and discussed any comments it received
on the proposed rule change. The text
of those statements may be examined at
the places specified in Item IV below.
The Exchange has prepared summaries,
set forth in sections A, B, and C below,
of the most significant parts of such
statements.
A. Self-Regulatory Organization’s
Statement of the Purpose of, and the
Statutory Basis for, the Proposed Rule
Change
1. Purpose
SECURITIES AND EXCHANGE
COMMISSION
[Release No. 34–93835; File No. SR–
NYSEAMER–2021–45]
Self-Regulatory Organizations; NYSE
American LLC; Notice of Filing and
Immediate Effectiveness of Proposed
Rule Change to Amend Rule 904
(Position Limits)
December 20, 2021.
Pursuant to Section 19(b)(1) 1 of the
Securities Exchange Act of 1934 (the
‘‘Act’’) 2 and Rule 19b–4 thereunder,3
notice is hereby given that on December
6, 2021, NYSE American LLC (‘‘NYSE
American’’ or the ‘‘Exchange’’) filed
with the Securities and Exchange
Commission (the ‘‘Commission’’) the
proposed rule change as described in
Items I and II below, which Items have
been prepared by the self-regulatory
organization. The Commission is
publishing this notice to solicit
comments on the proposed rule change
from interested persons.
131 17
CFR 200.30–3(a)(12).
U.S.C. 78s(b)(1).
2 15 U.S.C. 78a.
3 17 CFR 240.19b–4.
1 15
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The Exchange proposes to amend
Rule 904 (Position Limits) to increase
position limits for options on certain
exchange-traded funds (‘‘ETFs’’). This is
a competitive filing that is based on a
proposal recently submitted by Cboe
Exchange, Inc. (‘‘Cboe’’) and approved
by the Securities and Exchange
Commission (‘‘Commission’’).4
Position limits are designed to
address potential manipulative schemes
and adverse market impacts
surrounding the use of options, such as
disrupting the market in the security
underlying the options. While position
limits should address and discourage
the potential for manipulative schemes
and adverse market impact, if such
limits are set too low, participation in
the options market may be discouraged.
The Exchange believes that position
limits must therefore be balanced
between mitigating concerns of any
potential manipulation and the cost of
inhibiting potential hedging activity that
could be used for legitimate economic
purposes.
4 See Securities Exchange Act Release No. 93525
(November 4, 2021), 86 FR 62584 (November 10,
2021) (Notice of Filing of Amendment Nos. 2 and
3 and Order Granting Accelerated Approval of SR–
CBOE–2021–029).
E:\FR\FM\27DEN1.SGM
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Agencies
[Federal Register Volume 86, Number 245 (Monday, December 27, 2021)]
[Notices]
[Pages 73360-73391]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2021-27824]
-----------------------------------------------------------------------
SECURITIES AND EXCHANGE COMMISSION
[Release No. 34-93822; File No. SR-CboeBZX-2021-051]
Self-Regulatory Organizations; Cboe BZX Exchange, Inc.; Notice of
Filing of Amendment No. 1 to a Proposed Rule Change To List and Trade
Shares of the ARK 21Shares Bitcoin ETF Under BZX Rule 14.11(e)(4),
Commodity-Based Trust Shares
December 17, 2021.
I. Introduction
On July 20, 2021, Cboe BZX Exchange, Inc. (``BZX'') filed with the
Securities and Exchange Commission (``Commission''), pursuant to
Section 19(b)(1) of the Securities Exchange Act of 1934 (``Act'' or
``Exchange Act'') \1\ and Rule 19b-4 thereunder,\2\ a proposed rule
change to list and trade shares of the ARK 21Shares Bitcoin ETF under
BZX Rule 14.11(e)(4), Commodity-Based Trust Shares. The proposed rule
change was published for comment in the Federal Register on August 6,
2021.\3\
---------------------------------------------------------------------------
\1\ 15 U.S.C. 78s(b)(1).
\2\ 17 CFR 240.19b-4.
\3\ See Securities Exchange Act Release No. 92543 (Aug. 2,
2021), 86 FR 43289. Comments on the proposed rule change can be
found at: https://www.sec.gov/comments/sr-cboebzx-2021-051/srcboebzx2021051.htm.
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[[Page 73361]]
On September 15, 2021, pursuant to Section 19(b)(2) of the Exchange
Act,\4\ the Commission designated a longer period within which to
approve the proposed rule change, disapprove the proposed rule change,
or institute proceedings to determine whether to disapprove the
proposed rule change.\5\ On November 2, 2021, the Commission instituted
proceedings under Section 19(b)(2)(B) of the Exchange Act \6\ to
determine whether to approve or disapprove the proposed rule change.\7\
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\4\ 15 U.S.C. 78s(b)(2).
\5\ See Securities Exchange Act Release No. 92989, 86 FR 52530
(Sept. 21, 2021).
\6\ 15 U.S.C. 78s(b)(2)(B).
\7\ See Securities Exchange Act Release No. 93510, 86 FR 61820
(Nov. 8, 2021).
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On December 9, 2021, the Exchange filed Amendment No. 1 to the
proposed rule change, which replaced and superseded the proposed rule
change as originally filed.\8\ The Commission is publishing this notice
to solicit comments from interested persons on Amendment No. 1, as
described in Items II and III below, which Items have been prepared by
the Exchange.
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\8\ Amendment No. 1 is available at: https://www.sec.gov/comments/sr-cboebzx-2021-051/srcboebzx2021051-9436437-263630.pdf.
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II. Self-Regulatory Organization's Statement of the Terms of Substance
of the Proposed Rule Change
The Exchange proposes a rule change to list and trade shares of the
ARK 21Shares Bitcoin ETF (the ``Trust''),\9\ under BZX Rule
14.11(e)(4), Commodity-Based Trust Shares. The shares of the Trust are
referred to herein as the ``Shares.''
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\9\ The Trust was formed as a Delaware statutory trust on June
22, 2021 and is operated as a grantor trust for U.S. federal tax
purposes. The Trust has no fixed termination date.
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The text of the proposed rule change is also available on the
Exchange's website (https://markets.cboe.com/us/equities/regulation/rule_filings/bzx/), at the Exchange's Office of the Secretary, and at
the Commission's Public Reference Room.
III. Self-Regulatory Organization's Statement of the Purpose of, and
Statutory Basis for, the Proposed Rule Change
In its filing with the Commission, the Exchange included statements
concerning the purpose of and basis for the proposed rule change and
discussed any comments it received on the proposed rule change. The
text of these statements may be examined at the places specified in
Item IV below. The Exchange has prepared summaries, set forth in
sections A, B, and C below, of the most significant aspects of such
statements.
A. Self-Regulatory Organization's Statement of the Purpose of, and
Statutory Basis for, the Proposed Rule Change
1. Purpose
This Amendment No. 1 to SR-CboeBZX-2021-051 amends and replaces in
its entirety the proposal as originally submitted on July 20, 2021. The
Exchange submits this Amendment No. 1 in order to clarify certain
points and add additional details to the proposal.
The Exchange proposes to list and trade the Shares under BZX Rule
14.11(e)(4),\10\ which governs the listing and trading of Commodity-
Based Trust Shares on the Exchange.\11\ 21Shares US LLC is the sponsor
of the Trust (the ``Sponsor''). The Shares will be registered with the
Commission by means of the Trust's registration statement on Form S-1
(the ``Registration Statement'').\12\ As further discussed below, the
Commission has historically approved or disapproved exchange filings to
list and trade series of Trust Issued Receipts, including spot-based
Commodity-Based Trust Shares, on the basis of whether the listing
exchange has in place a comprehensive surveillance sharing agreement
with a regulated market of significant size related to the underlying
commodity.\13\ A survey of previously approved series of Commodity-
Based Trust Shares and Currency Trust Shares makes clear that the spot
markets for commodities and currencies held in such ETPs are generally
unregulated. In fact, the Commission specifically noted in the
Winklevoss Order that the first gold ETP approval order, which was also
the first commodity-trust ETP, ``was based on an assumption that the
currency market and the spot gold market were largely unregulated.''
\14\ This makes clear that the applicable standard is not whether the
underlying commodity market itself is regulated. Further to this point,
prior orders have also emphasized that in every prior approval order
for Commodity-Based Trust Shares there was a regulated derivatives
market of significant size, generally a Commodity Futures Trading
Commission (the ``CFTC'') regulated futures market.\15\
[[Page 73362]]
Despite the lack of regulation of the underlying spot commodity and
currency markets, the Commission approved series of Currency and
Commodity-Based Trust Shares, including those that held gold, silver,
platinum, palladium, copper, and other commodities and currencies,
because it determined that the futures markets for these commodities
and currencies represented regulated markets of significant size and
that the listing exchange had a surveillance sharing agreement in place
with that market.\16\
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\10\ The Commission approved BZX Rule 14.11(e)(4) in Securities
Exchange Act Release No. 65225 (August 30, 2011), 76 FR 55148
(September 6, 2011) (SR-BATS-2011-018).
\11\ All statements and representations made in this filing
regarding (a) the description of the portfolio, (b) limitations on
portfolio holdings or reference assets, or (c) the applicability of
Exchange rules and surveillance procedures shall constitute
continued listing requirements for listing the Shares on the
Exchange.
\12\ See draft Registration Statement on Form S-1, dated June
28, 2021 submitted to the Commission by the Sponsor on behalf of the
Trust. The descriptions of the Trust, the Shares, and the Index (as
defined below) contained herein are based, in part, on information
in the Registration Statement. The Registration Statement is not yet
effective and the Shares will not trade on the Exchange until such
time that the Registration Statement is effective.
\13\ See Securities Exchange Act Release No. 83723 (July 26,
2018), 83 FR 37579 (August 1, 2018). This proposal was subsequently
disapproved by the Commission. See Securities Exchange Act Release
No. 83723 (July 26, 2018), 83 FR 37579 (August 1, 2018) (the
``Winklevoss Order'').
\14\ See Winklevoss Order at 37592 and Exchange Act Release No.
50603 (Oct. 28, 2004), 69 FR 64614 (Nov. 5, 2004) (SR-NYSE-2004-22)
(order approving the listing and trading of streetTRACKS Gold
Shares) (the ``First Gold Approval Order'').
\15\ See Winklevoss Order at 37592. See also the First Gold
Approval Order at 64618-19; iShares COMEX Gold Trust, Exchange Act
Release No. 51058 (Jan. 19, 2005), 70 FR 3749, 3751, 3754-55 (Jan.
26, 2005) (SR-Amex-2004-38); iShares Silver Trust, Exchange Act
Release No. 53521 (Mar. 20, 2006), 71 FR 14967, 14968, 14973-74
(Mar. 24, 2006) (SR-Amex-2005-072); ETFS Gold Trust, Exchange Act
Release No. 59895 (May 8, 2009), 74 FR 22993, 22994-95, 22998, 23000
(May 15, 2009) (SR-NYSEArca-2009-40); ETFS Silver Trust, Exchange
Act Release No. 59781 (Apr. 17, 2009), 74 FR 18771, 18772, 18775-77
(Apr. 24, 2009) (SR-NYSEArca-2009-28); ETFS Palladium Trust,
Exchange Act Release No. 61220 (Dec. 22, 2009), 74 FR 68895, 68896
(Dec. 29, 2009) (SR-NYSEArca-2009-94) (notice of proposed rule
change included NYSE Arca's representation that ``[t]he most
significant palladium futures exchanges are the NYMEX and the Tokyo
Commodity Exchange,'' that ``NYMEX is the largest exchange in the
world for trading precious metals futures and options,'' and that
NYSE Arca ``may obtain trading information via the Intermarket
Surveillance Group,'' of which NYMEX is a member, Exchange Act
Release No. 60971 (Nov. 9, 2009), 74 FR 59283, 59285-86, 59291 (Nov.
17, 2009)); ETFS Platinum Trust, Exchange Act Release No. 61219
(Dec. 22, 2009), 74 FR 68886, 68887-88 (Dec. 29, 2009) (SR-NYSEArca-
2009-95) (notice of proposed rule change included NYSE Arca's
representation that ``[t]he most significant platinum futures
exchanges are the NYMEX and the Tokyo Commodity Exchange,'' that
``NYMEX is the largest exchange in the world for trading precious
metals futures and options,'' and that NYSE Arca ``may obtain
trading information via the Intermarket Surveillance Group,'' of
which NYMEX is a member, Exchange Act Release No. 60970 (Nov. 9,
2009), 74 FR 59319, 59321, 59327 (Nov. 17, 2009)); Sprott Physical
Gold Trust, Exchange Act Release No. 61496 (Feb. 4, 2010), 75 FR
6758, 6760 (Feb. 10, 2010) (SR-NYSEArca-2009-113) (notice of
proposed rule change included NYSE Arca's representation that the
COMEX is one of the ``major world gold markets,'' that NYSE Arca
``may obtain trading information via the Intermarket Surveillance
Group,'' and that NYMEX, of which COMEX is a division, is a member
of the Intermarket Surveillance Group, Exchange Act Release No.
61236 (Dec. 23, 2009), 75 FR 170, 171, 174 (Jan. 4, 2010)); Sprott
Physical Silver Trust, Exchange Act Release No. 63043 (Oct. 5,
2010), 75 FR 62615, 62616, 62619, 62621 (Oct. 12, 2010) (SR-
NYSEArca-2010-84); ETFS Precious Metals Basket Trust, Exchange Act
Release No. 62692 (Aug. 11, 2010), 75 FR 50789, 50790 (Aug. 17,
2010) (SR-NYSEArca-2010-56) (notice of proposed rule change included
NYSE Arca's representation that ``the most significant gold, silver,
platinum and palladium futures exchanges are the COMEX and the
TOCOM'' and that NYSE Arca ``may obtain trading information via the
Intermarket Surveillance Group,'' of which COMEX is a member,
Exchange Act Release No. 62402 (Jun. 29, 2010), 75 FR 39292, 39295,
39298 (July 8, 2010)); ETFS White Metals Basket Trust, Exchange Act
Release No. 62875 (Sept. 9, 2010), 75 FR 56156, 56158 (Sept. 15,
2010) (SR-NYSEArca-2010-71) (notice of proposed rule change included
NYSE Arca's representation that ``the most significant silver,
platinum and palladium futures exchanges are the COMEX and the
TOCOM'' and that NYSE Arca ``may obtain trading information via the
Intermarket Surveillance Group,'' of which COMEX is a member,
Exchange Act Release No. 62620 (July 30, 2010), 75 FR 47655, 47657,
47660 (Aug. 6, 2010)); ETFS Asian Gold Trust, Exchange Act Release
No. 63464 (Dec. 8, 2010), 75 FR 77926, 77928 (Dec. 14, 2010) (SR-
NYSEArca-2010-95) (notice of proposed rule change included NYSE
Arca's representation that ``the most significant gold futures
exchanges are the COMEX and the Tokyo Commodity Exchange,'' that
``COMEX is the largest exchange in the world for trading precious
metals futures and options,'' and that NYSE Arca ``may obtain
trading information via the Intermarket Surveillance Group,'' of
which COMEX is a member, Exchange Act Release No. 63267 (Nov. 8,
2010), 75 FR 69494, 69496, 69500-01 (Nov. 12, 2010)); Sprott
Physical Platinum and Palladium Trust, Exchange Act Release No.
68430 (Dec. 13, 2012), 77 FR 75239, 75240-41 (Dec. 19, 2012) (SR-
NYSEArca-2012-111) (notice of proposed rule change included NYSE
Arca's representation that ``[f]utures on platinum and palladium are
traded on two major exchanges: The New York Mercantile Exchange . .
. and Tokyo Commodities Exchange'' and that NYSE Arca ``may obtain
trading information via the Intermarket Surveillance Group,'' of
which COMEX is a member, Exchange Act Release No. 68101 (Oct. 24,
2012), 77 FR 65732, 65733, 65739 (Oct. 30, 2012)); APMEX Physical--1
oz. Gold Redeemable Trust, Exchange Act Release No. 66930 (May 7,
2012), 77 FR 27817, 27818 (May 11, 2012) (SR-NYSEArca-2012-18)
(notice of proposed rule change included NYSE Arca's representation
that NYSE Arca ``may obtain trading information via the Intermarket
Surveillance Group,'' of which COMEX is a member, and that gold
futures are traded on COMEX and the Tokyo Commodity Exchange, with a
cross-reference to the proposed rule change to list and trade shares
of the ETFS Gold Trust, in which NYSE Arca represented that COMEX is
one of the ``major world gold markets,'' Exchange Act Release No.
66627 (Mar. 20, 2012), 77 FR 17539, 17542-43, 17547 (Mar. 26,
2012)); JPM XF Physical Copper Trust, Exchange Act Release No. 68440
(Dec. 14, 2012), 77 FR 75468, 75469-70, 75472, 75485-86 (Dec. 20,
2012) (SR-NYSEArca-2012-28); iShares Copper Trust, Exchange Act
Release No. 68973 (Feb. 22, 2013), 78 FR 13726, 13727, 13729-30,
13739-40 (Feb. 28, 2013) (SR-NYSEArca-2012-66); First Trust Gold
Trust, Exchange Act Release No. 70195 (Aug. 14, 2013), 78 FR 51239,
51240 (Aug. 20, 2013) (SR-NYSEArca-2013-61) (notice of proposed rule
change included NYSE Arca's representation that FINRA, on behalf of
the exchange, may obtain trading information regarding gold futures
and options on gold futures from members of the Intermarket
Surveillance Group, including COMEX, or from markets ``with which
[NYSE Arca] has in place a comprehensive surveillance sharing
agreement,'' and that gold futures are traded on COMEX and the Tokyo
Commodity Exchange, with a cross-reference to the proposed rule
change to list and trade shares of the ETFS Gold Trust, in which
NYSE Arca represented that COMEX is one of the ``major world gold
markets,'' Exchange Act Release No. 69847 (June 25, 2013), 78 FR
39399, 39400, 39405 (July 1, 2013)); Merk Gold Trust, Exchange Act
Release No. 71378 (Jan. 23, 2014), 79 FR 4786, 4786-87 (Jan. 29,
2014) (SR-NYSEArca-2013-137) (notice of proposed rule change
included NYSE Arca's representation that ``COMEX is the largest gold
futures and options exchange'' and that NYSE Arca ``may obtain
trading information via the Intermarket Surveillance Group,''
including with respect to transactions occurring on COMEX pursuant
to CME and NYMEX's membership, or from exchanges ``with which [NYSE
Arca] has in place a comprehensive surveillance sharing agreement,''
Exchange Act Release No. 71038 (Dec. 11, 2013), 78 FR 76367, 76369,
76374 (Dec. 17, 2013)); Long Dollar Gold Trust, Exchange Act Release
No. 79518 (Dec. 9, 2016), 81 FR 90876, 90881, 90886, 90888 (Dec. 15,
2016) (SR-NYSEArca-2016-84).
\16\ Id.
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The Exchange acknowledges that unregulated currency and commodity
markets do not provide the same protections as the markets that are
subject to the Commission's oversight. However, the Commission has
consistently looked to surveillance sharing agreements with an
underlying futures market to determine whether ETPs holding currency or
commodities were consistent with the Act, as established above. As
such, the Commission's regulated market of significant size test does
not require that the spot bitcoin market be regulated to approve this
proposal. To the contrary, precedent makes clear that any requirement
that the spot bitcoin market be a ``regulated market'' prior to
approval would be incongruous with all prior spot commodity and
currency approval orders. With this in mind, the CME Bitcoin Futures
market is the proper market for the Commission to consider in
determining whether this proposal is consistent with the Act. The
Exchange has a comprehensive surveillance sharing agreement in place
with CME, which operates a bitcoin futures market that, as established
by the included analysis below, represents a regulated market of
significant size related to the underlying commodity (bitcoin) to be
held by the Trust. Therefore, both the Exchange and the Sponsor believe
that the CME Bitcoin Futures market satisfies the standard that the
Commission has applied to all previously approved series of Commodity-
Based Trust Shares and that this proposal should be approved.
Background
Bitcoin is a digital asset based on the decentralized, open source
protocol of the peer-to-peer computer network launched in 2009 that
governs the creation, movement, and ownership of bitcoin and hosts the
public ledger, or ``blockchain,'' on which all bitcoin transactions are
recorded (the ``Bitcoin Network'' or ``Bitcoin''). The decentralized
nature of the Bitcoin Network allows parties to transact directly with
one another based on cryptographic proof instead of relying on a
trusted third party. The protocol also lays out the rate of issuance of
new bitcoin within the Bitcoin Network, a rate that is reduced by half
approximately every four years with an eventual hard cap of 21 million.
It's generally understood that the combination of these two features--a
systemic hard cap of 21 million bitcoin and the ability to transact
trustlessly with anyone connected to the Bitcoin Network--gives bitcoin
its value.\17\ The first rule filing proposing to list an exchange-
traded product to provide exposure to bitcoin in the U.S. was submitted
by the Exchange on June 30, 2016.\18\ At that time, blockchain
technology, and digital assets that utilized it, were relatively new to
the broader public. The market cap of all bitcoin in existence at that
time was approximately $10 billion. No registered offering of digital
asset securities or shares in an investment vehicle with exposure to
bitcoin or any other cryptocurrency had yet been conducted, and the
regulated infrastructure for conducting a digital asset securities
offering had not begun to develop.\19\ Similarly, regulated U.S.
bitcoin futures contracts did not exist. The CFTC had determined that
bitcoin is a commodity,\20\ but had not engaged in
[[Page 73363]]
significant enforcement actions in the space. The New York Department
of Financial Services (``NYDFS'') adopted its final BitLicense
regulatory framework in 2015, but had only approved four entities to
engage in activities relating to virtual currencies (whether through
granting a BitLicense or a limited-purpose trust charter) as of June
30, 2016.\21\ While the first over-the-counter bitcoin fund launched in
2013, public trading was limited and the fund had only $60 million in
assets.\22\ There were very few, if any, traditional financial
institutions engaged in the space, whether through investment or
providing services to digital asset companies. In January 2018, the
Staff of the Commission noted in a letter to the Investment Company
Institute and SIFMA that it was not aware, at that time, of a single
custodian providing fund custodial services for digital assets.\23\
Fast forward to the fourth quarter of 2021 and the digital assets
financial ecosystem, including bitcoin, has progressed significantly.
The development of a regulated market for digital asset securities has
significantly evolved, with market participants having conducted
registered public offerings of both digital asset securities \24\ and
shares in investment vehicles holding bitcoin futures.\25\
Additionally, licensed and regulated service providers have emerged to
provide fund custodial services for digital assets, among other
services. For example, in May 2021, the Staff of the Commission
released a statement permitting open-end mutual funds to invest in
cash-settled bitcoin futures; in December 2020, the Commission adopted
a conditional no-action position permitting certain special purpose
broker-dealers to custody digital asset securities under Rule 15c3-3
under the Exchange Act (the ``Custody Statement''); \26\ in September
2020, the Staff of the Commission released a no-action letter
permitting certain broker-dealers to operate a non-custodial
Alternative Trading System (``ATS'') for digital asset securities,
subject to specified conditions; \27\ in October 2019, the Staff of the
Commission granted temporary relief from the clearing agency
registration requirement to an entity seeking to establish a securities
clearance and settlement system based on distributed ledger
technology,\28\ and multiple transfer agents who provide services for
digital asset securities registered with the Commission.\29\
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\17\ For additional information about bitcoin and the Bitcoin
Network, see https://bitcoin.org/en/getting-started; https://www.fidelitydigitalassets.com/articles/addressing-bitcoin-criticisms; and https://www.vaneck.com/education/investment-ideas/investing-in-bitcoin-and-digital-assets/.
\18\ See Winklevoss Order.
\19\ Digital assets that are securities under U.S. law are
referred to throughout this proposal as ``digital asset
securities.'' All other digital assets, including bitcoin, are
referred to interchangeably as ``cryptocurrencies'' or ``virtual
currencies.'' The term ``digital assets'' refers to all digital
assets, including both digital asset securities and
cryptocurrencies, together.
\20\ See ``In the Matter of Coinflip, Inc.'' (``Coinflip'')
(CFTC Docket 15-29 (September 17, 2015)) (order instituting
proceedings pursuant to Sections 6(c) and 6(d) of the CEA, making
findings and imposing remedial sanctions), in which the CFTC stated:
``Section 1a(9) of the CEA defines `commodity' to include, among
other things, `all services, rights, and interests in which
contracts for future delivery are presently or in the future dealt
in.' 7 U.S.C. 1a(9). The definition of a `commodity' is broad. See,
e.g., Board of Trade of City of Chicago v. SEC, 677 F. 2d 1137, 1142
(7th Cir. 1982). Bitcoin and other virtual currencies are
encompassed in the definition and properly defined as commodities.''
\21\ A list of virtual currency businesses that are entities
regulated by the NYDFS is available on the NYDFS website. See
https://www.dfs.ny.gov/apps_and_licensing/virtual_currency_businesses/regulated_entities.
\22\ Data as of March 31, 2016 according to publicly available
filings. See Bitcoin Investment Trust Form S-1, dated May 27, 2016,
available: https://www.sec.gov/Archives/edgar/data/1588489/000095012316017801/filename1.htm.
\23\ See letter from Dalia Blass, Director, Division of
Investment Management, U.S. Securities and Exchange Commission to
Paul Schott Stevens, President & CEO, Investment Company Institute
and Timothy W. Cameron, Asset Management Group--Head, Securities
Industry and Financial Markets Association (January 18, 2018),
available at https://www.sec.gov/divisions/investment/noaction/2018/cryptocurrency-011818.htm.
\24\ See Prospectus supplement filed pursuant to Rule 424(b)(1)
for INX Tokens (Registration No. 333-233363), available at: https://www.sec.gov/Archives/edgar/data/1725882/000121390020023202/ea125858-424b1_inxlimited.htm.
\25\ See Prospectus filed by Stone Ridge Trust VI on behalf of
NYDIG Bitcoin Strategy Fund Registration, available at: https://www.sec.gov/Archives/edgar/data/1764894/000119312519309942/d693146d497.htm.
\26\ See Securities Exchange Act Release No. 90788, 86 FR 11627
(February 26, 2021) (File Number S7-25-20) (Custody of Digital Asset
Securities by Special Purpose Broker-Dealers).
\27\ See letter from Elizabeth Baird, Deputy Director, Division
of Trading and Markets, U.S. Securities and Exchange Commission to
Kris Dailey, Vice President, Risk Oversight & Operational
Regulation, Financial Industry Regulatory Authority (September 25,
2020), available at: https://www.sec.gov/divisions/marketreg/mr-noaction/2020/finra-ats-role-in-settlement-of-digital-asset-security-trades-09252020.pdf.
\28\ See letter from Jeffrey S. Mooney, Associate Director,
Division of Trading and Markets, U.S. Securities and Exchange
Commission to Charles G. Cascarilla & Daniel M. Burstein, Paxos
Trust Company, LLC (October 28, 2019), available at: https://www.sec.gov/divisions/marketreg/mr-noaction/2019/paxos-trust-company-102819-17a.pdf.
\29\ See, e.g., Form TA-1/A filed by Tokensoft Transfer Agent
LLC (CIK: 0001794142) on January 8, 2021, available at: https://www.sec.gov/Archives/edgar/data/1794142/000179414219000001/xslFTA1X01/primary_doc.xml.
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Outside the Commission's purview, the regulatory landscape has
changed significantly since 2016, and cryptocurrency markets have grown
and evolved as well. The market for bitcoin is approximately 100 times
larger, with a market cap of over $1 trillion.\30\ According to the CME
Bitcoin Futures Report, from October 25, 2021 through November 19,
2021, CFTC regulated bitcoin futures represented approximately $2.9
billion in notional trading volume on Chicago Mercantile Exchange
(``CME'') (``CME Bitcoin Futures'') on a daily basis and notional
volume was never below $1.2 billion per day.\31\ Open interest was over
$4 billion for the entirety of the period and at one point reached $5.5
billion. The CFTC has exercised its regulatory jurisdiction in bringing
a number of enforcement actions related to bitcoin and against trading
platforms that offer cryptocurrency trading.\32\ The U.S. Office of the
Comptroller of the Currency (the ``OCC'') has made clear that
federally-chartered banks are able to provide custody services for
cryptocurrencies and other digital assets.\33\ The OCC recently granted
conditional approval of two charter conversions by state-chartered
trust companies to national banks, both of which provide cryptocurrency
custody services.\34\ NYDFS has granted no fewer than twenty-five
BitLicenses, including to established public payment companies like
PayPal Holdings, Inc. and Square, Inc., and limited purpose trust
charters to entities providing cryptocurrency custody services,
including the Trust's Custodian. The U.S. Treasury Financial Crimes
Enforcement Network (``FinCEN'') has released extensive guidance
regarding the applicability of the Bank Secrecy Act (``BSA'') and
implementing regulations to virtual currency businesses,\35\ and has
proposed rules imposing requirements on entities subject to the BSA
that are specific to the technological context of virtual
currencies.\36\ In addition, the Treasury's
[[Page 73364]]
Office of Foreign Assets Control (``OFAC'') has brought enforcement
actions over apparent violations of the sanctions laws in connection
with the provision of wallet management services for digital
assets.\37\
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\30\ As of December 1, 2021, the total market cap of all bitcoin
in circulation was approximately $1.08 trillion.
\31\ Data sourced from the CME Bitcoin Futures Report: 19 Nov,
2021, available at: https://www.cmegroup.com/ftp/bitcoinfutures/Bitcoin_Futures_Liquidity_Report.pdf.
\32\ The CFTC's annual report for Fiscal Year 2020 (which ended
on September 30, 2020) noted that the CFTC ``continued to
aggressively prosecute misconduct involving digital assets that fit
within the CEA's definition of commodity'' and ``brought a record
setting seven cases involving digital assets.'' See CFTC FY2020
Division of Enforcement Annual Report, available at: https://www.cftc.gov/media/5321/DOE_FY2020_AnnualReport_120120/download.
Additionally, the CFTC filed on October 1, 2020, a civil enforcement
action against the owner/operators of the BitMEX trading platform,
which was one of the largest bitcoin derivative exchanges. See CFTC
Release No. 8270-20 (October 1, 2020) available at: https://www.cftc.gov/PressRoom/PressReleases/8270-20.
\33\ See OCC News Release 2021-2 (January 4, 2021) available at:
https://www.occ.gov/news-issuances/news-releases/2021/nr-occ-2021-2.html.
\34\ See OCC News Release 2021-6 (January 13, 2021) available
at: https://www.occ.gov/news-issuances/news-releases/2021/nr-occ-2021-6.html and OCC News Release 2021-19 (February 5, 2021)
available at: https://www.occ.gov/news-issuances/news-releases/2021/nr-occ-2021-19.html.
\35\ See FinCEN Guidance FIN-2019-G001 (May 9, 2019)
(Application of FinCEN's Regulations to Certain Business Models
Involving Convertible Virtual Currencies) available at: https://www.fincen.gov/sites/default/files/2019-05/FinCEN%20Guidance%20CVC%20FINAL%20508.pdf.
\36\ See U.S. Department of the Treasury Press Release: ``The
Financial Crimes Enforcement Network Proposes Rule Aimed at Closing
Anti-Money Laundering Regulatory Gaps for Certain Convertible
Virtual Currency and Digital Asset Transactions'' (December 18,
2020), available at: https://home.treasury.gov/news/press-releases/sm1216.
\37\ See U.S. Department of the Treasury Enforcement Release:
``OFAC Enters Into $98,830 Settlement with BitGo, Inc. for Apparent
Violations of Multiple Sanctions Programs Related to Digital
Currency Transactions'' (December 30, 2020) available at: https://home.treasury.gov/system/files/126/20201230_bitgo.pdf.
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In addition to the regulatory developments laid out above, more
traditional financial market participants have embraced and continue to
embrace cryptocurrency: Large insurance companies,\38\ asset
managers,\39\ university endowments,\40\ pension funds,\41\ and even
historically bitcoin skeptical fund managers \42\ are allocating to
bitcoin. The largest over-the-counter bitcoin fund previously filed a
Form 10 registration statement, which the Staff of the Commission
reviewed and which took effect automatically, and is now a reporting
company.\43\ Established companies like Tesla, Inc.,\44\ MicroStrategy
Incorporated,\45\ and Square, Inc.,\46\ among others, have recently
announced substantial investments in bitcoin in amounts as large as
43,200 BTC \47\, worth around $2.5 billion (Tesla) valued at a BTCUSD
price of $60,000 and 121,043 BTC worth $7.2 billion (MicroStrategy).
The foregoing examples demonstrate that bitcoin has gained mainstream
usage and recognition.
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\38\ On December 10, 2020, Massachusetts Mutual Life Insurance
Company (MassMutual) announced that it had purchased $100 million in
bitcoin for its general investment account. See MassMutual Press
Release ``Institutional Bitcoin provider NYDIG announces minority
stake purchase by MassMutual'' (December 10, 2020) available at:
https://www.massmutual.com/about-us/news-and-press-releases/press-releases/2020/12/institutional-bitcoin-provider-nydig-announces-minority-stake-purchase-by-massmutual.
\39\ See e.g., ``BlackRock's Rick Rieder says the world's
largest asset manager has `started to dabble' in bitcoin'' (February
17, 2021) available at: https://www.cnbc.com/2021/02/17/blackrock-has-started-to-dabble-in-bitcoin-says-rick-rieder.html and
``Guggenheim's Scott Minerd Says Bitcoin Should Be Worth $400,000''
(December 16, 2020) available at: https://www.bloomberg.com/news/articles/2020-12-16/guggenheim-s-scott-minerd-says-bitcoin-should-be-worth-400-000.
\40\ See e.g., ``Harvard and Yale Endowments Among Those
Reportedly Buying Crypto'' (January 25, 2021) available at: https://www.bloomberg.com/news/articles/2021-01-26/harvard-and-yale-endowments-among-those-reportedly-buying-crypto.
\41\ See e.g., ``Virginia Police Department Reveals Why its
Pension Fund is Betting on Bitcoin'' (February 14, 2019) available
at: https://finance.yahoo.com/news/virginia-police-department-reveals-why-194558505.html.
\42\ See e.g., ``Bridgewater: Our Thoughts on Bitcoin'' (January
28, 2021) available at: https://www.bridgewater.com/research-and-insights/our-thoughts-on-bitcoin and ``Paul Tudor Jones says he
likes bitcoin even more now, rally still in the `first inning'''
(October 22, 2020) available at: https://www.cnbc.com/2020/10/22/-paul-tudor-jones-says-he-likes-bitcoin-even-more-now-rally-still-in-the-first-inning.html.
\43\ See Letter from Division of Corporation Finance, Office of
Real Estate & Construction to Barry E. Silbert, Chief Executive
Officer, Grayscale Bitcoin Trust (January 31, 2020) https://www.sec.gov/Archives/edgar/data/1588489/00000000020000953/filename1.pdf.
\44\ See Form 10-K submitted by Tesla, Inc. for the fiscal year
ended December 31, 2020 at 23: https://www.sec.gov/ix?doc=/Archives/edgar/data/1318605/000156459021004599/tsla-10k_20201231.htm.
\45\ See Form 10-Q submitted by MicroStrategy Incorporated for
the quarterly period ended September 30, 2020 at 8: https://www.sec.gov/ix?doc=/Archives/edgar/data/1050446/000156459020047995/mstr-10q_20200930.htm.
\46\ See Form 10-Q submitted by Square, Inc. for the quarterly
period ended September 30, 2020 at 51: https://www.sec.gov/ix?doc=/Archives/edgar/data/1512673/000151267320000012/sq-20200930.htm.
\47\ Amount obtained from https://bitcointreasuries.net as of
December 3, 2021.
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Despite these developments, access for U.S. retail investors to
gain exposure to bitcoin via a transparent and U.S. regulated, U.S.
exchange-traded vehicle remains limited. Instead current options
include: (i) Paying a potentially high premium (and high management
fees) to buy over-the-counter bitcoin funds (``OTC Bitcoin Funds''), to
the advantage of more sophisticated investors that are able to create
shares at net asset value (``NAV'') directly with the issuing trust;
\48\ (ii) facing the technical risk, complexity and generally high fees
associated with buying spot bitcoin; (iii) purchasing shares of
operating companies that they believe will provide proxy exposure to
bitcoin with limited disclosure about the associated risks; \49\ or
(iv) through the purchase of Bitcoin Futures ETFs, which represent a
sub-optimal structure for long-term investors that will cost them
collectively tens of millions of dollars every year, as further
discussed below. Meanwhile, investors in many other countries,
including Canada \50\ and Brazil, are able to use more traditional
exchange listed and traded products (including exchange-traded funds
[[Page 73365]]
holding physical bitcoin) to gain exposure to bitcoin, disadvantaging
U.S. investors and leaving them with more risky means of getting
bitcoin exposure.\51\ Additionally, investors in other countries,
specifically Canada, generally pay lower fees than U.S. retail
investors that invest in OTC Bitcoin Funds due to the fee pressure that
results from increased competition among available bitcoin investment
options. Without an approved and regulated spot bitcoin ETP in the U.S.
as a viable alternative, U.S. investors could seek to purchase shares
of non-U.S. bitcoin vehicles in order to get access to bitcoin
exposure. Given the separate regulatory regime and the potential
difficulties associated with any international litigation, such an
arrangement would create more risk exposure for U.S. investors than
they would otherwise have with a U.S. exchange listed ETP. Further to
this point, the lack of a U.S.-listed spot bitcoin ETP is not
preventing U.S. funds from gaining exposure to bitcoin--several U.S.
exchange-traded funds are using Canadian bitcoin ETPs to gain exposure
to spot bitcoin. In addition to the benefits to U.S. investors
articulated throughout this proposal, approving this proposal (and
others like it) would provide U.S. exchange-traded funds with a U.S.-
listed and regulated product to provide such access rather than relying
on either flawed products or products listed and primarily regulated in
other countries.
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\48\ The largest OTC Bitcoin Fund has grown its AUM from
approximately $2.6 billion on February 26, 2020, the date on which
the Commission issued the disapproval order for the United States
Bitcoin and Treasury Investment Trust, to $37.1 billion on December
1, 2021, according to Grayscale's website. See Securities Exchange
Act Release No. 88284 (February 26, 2020), 85 FR 12595 (March 3,
2020) (SR-NYSEArca-2019-39) (the ``Wilshire Phoenix Disapproval'').
While the price of one bitcoin has increased approximately 690% in
the intervening period, the total AUM has increased by approximately
1540%, indicating that the increase in AUM was created beyond just
price appreciation in bitcoin. The premium and discount for OTC
Bitcoin Funds is known to move rapidly. For example, over the period
of 12/21/20 to 1/21/20, the premium for the largest OTC Bitcoin Fund
went from 40.18% to 2.79%. While the price of bitcoin appreciated
significantly during this period and NAV per share increased by
41.25%, the price per share increased by only 3.58%. This means that
investors are buying shares of a fund that experiences significant
volatility in its premium and discount outside of the fluctuations
in price of the underlying asset. Even operating within the normal
premium and discount range, it's possible for an investor to buy
shares of an OTC Bitcoin Fund only to have those shares quickly lose
10% or more in dollar value excluding any movement of the price of
bitcoin. That is to say--the price of bitcoin could have stayed
exactly the same from market close on one day to market open the
next, yet the value of the shares held by the investor decreased
only because of the fluctuation of the premium. As more investment
vehicles, including mutual funds and ETFs, seek to gain exposure to
bitcoin, the easiest option for a buy and hold strategy for such
vehicles is often an OTC Bitcoin Fund, meaning that even investors
that do not directly buy OTC Bitcoin Funds can be disadvantaged by
extreme premiums (or discounts) and premium volatility.
\49\ Recently a number of operating companies engaged in
unrelated businesses--such as Tesla (a car manufacturer) and
MicroStrategy (an enterprise software company)--have announced
investments as large as $5.3 billion in bitcoin. Without access to
bitcoin exchange-traded products, retail investors seeking
investment exposure to bitcoin may end up purchasing shares in these
companies in order to gain the exposure to bitcoin that they seek.
In fact, mainstream financial news networks have written a number of
articles providing investors with guidance for obtaining bitcoin
exposure through publicly traded companies (such as MicroStrategy,
Tesla, and bitcoin mining companies, among others) instead of
dealing with the complications associated with buying spot bitcoin
in the absence of a bitcoin ETP. See e.g., ``7 public companies with
exposure to bitcoin'' (February 8, 2021) available at: https://finance.yahoo.com/news/7-public-companies-with-exposure-to-bitcoin-154201525.html; and ``Want to get in the crypto trade without
holding bitcoin yourself? Here are some investing ideas'' (February
19, 2021) available at: https://www.cnbc.com/2021/02/19/ways-to-invest-in-bitcoin-without-holding-the-cryptocurrency-yourself-.html.
Such operating companies, however, are imperfect bitcoin proxies and
provide investors with partial bitcoin exposure paired with a host
of additional risks associated with whichever operating company they
decide to purchase. Additionally, the disclosures provided by such
operating companies with respect to risks relating to their bitcoin
holdings are generally substantially smaller than the registration
statement of a bitcoin ETP, including the Registration Statement,
typically amounting to a few sentences of narrative description and
a handful of risk factors. In other words, investors seeking bitcoin
exposure through publicly traded companies are gaining only partial
exposure to bitcoin and are not fully benefitting from the risk
disclosures and associated investor protections that come from the
securities registration process.
\50\ The Exchange notes that the Purpose Bitcoin ETF, a retail
physical bitcoin ETP launched in Canada, reportedly reached $1.2
billion in assets under management as of October 15, 2021 (``AUM''),
demonstrating the demand for a North American market listed bitcoin
exchange-traded product (``ETP''). The Purpose Bitcoin ETF also
offers a class of units that is U.S. dollar denominated, which could
appeal to U.S. investors.
\51\ The Exchange notes that securities regulators in a number
of other countries have either approved or otherwise allowed the
listing and trading of bitcoin ETPs. Specifically, these funds
include the Purpose Bitcoin ETF, Bitcoin ETF, VanEck Vectors Bitcoin
ETN, WisdomTree Bitcoin ETP, Bitcoin Tracker One, BTCetc bitcoin
ETP, Amun Bitcoin ETP, Amun Bitcoin Suisse ETP, 21Shares Short
Bitcoin ETP, CoinShares Physical Bitcoin ETP.
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Bitcoin Futures ETFs
The Exchange and Sponsor applaud the Commission for allowing the
recent launch of the ETFs registered under the Investment Company Act
of 1940, as amended (the ``1940 Act''), that provide exposure to
bitcoin through CME Bitcoin Futures (``Bitcoin Futures ETFs'').
Allowing such products to list and trade is a productive first step in
providing transparent, exchange-listed tools for expressing a view on
bitcoin for U.S. investors and traders. However, as has been reported
by numerous outlets, the structure of such products provides negative
outcomes for buy and hold investors as compared to an ETP that would
hold actual bitcoin instead of derivatives contracts (``Spot Bitcoin
ETPs'').\52\ Specifically, the cost of rolling CME Bitcoin Futures
contracts (which has reached as high as 17% annually \53\ excluding a
fund's management fees and borrowing costs, if any) will cause the
Bitcoin Futures ETFs to lag the performance of bitcoin itself and, at
over a billion dollars in assets under management, would cost U.S.
investors hundreds of millions of dollars on an annual basis. Such
rolling costs would not be required for Spot Bitcoin ETPs that hold
bitcoin. Further, Bitcoin Futures ETFs have grown so rapidly that they
face potentially running into CME position limits, which would force a
Bitcoin Futures ETF to invest in non-futures assets for bitcoin
exposure and cause potential investor confusion and lack of certainty
about what such Bitcoin Futures ETFs are actually holding to try to get
exposure to bitcoin, not to mention completely changing the risk
profile associated with such an ETF. While Bitcoin Futures ETFs
represent a useful trading tool, they are clearly a sub-optimal
structure for U.S. investors that are looking for long-term exposure to
bitcoin that will, based on the calculations above, unnecessarily cost
U.S. investors millions of dollars every year and the Exchange believes
that any proposal to list and trade a Spot Bitcoin ETP should be
reviewed by the Commission with this important investor protection
context in mind.
---------------------------------------------------------------------------
\52\ See e.g., ``Bitcoin ETF's Success Could Come at
Fundholders' Expense,'' Wall Street Journal (October 24, 2021),
available at: https://www.wsj.com/articles/bitcoin-etfs-success-could-come-at-fundholders-expense-11635080580; ``Physical Bitcoin
ETF Prospects Accelerate,'' ETF.com (October 25, 2021), available
at: https://www.etf.com/sections/blog/physical-bitcoin-etf-prospects-shine?nopaging=1&__cf_chl_jschl_tk__=pmd_JsK.fjXz9eAQW9zol0qpzhXDrrlpIVdoCloLXbLjl44-1635476946-0-gqNtZGzNApCjcnBszQql.
\53\ Id.
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As discussed further below, the Commission's primary test in
determining whether to approve or disapprove a series of Commodity-
Based Trust Shares, a product type which includes Spot Bitcoin ETPs, is
whether the listing exchange has in place a comprehensive surveillance
sharing agreement with a regulated market of significant size in the
underlying asset. Previous disapproval orders have made clear that a
regulated market of significant size is generally a futures and/or
options market rather than the spot commodity markets, which are often
unregulated.\54\ Leaving aside the analysis of that standard for
now,\55\ Cboe believes it would be inconsistent to allow the listing
and trading of Bitcoin Futures ETFs that hold primarily CME Bitcoin
Futures while simultaneously disapproving Spot Bitcoin ETPs on the
basis that the CME Bitcoin Futures market is not a regulated market of
significant size. If the CME Bitcoin Futures market were not, in the
opinion of the Commission, a regulated market of significant size,
permitting Bitcoin Futures ETFs that trade on such market would seem to
be inconsistent with the requirement under the Act of being designed to
``prevent fraudulent and manipulative acts and practices'' as
articulated in the Winklevoss Order and other disapproval orders.\56\
One may argue that the 1940 Act provides certain investor protections
that could mitigate some of these concerns, but the investor protection
mechanisms under the 1940 Act relate primarily to the composition of a
1940 Act fund's board of directors, limitations on leverage and
transactions with affiliates, among others. Those requirements--which
primarily relate to a 1940 Act fund's internal structure and
operations, rather than to the markets for the assets which the 1940
Act fund trades--would not confer additional protections to investors
in relation to the underlying CME Bitcoin Futures market that would
justify different regulatory outcomes for Bitcoin Futures ETFs and Spot
Bitcoin ETPs.\57\
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\54\ See Winklevoss Order at 37593, specifically footnote 202,
which includes the language from numerous approval orders for which
the underlying futures markets formed the basis for approving series
of ETPs that hold physical metals, including gold, silver,
palladium, platinum, and precious metals more broadly; and 37600,
specifically where the Commission provides that ``when the spot
market is unregulated--the requirement of preventing fraudulent and
manipulative acts may possibly be satisfied by showing that the ETP
listing market has entered into a surveillance-sharing agreement
with a regulated market of significant size in derivatives related
to the underlying asset.'' As noted above, the Exchange believes
that these citations are particularly helpful in making clear that
the spot market for a spot commodity ETP need not be ``regulated''
in order for a spot commodity ETP to be approved by the Commission,
and in fact that it's been the common historical practice of the
Commission to rely on such derivatives markets as the regulated
market of significant size because such spot commodities markets are
largely unregulated.
\55\ As further outlined below, both the Exchange and the
Sponsor believe that the CME Bitcoin Futures market represents a
regulated market of significant size and that this proposal and
others like it should be approved on this basis.
\56\ 15 U.S.C. 78f(b)(5). For additional detail, see Winklevoss
Order at 37600.
\57\ The largest OTC Bitcoin Funds holding spot Bitcoin today
are not 1940 Act Funds.
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Further to this point, part of the analysis of the regulated market
of significant size test is whether an underlying market is
sufficiently large to support an ETP is whether trading in the ETP is
likely to be the predominant influence on prices in the market of
[[Page 73366]]
significant size.\58\ According to publicly available data, the largest
Bitcoin Futures ETF represents 3,803 contracts \59\ of the total 9,625
contracts of open interest in December CME Bitcoin Futures \60\ as of
12/2/21 (roughly 40% of open interest). This seems to directly
contradict the previously articulated standards by the Commission in
the disapproval orders issued for Spot Bitcoin ETPs related to whether
the trading in the ETP would be the predominant influence on prices in
that market.\61\ While it is difficult at this point to assess the
direct impact on pricing of the CME Bitcoin Futures based on the launch
of the Bitcoin Futures ETFs, such circumstances, especially related to
the generally predictable trading behaviors of an ETF, seem to have the
potential to represent a significant influence over pricing in the
market. Allowing Spot Bitcoin ETPs to come to market will alleviate
these concerns because such ETPs would be transacting in the spot
bitcoin market on a more limited basis (acquiring spot bitcoin as
needed and not rolling contracts on a monthly basis). As further
discussed below, research indicates that the CME Bitcoin Futures market
is a regulated market of significant size that generally leads price
discovery across USD-based trading in bitcoin futures and spot markets
globally.
---------------------------------------------------------------------------
\58\ See Winklevoss Order at 37594.
\59\ See Fund Holdings Information available at https://www.proshares.com/funds/bito.html.
\60\ See Volume and Open Interest data available at https://www.cmegroup.com/markets/cryptocurrencies/bitcoin/bitcoin.volume.html.
\61\ See Winklevoss Order at 37594-37595.
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To the extent the Commission may view differential treatment of
Bitcoin Futures ETFs and Spot Bitcoin ETPs as warranted based on the
Commission's concerns about the custody of physical Bitcoin that a Spot
Bitcoin ETP would hold (compared to cash-settled futures
contracts),\62\ the Sponsor believes this concern is mitigated to a
significant degree by the custodial arrangements that the Trust has
contracted with Coinbase Trust Company, LLC (the ``Custodian'') to
provide. In the Custody Statement, the Commission stated that the
fourth step that a broker-dealer could take to shield traditional
securities customers and others from the risks and consequences of
digital asset security fraud, theft, or loss is to establish, maintain,
and enforce reasonably designed written policies, procedures, and
controls for safekeeping and demonstrating the broker-dealer has
exclusive possession or control over digital asset securities that are
consistent with industry best practices to protect against the theft,
loss, and unauthorized and accidental use of the private keys necessary
to access and transfer the digital asset securities the broker-dealer
holds in custody. While bitcoin is not a security and the Custodian is
not a broker-dealer, the Sponsor believes that similar considerations
apply to the Custodian's holding of the Trust's bitcoin. After diligent
investigation, the Sponsor believes that the Custodian's policies,
procedures, and controls for safekeeping, exclusively possessing, and
controlling the Trust's bitcoin holdings are consistent with industry
best practices to protect against the theft, loss, and unauthorized and
accidental use of the private keys. As a trust company chartered by the
New York Department of Financial Services, the Sponsor notes that the
Custodian is subject to extensive regulation and has among the longest
track records in the industry of providing custodial services for
digital asset private keys. The Custodian has represented to the Trust
that it has never suffered a loss of bitcoin belonging to customers.
Under the circumstances, therefore, to the extent the Commission
believes that its concerns about the risks of spot bitcoin custody
justifies differential treatment of a Bitcoin Futures ETF versus a Spot
Bitcoin ETP, the Sponsor believes that the fact that the Custodian
employs the same types of policies, procedures, and safeguards in
handling spot bitcoin that the Commission has stated that broker-
dealers should implement with respect to digital asset securities would
appear to weaken the justification for treating a Bitcoin Futures ETF
compared to a Spot Bitcoin ETP differently due to spot bitcoin custody
concerns.
---------------------------------------------------------------------------
\62\ See, e.g., Division of Investment Management Staff, Staff
Statement on Funds Registered Under the Investment Company Act
Investing in the Bitcoin Futures Market, May 11, 2021 (``The Bitcoin
futures market also has not presented the custody challenges
associated with some cryptocurrency-based investing because the
futures are cash-settled'').
---------------------------------------------------------------------------
Based on the foregoing, the Exchange and Sponsor believe that any
objective review of the proposals to list Spot Bitcoin ETPs compared to
the already listed and traded Bitcoin Futures ETFs would lead to the
conclusion that Spot Bitcoin ETPs should be available to U.S. investors
and, as such, this proposal and other comparable proposals to list and
trade Spot Bitcoin ETPs should be approved by the Commission. Stated
simply, U.S. investors stand to lose hundreds of millions of dollars
from holding Bitcoin Futures ETFs, losses which could be prevented by
the Commission approving Spot Bitcoin ETPs. Additionally, any concerns
related to preventing fraudulent and manipulative acts and practices
related to Spot Bitcoin ETPs would apply equally to the spot markets
underlying the futures contracts held by a Bitcoin Futures ETF. While
the 1940 Act does offer certain investor protections, those protections
do not relate to mitigating potential manipulation of the holdings of
an ETF in a way that warrants distinction between Bitcoin Futures ETFs
and Spot Bitcoin ETPs. To be clear, both the Exchange and Sponsor
believe that the CME Bitcoin Futures market is a regulated market of
significant size and that such manipulation concerns are mitigated, as
described extensively below. After allowing the listing and trading of
Bitcoin Futures ETFs that hold primarily CME Bitcoin Futures, however,
the only consistent outcome would be approving Spot Bitcoin ETPs on the
basis that the CME Bitcoin Futures market is a regulated market of
significant size. Including in the analysis the significant and
preventable losses to U.S. investors that comes with Bitcoin Futures
ETFs, disapproving Spot Bitcoin ETPs seems even more arbitrary and
capricious. Given the current landscape, approving this proposal (and
others like it) and allowing Spot Bitcoin ETPs to be listed and traded
alongside Bitcoin Futures ETFs would establish a consistent regulatory
approach, provide U.S. investors with choice in product structures for
bitcoin exposure, and offer flexibility in the means of gaining
exposure to bitcoin through transparent, regulated, U.S. exchange-
listed vehicles.
Bitcoin Futures
CME began offering trading in CME Bitcoin Futures in December 2017.
Each contract represents five bitcoin and is based on the CME CF
Bitcoin Reference Rate.\63\ The contracts trade and settle like other
cash-settled commodity futures contracts. Nearly every measurable
metric related to CME Bitcoin Futures has trended consistently up since
launch and/or accelerated upward in the past year, which is captured in
the following charts.
---------------------------------------------------------------------------
\63\ According to CME, the CME CF Bitcoin Reference Rate
aggregates the trade flow of major bitcoin spot exchanges during a
specific calculation window into a once-a-day reference rate of the
U.S. dollar price of bitcoin. Calculation rules are geared toward
maximum transparency and real-time replicability in underlying spot
markets, including Bitstamp, Coinbase, Gemini, itBit, and Kraken.
For additional information, refer to https://www.cmegroup.com/trading/cryptocurrency-indices/cf-bitcoin-reference-rate.html?redirect=/trading/cf-bitcoin-reference-rate.html.
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[[Page 73367]]
[GRAPHIC] [TIFF OMITTED] TN27DE21.001
Additional Analysis \64\
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\64\ Unless otherwise noted, all data and analysis presented in
this section and referenced elsewhere in the filing has been
provided by the Sponsor.
---------------------------------------------------------------------------
According to the Sponsor, the increase in the volume on the CME is
reflected in a higher proportion of the bitcoin market share. This is
illustrated by plotting the proportion of monthly volume traded in
bitcoin on the CME \65\ (categorized as regulated in the chart and used
as the numerator) in relation to the total bitcoin market, which
comprises of the sum of the volume of bitcoin futures on the CME and
the spot volume on cryptocurrency exchanges \66\ (categorized as
unregulated and used as the denominator) from January 1, 2018 to
December 1, 2021 illustrates this point.
---------------------------------------------------------------------------
\65\ Data on Bitcoin futures is obtained from https://www.cmegroup.com/markets/cryptocurrencies/bitcoin/bitcoin.volume.html.
\66\ Data on Bitcoin volume traded on cryptocurrency exchanges
is obtained from https://www.cryptocompare.com.
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[[Page 73368]]
[GRAPHIC] [TIFF OMITTED] TN27DE21.002
The proportion of volume traded on the CME has increased from less
than 5% at inception, to more than 20% over three and a half years.
Furthermore, the CME market, as well as other crypto-linked markets,
and the spot market are highly correlated. In markets that are globally
and efficiently integrated, one would expect that changes in prices of
an asset across all markets to be highly correlated. The rationale
behind this is that quick and efficient arbitrageurs would capture
potentially profitable opportunities, consequently converging prices to
the average intrinsic value very rapidly.
Bitcoin markets exhibit a high degree of correlation. Using daily
Bitcoin prices from centralized exchanges, ETP providers, and the CME
from January 20, 2021 to December 1, 2021,\67\ the Sponsor calculates
the Pearson correlation of returns \68\ across these markets and find a
high degree of correlation.
---------------------------------------------------------------------------
\67\ The calculation of correlations used the period January 20,
2021 to December 1, 2021 as this is the common period across all the
exchanges and data sources being analyzed.
\68\ The Pearson correlation is a measure of linear association
between two variables, and indicates the magnitude as well as
direction of this relationship. The value can range between -1
(suggesting a strong negative association) and 1 (suggesting a
strong positive association).
---------------------------------------------------------------------------
Correlations are between 57% and 99%, with the latter found mainly
across centralized exchanges due to their higher level of
interconnectedness. The lower correlations pertain mainly to the ETPs,
which are relatively newer products and are mainly offered by a few
competing market makers who are required to trade in large blocks, thus
making it economically infeasible to capture small mispricings. As
additional investors and arbitrageurs enter the market and capture the
mispricing opportunities between these markets, it is likely that there
will be much higher levels of correlations across all markets.
[[Page 73369]]
[GRAPHIC] [TIFF OMITTED] TN27DE21.003
According to the Sponsor's research, this relationship holds true
during periods of extreme price volatility. This implies that no single
Bitcoin market can deviate significantly from the consensus for a
prolonged period of time, such that the global Bitcoin market is
sufficiently large and has an inherent unique resistance to
manipulation. Hence, the Sponsor introduces a statistical component
called cokurtosis, which measures to what extent two random variables
change together. If two returns series exhibit a high degree of
cokurtosis, this means that they tend to undergo extreme positive and
negative changes simultaneously. A cokurtosis value larger than +3 or
less than -3 is considered statistically significant. This table shows
that the level of cokurtosis is positive and very high between all
market combinations,\69\ which suggests that Bitcoin markets tend to
move very similarly especially for extreme price deviations. These
results present evidence of a robust global Bitcoin market that quickly
reacts in a unanimous manner to extreme price movements across both the
spot markets, futures and ETP markets.
---------------------------------------------------------------------------
\69\ The cokurtosis was calculated using hourly Bitcoin returns
across centralized exchanges, ETPs--21Shares Bitcoin ETP (Ticker:
ABTC) and VanEck Vectors Bitcoin ETN (Ticker: VBTC)--and CME Bitcoin
Futures.
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[[Page 73370]]
[GRAPHIC] [TIFF OMITTED] TN27DE21.004
The Sponsor further believes that academic research corroborates
the overall trend outlined above and supports the thesis that the CME
Bitcoin Futures pricing leads the spot market and, thus, a person
attempting to manipulate the Shares would also have to trade on that
market to manipulate the ETP. Specifically, the Sponsor believes that
such research supports the evidence in the literature (highlighted
later on) that bitcoin futures lead the bitcoin spot market in price
formation.\70\
---------------------------------------------------------------------------
\70\ See Hu, Y., Hou, Y. and Oxley, L. (2019). ``What role do
futures markets play in Bitcoin pricing? Causality, cointegration
and price discovery from a time-varying perspective'' (available at:
https://www.ncbi.nlm.nih.gov/pmc/articles/PMC7481826/). This
academic research paper concludes that ``There exist no episodes
where the Bitcoin spot markets dominates the price discovery
processes with regard to Bitcoin futures. This points to a
conclusion that the price formation originates solely in the Bitcoin
futures market. We can, therefore, conclude that the Bitcoin futures
markets dominate the dynamic price discovery process based upon
time-varying information share measures. Overall, price discovery
seems to occur in the Bitcoin futures markets rather than the
underlying spot market based upon a time-varying perspective.''
---------------------------------------------------------------------------
Section 6(b)(5) and the Applicable Standards
The Commission has approved numerous series of Trust Issued
Receipts,\71\ including Commodity-Based Trust Shares,\72\ to be listed
on U.S. national securities exchanges. In order for any proposed rule
change from an exchange to be approved, the Commission must determine
that, among other things, the proposal is consistent with the
requirements of Section 6(b)(5) of the Act, specifically including: (i)
The requirement that a national securities exchange's rules are
designed to prevent fraudulent and manipulative acts and practices;
\73\ and (ii) the requirement that an exchange proposal be designed, in
general, to protect investors and the public interest. The Exchange
believes that this proposal is consistent with the requirements of
Section 6(b)(5) of the Act and that this filing sufficiently
demonstrates that the CME Bitcoin Futures market represents a regulated
market of significant size and that, on the whole, the manipulation
concerns previously articulated by the
[[Page 73371]]
Commission are sufficiently mitigated to the point that they are
outweighed by quantifiable investor protection issues that would be
resolved by approving this proposal.
---------------------------------------------------------------------------
\71\ See Exchange Rule 14.11(f).
\72\ Commodity-Based Trust Shares, as described in Exchange Rule
14.11(e)(4), are a type of Trust Issued Receipt.
\73\ As the Exchange has stated in a number of other public
documents, it continues to believe that bitcoin is resistant to
price manipulation and that ``other means to prevent fraudulent and
manipulative acts and practices'' exist to justify dispensing with
the requisite surveillance sharing agreement. The geographically
diverse and continuous nature of bitcoin trading render it difficult
and prohibitively costly to manipulate the price of bitcoin. The
fragmentation across bitcoin platforms, the relatively slow speed of
transactions, and the capital necessary to maintain a significant
presence on each trading platform make manipulation of bitcoin
prices through continuous trading activity challenging. To the
extent that there are bitcoin exchanges engaged in or allowing wash
trading or other activity intended to manipulate the price of
bitcoin on other markets, such pricing does not normally impact
prices on other exchange because participants will generally ignore
markets with quotes that they deem non-executable. Moreover, the
linkage between the bitcoin markets and the presence of arbitrageurs
in those markets means that the manipulation of the price of bitcoin
price on any single venue would require manipulation of the global
bitcoin price in order to be effective. Arbitrageurs must have funds
distributed across multiple trading platforms in order to take
advantage of temporary price dislocations, thereby making it
unlikely that there will be strong concentration of funds on any
particular bitcoin exchange or OTC platform. As a result, the
potential for manipulation on a trading platform would require
overcoming the liquidity supply of such arbitrageurs who are
effectively eliminating any cross-market pricing differences.
---------------------------------------------------------------------------
(i) Designed To Prevent Fraudulent and Manipulative Acts and Practices
In order to meet this standard in a proposal to list and trade a
series of Commodity-Based Trust Shares, the Commission requires that an
exchange demonstrate that there is a comprehensive surveillance-sharing
agreement in place \74\ with a regulated market of significant size.
Both the Exchange and CME are members of ISG.\75\ The only remaining
issue to be addressed is whether the CME Bitcoin Futures market
constitutes a market of significant size, which both the Exchange and
the Sponsor believe that it does. The terms ``significant market'' and
``market of significant size'' include a market (or group of markets)
as to which: (a) There is a reasonable likelihood that a person
attempting to manipulate the ETP would also have to trade on that
market to manipulate the ETP, so that a surveillance-sharing agreement
would assist the listing exchange in detecting and deterring
misconduct; and (b) it is unlikely that trading in the ETP would be the
predominant influence on prices in that market.\76\
---------------------------------------------------------------------------
\74\ As previously articulated by the Commission, ``The standard
requires such surveillance-sharing agreements since ``they provide a
necessary deterrent to manipulation because they facilitate the
availability of information needed to fully investigate a
manipulation if it were to occur.'' The Commission has emphasized
that it is essential for an exchange listing a derivative securities
product to enter into a surveillance- sharing agreement with markets
trading underlying securities for the listing exchange to have the
ability to obtain information necessary to detect, investigate, and
deter fraud and market manipulation, as well as violations of
exchange rules and applicable federal securities laws and rules. The
hallmarks of a surveillance-sharing agreement are that the agreement
provides for the sharing of information about market trading
activity, clearing activity, and customer identity; that the parties
to the agreement have reasonable ability to obtain access to and
produce requested information; and that no existing rules, laws, or
practices would impede one party to the agreement from obtaining
this information from, or producing it to, the other party.'' The
Commission has historically held that joint membership in the
Intermarket Surveillance Group (``ISG'') constitutes such a
surveillance sharing agreement. See Wilshire Phoenix Disapproval.
\75\ For a list of the current members and affiliate members of
ISG, see www.isgportal.com.
\76\ See Wilshire Phoenix Disapproval.
---------------------------------------------------------------------------
The Commission has also recognized that the ``regulated market of
significant size'' standard is not the only means for satisfying
Section 6(b)(5) of the act, specifically providing that a listing
exchange could demonstrate that ``other means to prevent fraudulent and
manipulative acts and practices'' are sufficient to justify dispensing
with the requisite surveillance-sharing agreement.\77\
---------------------------------------------------------------------------
\77\ See Winklevoss Order at 37580. The Commission has also
specifically noted that it ``is not applying a `cannot be
manipulated' standard; instead, the Commission is examining whether
the proposal meets the requirements of the Exchange Act and,
pursuant to its Rules of Practice, places the burden on the listing
exchange to demonstrate the validity of its contentions and to
establish that the requirements of the Exchange Act have been met.''
Id. at 37582.
---------------------------------------------------------------------------
(a) Manipulation of the ETP
The topic of price discovery in Bitcoin markets, including both
spot and futures, has attracted the attention of many researchers.
Nevertheless, despite the use of similar measures of price discovery,
the literature has presented mixed evidence according to analysis by
the Sponsor.
On the one hand, an early study by Corbet et al. (2018) \78\
applied four metrics of price discovery including the information share
approach of Hasbrouck (1995),\79\ the component share methodology of
Gonzalo and Granger (1995),\80\ the information leadership approach of
Yan and Zivot (2010),\81\ and the information leadership share measure
of Putnins (2013) \82\ between the CME, CBOE, and spot prices using
data sampled on a one-minute frequency. The authors find that price
discovery is focused on the spot market. Similar evidence is presented
by Baur and Dimpfl (2019),\83\ where the authors use data sampled on a
five-minute interval and conclude that price discovery occurs in the
spot market.
---------------------------------------------------------------------------
\78\ Corbet S., Lucey B., Peat M., Vigne S. Bitcoin futures--
What use are they? Economics Letters. 2018;172:23-27.
\79\ Hasbrouck J. One security, many markets: Determining the
contributions to price discovery. The Journal of Finance.
1995;50(4):1175-1199.
\80\ Gonzalo J., Granger C. Estimation of common long-memory
components in cointegrated systems. Journal of Business & Economic
Statistics. 1995;13(1):27-35.
\81\ Yan B., Zivot E. A structural analysis of price discovery
measures. Journal of Financial Markets. 2010;13(1):1-19.
\82\ Putni[ncedil][scaron] T.J. What do price discovery metrics
really measure? Journal of Empirical Finance. 2013;23:68-83.
\83\ Baur D.G., Dimpfl T. Price discovery in bitcoin spot or
futures? Journal of Futures Markets. 2019;39(7):803-817.
---------------------------------------------------------------------------
On the other hand, a study by Kapar and Olmo (2019) \84\ finds
contradictory evidence using daily-sampled data, concluding that the
CME futures market dominates price discovery based on the approaches of
Gonzalo and Granger (1995) and Hasbrouck (1995). Similarly, Akyildirim
et al. (2019) \85\ show that Bitcoin futures play a significant role in
price discovery relative to the spot market using the four previously
mentioned measures of price discovery.
---------------------------------------------------------------------------
\84\ Kapar B., Olmo J. An analysis of price discovery between
Bitcoin futures and spot markets. Economics Letters. 2019;174:62-64.
\85\ Akyildirim E., Corbet S., Katsiampa P., Kellard N., Sensoy
A. The development of bitcoin futures: Exploring the interactions
between cryptocurrency derivatives. Finance Research Letters.
2019;34:1-9.
---------------------------------------------------------------------------
One potential reason for the mixed evidence, according to Hu et al.
(2020) \86\ is that cointegration relationships may go undetected if
the underlying model formulation is constrained to be time-invariant.
As such, the authors apply time-varying cointegrating coefficients
based on the works of Park and Hahn (1999) \87\ and Shi et al.
(2018),\88\ and conclude that futures prices Granger-cause spot prices
and that futures prices dominate Bitcoin price discovery.
---------------------------------------------------------------------------
\86\ Hu, Yang et al. ``What role do futures markets play in
Bitcoin pricing? Causality, cointegration and price discovery from a
time-varying perspective?.'' International Review of Financial
Analysis vol. 72 (2020): 101569.
\87\ Park J.Y., Hahn S.B. Cointegrating regressions with time
varying coefficients. Econometric Theory. 1999;15(5):664-703.
\88\ Shi S., Phillips P.C., Hurn S. Change detection and the
causal impact of the yield curve. Journal of Time Series Analysis.
2018;39(6):966-987.
---------------------------------------------------------------------------
[[Page 73372]]
Additionally, the Bitcoin futures market is by orders of magnitude
larger than the entire spot market of all cryptoassets in terms of
traded volume. According to a study by the Blockchain Lab of
Massachusetts Institute of Technology, ``the derivative market leads
price discovery of bitcoin more frequently than the spot markets. The
spot market is more likely to indicate the direction of the price
movement while the derivatives market is more likely to lead the
magnitude of the price movement'', says the report.\89\
---------------------------------------------------------------------------
\89\ Eguren, Luisa, Fondufe, Bryan, Hogan, Caleb, and Matthews,
Claire. ``Price Discovery in the Bitcoin Spot and Derivatives
Markets'' Massachusetts Institute of Technology Blockchain Lab
Program, May 15th, 2020.
---------------------------------------------------------------------------
The Bitcoin futures market has processed more than $1 trillion in
futures volume per month since the start of the year. In November 2021,
Bitcoin futures volume accounted for $1.58 trillion, while spot volume,
in the same time frame, amounted to $1.4 trillion including both
crypto-only and fiat currency volumes of all cryptoassets, not just
Bitcoin. Namely, the Bitcoin futures market is 12% larger than the
entire spot market in terms of volume just in the last month. Over the
past three months, the average monthly spot volume was $1.3 trillion
while the average Bitcoin futures volume was significantly greater
(approximately 30%) than the spot at $1.71 trillion.\90\
---------------------------------------------------------------------------
\90\ According to data from CryptoCompare and Coinglass.
---------------------------------------------------------------------------
In the past twelve months, the average monthly futures volume for
Bitcoin was $1.89 trillion, while the monthly spot volume for all
cryptoassets was $1.24 trillion.\91\ In other words, since the start of
the year, the Bitcoin futures market is 52% larger than the spot volume
of all cryptoassets traded on exchanges. As of December 2, 2021, the
ratio of Bitcoin spot vs futures volume currently stands at 0.17.\92\
In other words, the Bitcoin spot market accounts for 17% of the bitcoin
futures market in volume terms.
---------------------------------------------------------------------------
\91\ Id.
\92\ Id.
---------------------------------------------------------------------------
Where CME Bitcoin Futures lead the price in the spot market such
that a potential manipulator of the bitcoin spot market (beyond just
the constituents of the Index \93\) would have to participate in the
CME Bitcoin Futures market, it follows that a potential manipulator of
the Shares would similarly have to transact in the CME Bitcoin Futures
market because the Index is based on spot prices.
---------------------------------------------------------------------------
\93\ As further described below, the ``Index'' for the Fund is
the S&P Bitcoin Index. The current exchange composition of the Index
is Binance, Bitfinex, Bitflyer, Bittrex, Bitstamp, Coinbase Pro,
Gemini, HitBTC, Huobi, Kraken, KuCoin, and Poloniex.
---------------------------------------------------------------------------
Further, the Trust only allows for in-kind creation and redemption,
which, as further described below, reduces the potential for
manipulation of the Shares through manipulation of the Index or any of
its individual constituents, again emphasizing that a potential
manipulator of the Shares would have to manipulate the entirety of the
bitcoin spot market, which is led by the CME Bitcoin Futures market. As
such, the Exchange believes that part (a) of the significant market
test outlined above is satisfied and that common membership in ISG
between the Exchange and CME would assist the listing exchange in
detecting and deterring misconduct in the Shares.
(a) Predominant Influence on Prices in Spot and Bitcoin Futures
The Exchange and Sponsor also believe that trading in the Shares
would not be the predominant force on prices in the CME Bitcoin Futures
market or spot market for a number of reasons, including the
significant volume in the CME Bitcoin Futures market, the size of
bitcoin's market cap, and the significant liquidity available in the
spot market. Moreover, the fact that the Shares are created in-kind
means that they are fully collateralized and should remain close to NAV
given that investors and market makers would arbitrage any significant
price deviations between the price of the Shares and prices in the spot
market. In addition to the CME Bitcoin Futures market data points cited
above, the spot market for bitcoin is also very liquid. According to
data from CoinRoutes from February 2021, the cost to buy or sell $5
million worth of bitcoin averages roughly 10 basis points with a market
impact of 30 basis points.\94\ For a $10 million market order, the cost
to buy or sell is roughly 20 basis points with a market impact of 50
basis points. Stated another way, a market participant could enter a
market buy or sell order for $10 million of bitcoin and only move the
market 0.5%. More strategic purchases or sales (such as using limit
orders and executing through OTC bitcoin trade desks) would likely have
less obvious impact on the market--which is consistent with
MicroStrategy, Tesla, and Square being able to collectively purchase
billions of dollars in bitcoin. As such, the combination of CME Bitcoin
Futures leading price discovery, the overall size of the bitcoin
market, and the ability for market participants, including authorized
participants creating and redeeming in-kind with the Trust, to buy or
sell large amounts of bitcoin without significant market impact will
help prevent the Shares from becoming the predominant force on pricing
in either the bitcoin spot or CME Bitcoin Futures markets, satisfying
part (b) of the test outlined above.
---------------------------------------------------------------------------
\94\ These statistics are based on samples of bitcoin liquidity
in USD (excluding stablecoins or Euro liquidity) based on executable
quotes on Coinbase Pro, Gemini, Bitstamp, Kraken, LMAX Exchange,
BinanceUS, and OKCoin during February 2021.
---------------------------------------------------------------------------
(b) Other Means to Prevent Fraudulent and Manipulative Acts and
Practices
As noted above, the Commission also permits a listing exchange to
demonstrate that ``other means to prevent fraudulent and manipulative
acts and practices'' are sufficient to justify dispensing with the
requisite surveillance-sharing agreement. The Exchange and Sponsor
believe that such conditions are present. According to the Sponsor, a
significant portion of the considerations around Bitcoin pricing have
historically stemmed from a lack of consistent pricing across markets.
However, according to the Sponsor's research, cross-exchange spreads in
Bitcoin have been declining consistently over the past several years.
Based on the daily Bitcoin price series from several popular
centralized exchanges \95\ the Sponsor has calculated the largest
cross-exchange percentage spread (labelled as %C-Spread) by deducting
the highest or maximum price (P) at time t from the lowest or minimum,
and dividing by the lowest across all exchanges (i). Formally, this is
expressed as:
---------------------------------------------------------------------------
\95\ The exchanges include Binance, Bitfinex, Bithumb, Bitstamp,
Cexio, Coinbase, Coinone, Gateio, Gemini, HuobiPro, itBit, Kraken,
Kucoin, and OKEX.
[GRAPHIC] [TIFF OMITTED] TN27DE21.005
[[Page 73373]]
The results show a clear and sharp decline in the %C-Spread,
indicating that the Bitcoin market has become more efficient as cross-
exchange prices have converged over time.
[GRAPHIC] [TIFF OMITTED] TN27DE21.006
In addition, the magnitude of outlier % C-spreads has also declined
over time. This boxplot shows that, not only did the median value of
the %C-Spread decline over time, but also the extreme outlier values.
For instance, the maximum %C-Spread for 2017, 2018, 2019, 2020, and
2021 are 29.14%, 14.45%, 8.54%, 6.04%, and 7.1%, respectively. The
market has experienced a 38% year-on-year decline in the annual median
%C-Spread indicating a greater degree of Bitcoin price convergence
across exchanges and a more efficient market.
[[Page 73374]]
[GRAPHIC] [TIFF OMITTED] TN27DE21.007
The dispersion ([sigma]) of Bitcoin Prices has also declined over
the same period. This chart shows the 7-day rolling standard deviation
of the %C-Spread from January 1, 2017 to December 1, 2021. The
Sponsor's research finds that the dispersion in Bitcoin prices across
all exchanges has decreased over time, indicating that prices on all
the considered exchanges converge towards the intrinsic average much
more efficiently. This suggests that the market has become better at
quickly reaching a consensus price for Bitcoin.
As the pricing of the Bitcoin market becomes increasingly
efficient, pricing methodologies become more accurate and less
susceptible to manipulation. The clustering of prices across a variety
of sources within the primary market points towards robust price
discovery mechanisms and efficient arbitrage.
[[Page 73375]]
[GRAPHIC] [TIFF OMITTED] TN27DE21.008
One factor that has contributed to the overall efficiency, price
discovery, and lower volatility of the Bitcoin market is the increase
in the number of participants, and subsequently, the total dollar
amount allocated to this market. This can be illustrated by the
following chart, which shows the number of wallet addresses holding
Bitcoin from March 2012 to December 2021.
[GRAPHIC] [TIFF OMITTED] TN27DE21.009
The increase in the number of participants has manifested itself in
higher liquidity in the market. This is exhibited in the following
chart, which shows the daily aggregated dollar notional of the bid and
ask order books within the first 100 price levels across several of the
largest centralized crypto exchanges from October 2020 to April 2021.
Specifically, the dollar notional that is allocated closest to the mid
price has increased from around $230 million to $860 million over that
period, representing a 270% increase in half a year.
[[Page 73376]]
[GRAPHIC] [TIFF OMITTED] TN27DE21.010
An increased notional order book suggests that there is a higher
degree of consensus among investors regarding the price of Bitcoin.
Moreover, this market characteristic hampers any attempt of price
manipulation by any single large entity.
As a robustness check, the Sponsor investigates whether the dollar
notional in the order book changes significantly prior to, and post an
extreme price event. Specifically, for events constituting large
increases in the price of Bitcoin, if the ask (or sell) side of the
order book experiences a significant shrinkage in the dollar notional
right before the event, then this may be an indication of market
manipulation whereby the ask-side of the order book becomes
sufficiently thin for a large order to move the price upward.
Similarly, for events constituting large decreases in the price of
Bitcoin, if the bid (or buy) side of the order book experiences a
significant shrinkage in the dollar notional prior to such events, then
this may be an indication of market manipulation whereby the thinner
bid-side of the order book may potentially lead to significant downward
price movements.
Using the top and bottom 0.1% of hourly price changes from October
2020 to April 2021 as events of extreme upward and downward market
movements, respectively, the Sponsor plotted the bid (left charts) and
ask (right charts) dollar notional of the Bitcoin order book within a
six-hour window around these events in the chart below, which shows the
results for extreme upward price movements. The extreme price events
(indicated by the dashed green lines) perfectly coincide with the
decrease in dollar notional of the ask-side of the order book. This is
indicative of an efficient market, whereby large market movements are
quickly and dynamically absorbed by a thick orderbook. Moreover, the
dollar notional on the ask side after the event is replenished back to
its pre-event level, which implies that market participants' reactions
are quick to restore the market back to its equilibrium level.
[[Page 73377]]
[GRAPHIC] [TIFF OMITTED] TN27DE21.011
The same results and conclusions are found for extreme downward
price movements. The charts below show that such price events perfectly
coincide with shrinkages on the bid side of the order book (left
charts), indicating an efficient and dynamic Bitcoin market. Moreover,
the bid-side of the order book after the event is also restored back to
its pre-event level, which suggests that the market is symmetrically
efficient in moving back to equilibrium.
[[Page 73378]]
[GRAPHIC] [TIFF OMITTED] TN27DE21.012
Finally, offering only in-kind creation and redemption will provide
unique protections against potential attempts to manipulate the Shares.
While the Sponsor believes that the Index which it uses to value the
Trust's bitcoin is designed to reduce the risk of manipulation based on
the methodology further described below, the fact that creations and
redemptions are only available in-kind makes the manipulability of the
Index significantly less important. Specifically, because the Trust
will not accept cash to buy bitcoin in order to create new shares or,
barring a forced redemption of the Trust or under other extraordinary
circumstances, be forced to sell bitcoin to pay cash for redeemed
shares, the price that the Sponsor uses to value the Trust's bitcoin is
not particularly important.\96\ When authorized participants are
creating with the Trust, they need to deliver a certain number of
bitcoin per share (regardless of the valuation used) and when they're
redeeming, they can similarly expect to receive a certain number of
bitcoin per share. As such, even if the price used to value the Trust's
bitcoin is manipulated (which the Sponsor believes that its methodology
is resistant to), the ratio of bitcoin per Share does not change and
the Trust will either accept (for creations) or distribute (for
redemptions) the same number of bitcoin regardless of the value. This
not only mitigates the risk associated with potential manipulation, but
also discourages and disincentivizes manipulation of the Index because
there is little financial incentive to do so.
---------------------------------------------------------------------------
\96\ While the Index will not be particularly important for the
creation and redemption process, it will be used for calculating
fees.
---------------------------------------------------------------------------
(ii) Designed To Protect Investors and the Public Interest
The Exchange believes that the proposal is designed to protect
investors and the public interest. Over the past 1.5 years, U.S.
investor exposure to bitcoin through OTC Bitcoin Funds has grown into
the tens of billions of dollars and more than a billion dollars of
exposure through Bitcoin Futures ETFs. With that growth, so too has
grown the quantifiable investor protection issues to U.S. investors
through roll costs for Bitcoin Futures ETFs and premium/discount
volatility and management fees for OTC Bitcoin Funds. The Exchange
believes that the concerns related to the prevention of fraudulent and
manipulative acts and practices have been sufficiently addressed to be
consistent with the Act. As such, the Exchange believes that approving
this proposal (and comparable proposals) provides the Commission with
the opportunity to allow U.S. investors with access to bitcoin in a
regulated and transparent exchange-traded vehicle that would act to
limit risk to U.S. investors by: (i) Reducing premium and discount
volatility; (ii) reducing management fees through meaningful
competition; (iii) reducing risks and costs associated with investing
in Bitcoin Futures ETFs and operating companies that are imperfect
proxies for bitcoin exposure; and (iv) providing an alternative for
investors to self-custodying spot bitcoin.
ARK 21Shares Bitcoin ETF
Delaware Trust Company is the trustee (``Trustee''). The Bank of
New York Mellon will be the administrator (``Administrator'') and
transfer agent (``Transfer Agent''). Foreside Global Services, LLC will
be the marketing agent (``Marketing Agent'') in connection with the
creation and redemption of ``Baskets'' of Shares. ARK Investment
Management LLC (``ARK'') will provide assistance in the marketing of
the Shares. Coinbase Custody Trust Company, LLC, a third-party
regulated custodian (the ``Custodian''), will be responsible for
custody of the Trust's bitcoin.
According to the Registration Statement, each Share will represent
a fractional undivided beneficial interest in the bitcoin held by the
Trust. The Trust's assets will consist of bitcoin
[[Page 73379]]
held by the Custodian on behalf of the Trust. The Trust generally does
not intend to hold cash or cash equivalents. However, there may be
situations where the Trust will unexpectedly hold cash on a temporary
basis.
According to the Registration Statement, the Trust is neither an
investment company registered under the Investment Company Act of 1940,
as amended,\97\ nor a commodity pool for purposes of the Commodity
Exchange Act (``CEA''), and neither the Trust nor the Sponsor is
subject to regulation as a commodity pool operator or a commodity
trading adviser in connection with the Shares.
---------------------------------------------------------------------------
\97\ 15 U.S.C. 80a-1.
---------------------------------------------------------------------------
When the Trust sells or redeems its Shares, it will do so in ``in-
kind'' transactions in blocks of 5,000 Shares (a ``Creation Basket'')
at the Trust's NAV. Authorized participants will deliver, or facilitate
the delivery of, bitcoin to the Trust's account with the Custodian in
exchange for Shares when they purchase Shares, and the Trust, through
the Custodian, will deliver bitcoin to such authorized participants
when they redeem Shares with the Trust. Authorized participants may
then offer Shares to the public at prices that depend on various
factors, including the supply and demand for Shares, the value of the
Trust's assets, and market conditions at the time of a transaction.
Shareholders who buy or sell Shares during the day from their broker
may do so at a premium or discount relative to the NAV of the Shares of
the Trust.
Investment Objective
According to the Registration Statement and as further described
below, the investment objective of the Trust is to seek to track the
performance of bitcoin, as measured by the performance of the S&P
Bitcoin Index (the ``Index''), adjusted for the Trust's expenses and
other liabilities. In seeking to achieve its investment objective, the
Trust will hold bitcoin and will value the Shares daily based on the
Index. The Trust will process all creations and redemptions in-kind in
transactions with authorized participants. The Trust is not actively
managed.
The Index
As described in the Registration Statement, the Fund will use the
Index to calculate the Trust's NAV. The Index is a U.S. dollar-
denominated composite reference rate for the price of bitcoin. There is
no component other than bitcoin in the Index. The underlying exchanges
are sourced by Lukka Inc. (the ``Data Provider'') \98\ based on a
combination of qualitative and quantitative metrics to analyze a
comprehensive data set and evaluate factors including legal/regulation,
KYC/transaction risk, data provision, security, team/exchange, asset
quality/diversity, market quality and negative events. The Index price
is currently sourced from the following set of exchanges: Binance,
Bitfinex, Bitflyer, Bittrex, Bitstamp, Coinbase Pro, Gemini, HitBTC,
Huobi, Kraken, KuCoin, and Poloniex. As the digital ecosystem continues
to evolve, the Data Provider can add additional or remove exchanges
based on the processes established by Lukka's Pricing Integrity
Oversight Board.\99\
---------------------------------------------------------------------------
\98\ Lukka is an independent third-party digital asset data
company engaged by the Sponsor to provide fair market value (FMV)
bitcoin prices. This price, commercially available from Lukka, will
form the basis for determining the value of the Trust's Bitcoin
Holdings. Lukka is not affiliated with the Trust or the Sponsor
other than through a commercial relationship. All of Lukka's
products are also SOC 1 and 2 Type 2 certified.
\99\ The purpose of Lukka's Pricing Integrity Oversight Board is
to ensure (i) the integrity and validity of the Lukka pricing and
valuation products and (ii) the Lukka pricing and valuation products
remain fit for purpose in the rapidly evolving market and
corresponding regulatory environments.
---------------------------------------------------------------------------
The Index methodology is intended to determine the fair market
value (``FMV'') for bitcoin by determining the principal market for
bitcoin as of 4 p.m. ET daily. The Index methodology uses a ranking
approach that considers several exchange characteristics including
oversight and intra-day trading volume. Specifically, to rank the
credibility and quality of each exchange, the Data Provider dynamically
assigns a Base Exchange Score (``BES'') score to the key
characteristics for each exchange.
The BES reflects the fundamentals of an exchange and determines
which exchange should be designated as the principal market at a given
point of time. This score is determined by computing a weighted average
of the values assigned to four different exchange characteristics. The
exchange characteristics are as follows: (i) Oversight; (ii)
microstructure efficiency; (iii) data transparency and (iv) data
integrity.
Oversight
This score reflects the rules in place to protect and to give
access to the investor. The score assigned for exchange oversight will
depend on parameters such as jurisdiction, regulation, ``Know Your
Customer and Anti-Money Laundering Compliance'' (KYC/AML), among other
proprietary factors.
Microstructure Efficiency
The effective bid ask spread is used as a proxy for efficiency. For
example, for each exchange and currency pair, the Data Provider takes
an estimate of the ``effective spread'' relative to the price.
Data Transparency
Transparency is the term used for a quality score that is
determined by the level of detail of the data offered by an exchange.
The most transparent exchanges offer order-level data, followed by
order book, trade-level, and then candles.
Data Integrity
Data integrity reconstructs orders to ensure the transaction
amounts that make up an order equal the overall order amount matching
on both a minute and daily basis. This data would help expose nefarious
actions such as wash trading or other potential manipulation of data.
The methodology then applies a five-step weighting process for
identifying a principal exchange and the last price on that exchange.
Following this weighting process, an executed exchange price is
assigned for bitcoin as of 4 p.m. ET. The Index price is determined
according to the following procedure:
Step 1: Assign each exchange a Base Exchange Score
(``BES'') reflecting static exchange characteristics such as oversight,
microstructure and technology, as discussed below.
Step 2: Adjust the BES based on the relative monthly
volume each exchange services. This new score is the Volume Adjusted
Score (``VAS'').
Step 3: Decay the VAS based on the time passed since the
last trade on the exchange. Here, the Data Provider is assessing the
level of activity in the market by considering the frequency (volume)
of trades. The decay factor reflects the time since the last trade on
the exchange. This is the final Decayed Volume Adjusted Score
(``DVAS''), which tracks the freshness of the data by tracking most
recent trades.
Step 4: Rank the exchanges by the DVAS score and designate
the highest-ranking exchange as the principal market for that point in
time. The principal market is the exchange with the highest DVAS.
Step 5: After selecting a primary exchange, an executed
exchange price is used for bitcoin representing FMV at 4 p.m. ET. The
Data Provider takes the last traded prices at that moment in time on
that trading venue for the relevant
[[Page 73380]]
pair (Bitcoin/USD) when determining the Index price.
As discussed in the Registration Statement, the fact that there are
multiple bitcoin spot markets that may contribute prices to the Index
price makes manipulation more difficult in a well-arbitraged and
fractured market, as a malicious actor would need to manipulate
multiple spot markets simultaneously to impact the Index price, or
dramatically skew the historical distribution of volume between the
various exchanges.
The Data Provider has designed a series of automated algorithms
designed to supplement the core Lukka Prime Methodology in enhancing
the ability to detect potentially anomalous price activity which could
be detrimental to the goal of obtaining a Fair Market Value price that
is representative of the market at a point in time.\100\
---------------------------------------------------------------------------
\100\ Upon request, Lukka can provide additional information and
detail to the Commission regarding the algorithms and data quality
checks that are put in place, with confidential treatment requested.
---------------------------------------------------------------------------
In addition to the automated algorithms, the Data Provider has
dedicated resources and has established committees to ensure all prices
are representative of the market. Any price challenges will result in
an independent analysis of the price. This includes assessing whether
the price from the selected exchange is biased according to analyses
designed to recognize patterns consistent with manipulative activity,
such as a quick reversion to previous traded levels following a sharp
price change or any significant deviations from the volume weighted
average price on a particular exchange or pricing on any other exchange
included in the Lukka Prime eligibility universe. Policies and
procedures for any adjustments to prices or changes to core parameters
(e.g., exchange selection) are described in the Lukka Price Integrity
Manual.\101\
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\101\ Upon request, Lukka can provide the Commission the Lukka
Pricing Integrity Manual, with confidential treatment requested.
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Upon detection or external referral of suspect manipulative
activities, the case is raised to the Price Integrity Oversight Board.
These checks occur on an on-going, intraday basis and any
investigations are typically resolved promptly, in clear cases within
minutes and in more complex cases same business day. The evidence
uncovered shall be turned over to the Data Provider's Price Integrity
Oversight Board for final decision and action. The Price Integrity
Oversight Board may choose to pick an alternative primary market and
may exclude such market from future inclusion in the Index methodology
or choose to stand by the original published price upon fully
evaluating all available evidence. It may also initiate an
investigation of prior prices from such markets and shall evaluate
evidence presented on a case-by-case basis.
After the Lukka Prime price is generated, the S&P DJI (``The Index
Provider'') performs independent quality checks as a second layer of
validation to those employed by the Data Provider, including checks
against assets with large price movements, assets with missing prices,
assets with zero prices, assets with unchanged prices, assets that have
ceased pricing and assets where the price does not match the Lukka
Prime primary exchange. The Index Provider may submit a price challenge
to Lukka if any of the checks listed above are found to be material.
Lukka will perform an independent review of the price challenge to
ensure the price is representative of the fair value of a particular
cryptocurrency. If there is a change, the process will follow that
described in the Recalculation Policy found on the The Index Provider
Digital Assets Indices Policies & Practices and Index Mathematics
Methodology.
In addition, The Index Provider currently provides the below
additional quality assurance mechanisms with respect to crypto price
validation. These checks are based on current market conditions,
internal system processes and other assessments. The Index Provider
reserves the right within its sole discretion to supplement, modify
and/or remove individual checks and/or the parameters used within the
checks, at any time without notice.
Crypto Price and Exchange Validation
Check for any assets with no price received from Lukka;
Check for any assets with a zero price received from
Lukka;
Check for any assets with a large change from the previous
day. (Outliers +/- 40%);
Check for any assets with a stale price, aggregating the
number of days the price remains stale;
Confirm the Lukka price matches the Lukka Prime primary
exchange price;
Confirm the Lukka price is consistent with other Lukka
Prime exchange prices;
Check the volume of the Lukka Prime exchanges and
challenge the Lukka primary exchange if the exchange is not within the
top percentile of the trading volume for that asset;
Aggregation of Lukka Prime primary exchange changes.
Availability of Information
In addition to the price transparency of the Index, the Trust will
provide information regarding the Trust's bitcoin holdings as well as
additional data regarding the Trust. The Trust will provide an Intraday
Indicative Value (``IIV'') per Share updated every 15 seconds, as
calculated by the Exchange or a third-party financial data provider
during the Exchange's Regular Trading Hours (9:30 a.m. to 4:00 p.m.
E.T.). The IIV will be calculated by using the prior day's closing NAV
per Share as a base and updating that value during Regular Trading
Hours to reflect changes in the value of the Trust's bitcoin holdings
during the trading day.
The IIV disseminated during Regular Trading Hours should not be
viewed as an actual real-time update of the NAV, which will be
calculated only once at the end of each trading day. The IIV will be
widely disseminated on a per Share basis every 15 seconds during the
Exchange's Regular Trading Hours by one or more major market data
vendors. In addition, the IIV will be available through on-line
information services.
The website for the Trust, which will be publicly accessible at no
charge, will contain the following information: (a) The current NAV per
Share daily and the prior business day's NAV and the reported closing
price; (b) the BZX Official Closing Price \102\ in relation to the NAV
as of the time the NAV is calculated and a calculation of the premium
or discount of such price against such NAV; (c) data in chart form
displaying the frequency distribution of discounts and premiums of the
Official Closing Price against the NAV, within appropriate ranges for
each of the four previous calendar quarters (or for the life of the
Trust, if shorter); (d) the prospectus; and (e) other applicable
quantitative information. The Trust will also disseminate the Trust's
holdings on a daily basis on the Trust's website. The price of bitcoin
will be made available by one or more major market data vendors,
updated at least every 15 seconds during Regular Trading Hours.
Information about the Index, including key elements of how the Index is
calculated, will be publicly available at https://www.spglobal.com/spdji/en/indices/digital-assets/sp-bitcoin-index//.
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\102\ As defined in Rule 11.23(a)(3), the term ``BZX Official
Closing Price'' shall mean the price disseminated to the
consolidated tape as the market center closing trade.
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The NAV for the Trust will be calculated by the Administrator once
a day and will be disseminated daily to all market participants at the
same time. Quotation and last-sale information
[[Page 73381]]
regarding the Shares will be disseminated through the facilities of the
Consolidated Tape Association (``CTA'').
Quotation and last sale information for bitcoin is widely
disseminated through a variety of major market data vendors, including
Bloomberg and Reuters, as well as the Index. Information relating to
trading, including price and volume information, in bitcoin is
available from major market data vendors and from the exchanges on
which bitcoin are traded. Depth of book information is also available
from bitcoin exchanges. The normal trading hours for bitcoin exchanges
are 24 hours per day, 365 days per year.
Net Asset Value
NAV means the total assets of the Trust including, but not limited
to, all bitcoin and cash less total liabilities of the Trust, each
determined on the basis of generally accepted accounting principles.
The Administrator determines the NAV of the Trust on each day that the
Exchange is open for regular trading, as promptly as practical after
4:00 p.m. EST. The NAV of the Trust is the aggregate value of the
Trust's assets less its estimated accrued but unpaid liabilities (which
include accrued expenses). In determining the Trust's NAV, the
Administrator values the bitcoin held by the Trust based on the price
set by the Index as of 4:00 p.m. EST. The Administrator also determines
the NAV per Share.
Creation and Redemption of Shares
According to the Registration Statement, on any business day, an
authorized participant may place an order to create one or more
baskets. Purchase orders must be placed by 4:00 p.m. Eastern Time, or
the close of regular trading on the Exchange, whichever is earlier. The
day on which an order is received is considered the purchase order
date. The total deposit of bitcoin required is an amount of bitcoin
that is in the same proportion to the total assets of the Trust, net of
accrued expenses and other liabilities, on the date the order to
purchase is properly received, as the number of Shares to be created
under the purchase order is in proportion to the total number of Shares
outstanding on the date the order is received. Each night, the Sponsor
will publish the amount of bitcoin that will be required in exchange
for each creation order. The Administrator determines the required
deposit for a given day by dividing the number of bitcoin held by the
Trust as of the opening of business on that business day, adjusted for
the amount of bitcoin constituting estimated accrued but unpaid fees
and expenses of the Trust as of the opening of business on that
business day, by the quotient of the number of Shares outstanding at
the opening of business divided by 5,000. The procedures by which an
authorized participant can redeem one or more Creation Baskets mirror
the procedures for the creation of Creation Baskets.
Rule 14.11(e)(4)--Commodity-Based Trust Shares
The Shares will be subject to BZX Rule 14.11(e)(4), which sets
forth the initial and continued listing criteria applicable to
Commodity-Based Trust Shares. The Exchange will obtain a representation
that the Trust's NAV will be calculated daily and that these values and
information about the assets of the Trust will be made available to all
market participants at the same time. The Exchange notes that, as
defined in Rule 14.11(e)(4)(C)(i), the Shares will be: (a) Issued by a
trust that holds a specified commodity \103\ deposited with the trust;
(b) issued by such trust in a specified aggregate minimum number in
return for a deposit of a quantity of the underlying commodity; and (c)
when aggregated in the same specified minimum number, may be redeemed
at a holder's request by such trust which will deliver to the redeeming
holder the quantity of the underlying commodity.
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\103\ For purposes of Rule 14.11(e)(4), the term commodity takes
on the definition of the term as provided in the Commodity Exchange
Act. As noted above, the CFTC has opined that Bitcoin is a commodity
as defined in Section 1a(9) of the Commodity Exchange Act. See
Coinflip.
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Upon termination of the Trust, the Shares will be removed from
listing. The Trustee, Delaware Trust Company, is a trust company having
substantial capital and surplus and the experience and facilities for
handling corporate trust business, as required under Rule
14.11(e)(4)(E)(iv)(a) and that no change will be made to the trustee
without prior notice to and approval of the Exchange. The Exchange also
notes that, pursuant to Rule 14.11(e)(4)(F), neither the Exchange nor
any agent of the Exchange shall have any liability for damages, claims,
losses or expenses caused by any errors, omissions or delays in
calculating or disseminating any underlying commodity value, the
current value of the underlying commodity required to be deposited to
the Trust in connection with issuance of Commodity-Based Trust Shares;
resulting from any negligent act or omission by the Exchange, or any
agent of the Exchange, or any act, condition or cause beyond the
reasonable control of the Exchange, its agent, including, but not
limited to, an act of God; fire; flood; extraordinary weather
conditions; war; insurrection; riot; strike; accident; action of
government; communications or power failure; equipment or software
malfunction; or any error, omission or delay in the reports of
transactions in an underlying commodity. Finally, as required in Rule
14.11(e)(4)(G), the Exchange notes that any registered market maker
(``Market Maker'') in the Shares must file with the Exchange in a
manner prescribed by the Exchange and keep current a list identifying
all accounts for trading in an underlying commodity, related commodity
futures or options on commodity futures, or any other related commodity
derivatives, which the registered Market Maker may have or over which
it may exercise investment discretion. No registered Market Maker shall
trade in an underlying commodity, related commodity futures or options
on commodity futures, or any other related commodity derivatives, in an
account in which a registered Market Maker, directly or indirectly,
controls trading activities, or has a direct interest in the profits or
losses thereof, which has not been reported to the Exchange as required
by this Rule. In addition to the existing obligations under Exchange
rules regarding the production of books and records (see, e.g., Rule
4.2), the registered Market Maker in Commodity-Based Trust Shares shall
make available to the Exchange such books, records or other information
pertaining to transactions by such entity or registered or non-
registered employee affiliated with such entity for its or their own
accounts for trading the underlying physical commodity, related
commodity futures or options on commodity futures, or any other related
commodity derivatives, as may be requested by the Exchange.
Trading Halts
With respect to trading halts, the Exchange may consider all
relevant factors in exercising its discretion to halt or suspend
trading in the Shares. The Exchange will halt trading in the Shares
under the conditions specified in BZX Rule 11.18. Trading may be halted
because of market conditions or for reasons that, in the view of the
Exchange, make trading in the Shares inadvisable. These may include:
(1) The extent to which trading is not occurring in the bitcoin
underlying the Shares; or (2) whether other unusual conditions or
circumstances detrimental to the maintenance of a fair and orderly
market are present. Trading in the Shares also will be subject to Rule
[[Page 73382]]
14.11(e)(4)(E)(ii), which sets forth circumstances under which trading
in the Shares may be halted.
Trading Rules
The Exchange deems the Shares to be equity securities, thus
rendering trading in the Shares subject to the Exchange's existing
rules governing the trading of equity securities. BZX will allow
trading in the Shares during all trading sessions on the Exchange. The
Exchange has appropriate rules to facilitate transactions in the Shares
during all trading sessions. As provided in BZX Rule 11.11(a), the
minimum price variation for quoting and entry of orders in securities
traded on the Exchange is $0.01 where the price is greater than $1.00
per share or $0.0001 where the price is less than $1.00 per share.
Surveillance
The Exchange believes that its surveillance procedures are adequate
to properly monitor the trading of the Shares on the Exchange during
all trading sessions and to deter and detect violations of Exchange
rules and the applicable federal securities laws. Trading of the Shares
through the Exchange will be subject to the Exchange's surveillance
procedures for derivative products, including Commodity-Based Trust
Shares. The issuer has represented to the Exchange that it will advise
the Exchange of any failure by the Trust or the Shares to comply with
the continued listing requirements, and, pursuant to its obligations
under Section 19(g)(1) of the Exchange Act, the Exchange will surveil
for compliance with the continued listing requirements. If the Trust or
the Shares are not in compliance with the applicable listing
requirements, the Exchange will commence delisting procedures under
Exchange Rule 14.12. The Exchange may obtain information regarding
trading in the Shares and CME Bitcoin Futures via ISG, from other
exchanges who are members or affiliates of the ISG, or with which the
Exchange has entered into a comprehensive surveillance sharing
agreement.\104\
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\104\ For a list of the current members and affiliate members of
ISG, see www.isgportal.com.
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Information Circular
Prior to the commencement of trading, the Exchange will inform its
members in an Information Circular of the special characteristics and
risks associated with trading the Shares. Specifically, the Information
Circular will discuss the following: (i) The procedures for the
creation and redemption of Baskets (and that the Shares are not
individually redeemable); (ii) BZX Rule 3.7, which imposes suitability
obligations on Exchange members with respect to recommending
transactions in the Shares to customers; (iii) how information
regarding the IIV and the Trust's NAV are disseminated; (iv) the risks
involved in trading the Shares outside of Regular Trading Hours \105\
when an updated IIV will not be calculated or publicly disseminated;
(v) the requirement that members deliver a prospectus to investors
purchasing newly issued Shares prior to or concurrently with the
confirmation of a transaction; and (vi) trading information.
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\105\ Regular Trading Hours is the time between 9:30 a.m. and
4:00 p.m. Eastern Time.
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In addition, the Information Circular will advise members, prior to
the commencement of trading, of the prospectus delivery requirements
applicable to the Shares. Members purchasing the Shares for resale to
investors will deliver a prospectus to such investors. The Information
Circular will also discuss any exemptive, no-action and interpretive
relief granted by the Commission from any rules under the Act.
2. Statutory Basis
The Exchange believes that the proposal is consistent with Section
6(b) of the Act \106\ in general and Section 6(b)(5) of the Act \107\
in particular in that it is designed to prevent fraudulent and
manipulative acts and practices, to promote just and equitable
principles of trade, to foster cooperation and coordination with
persons engaged in facilitating transactions in securities, to remove
impediments to and perfect the mechanism of a free and open market and
a national market system and, in general, to protect investors and the
public interest.
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\106\ 15 U.S.C. 78f.
\107\ 15 U.S.C. 78f(b)(5).
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The Commission has approved numerous series of Trust Issued
Receipts,\108\ including Commodity-Based Trust Shares,\109\ to be
listed on U.S. national securities exchanges. In order for any proposed
rule change from an exchange to be approved, the Commission must
determine that, among other things, the proposal is consistent with the
requirements of Section 6(b)(5) of the Act, specifically including: (i)
The requirement that a national securities exchange's rules are
designed to prevent fraudulent and manipulative acts and practices;
\110\ and (ii) the requirement that an exchange proposal be designed,
in general, to protect investors and the public interest. The Exchange
believes that this proposal is consistent with the requirements of
Section 6(b)(5) of the Act and that this filing sufficiently
demonstrates that the CME Bitcoin Futures market represents a regulated
market of significant size and that, on the whole, the manipulation
concerns previously articulated by the Commission are sufficiently
mitigated to the point that they are outweighed by quantifiable
investor protection issues that would be resolved by approving this
proposal.
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\108\ See Exchange Rule 14.11(f).
\109\ Commodity-Based Trust Shares, as described in Exchange
Rule 14.11(e)(4), are a type of Trust Issued Receipt.
\110\ As the Exchange has stated in a number of other public
documents, it continues to believe that ``other means to prevent
fraudulent and manipulative acts and practices'' exist to justify
dispensing with the requisite surveillance sharing agreement. The
geographically diverse and continuous nature of bitcoin trading
render it difficult and prohibitively costly to manipulate the price
of bitcoin. The fragmentation across bitcoin platforms, the
relatively slow speed of transactions, and the capital necessary to
maintain a significant presence on each trading platform make
manipulation of bitcoin prices through continuous trading activity
challenging. To the extent that there are bitcoin exchanges engaged
in or allowing wash trading or other activity intended to manipulate
the price of bitcoin on other markets, such pricing does not
normally impact prices on other exchange because participants will
generally ignore markets with quotes that they deem non-executable.
Moreover, the linkage between the bitcoin markets and the presence
of arbitrageurs in those markets means that the manipulation of the
price of bitcoin price on any single venue would require
manipulation of the global bitcoin price in order to be effective.
Arbitrageurs must have funds distributed across multiple trading
platforms in order to take advantage of temporary price
dislocations, thereby making it unlikely that there will be strong
concentration of funds on any particular bitcoin exchange or OTC
platform. As a result, the potential for manipulation on a trading
platform would require overcoming the liquidity supply of such
arbitrageurs who are effectively eliminating any cross-market
pricing differences.
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(i) Designed To Prevent Fraudulent and Manipulative Acts and Practices
In order to meet this standard in a proposal to list and trade a
series of Commodity-Based Trust Shares, the Commission requires that an
exchange demonstrate that there is a comprehensive surveillance-sharing
agreement in place \111\ with a regulated
[[Page 73383]]
market of significant size. Both the Exchange and CME are members of
ISG.\112\ The only remaining issue to be addressed is whether the CME
Bitcoin Futures market constitutes a market of significant size, which
both the Exchange and the Sponsor believe that it does. The terms
``significant market'' and ``market of significant size'' include a
market (or group of markets) as to which: (a) There is a reasonable
likelihood that a person attempting to manipulate the ETP would also
have to trade on that market to manipulate the ETP, so that a
surveillance-sharing agreement would assist the listing exchange in
detecting and deterring misconduct; and (b) it is unlikely that trading
in the ETP would be the predominant influence on prices in that
market.\113\
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\111\ As previously articulated by the Commission, ``The
standard requires such surveillance-sharing agreements since ``they
provide a necessary deterrent to manipulation because they
facilitate the availability of information needed to fully
investigate a manipulation if it were to occur.'' The Commission has
emphasized that it is essential for an exchange listing a derivative
securities product to enter into a surveillance-sharing agreement
with markets trading underlying securities for the listing exchange
to have the ability to obtain information necessary to detect,
investigate, and deter fraud and market manipulation, as well as
violations of exchange rules and applicable federal securities laws
and rules. The hallmarks of a surveillance-sharing agreement are
that the agreement provides for the sharing of information about
market trading activity, clearing activity, and customer identity;
that the parties to the agreement have reasonable ability to obtain
access to and produce requested information; and that no existing
rules, laws, or practices would impede one party to the agreement
from obtaining this information from, or producing it to, the other
party.'' The Commission has historically held that joint membership
in ISG constitutes such a surveillance sharing agreement. See
Wilshire Phoenix Disapproval.
\112\ For a list of the current members and affiliate members of
ISG, see www.isgportal.com.
\113\ See Wilshire Phoenix Disapproval.
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The Commission has also recognized that the ``regulated market of
significant size'' standard is not the only means for satisfying
Section 6(b)(5) of the act, specifically providing that a listing
exchange could demonstrate that ``other means to prevent fraudulent and
manipulative acts and practices'' are sufficient to justify dispensing
with the requisite surveillance-sharing agreement.\114\
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\114\ See Winklevoss Order at 37580. The Commission has also
specifically noted that it ``is not applying a `cannot be
manipulated' standard; instead, the Commission is examining whether
the proposal meets the requirements of the Exchange Act and,
pursuant to its Rules of Practice, places the burden on the listing
exchange to demonstrate the validity of its contentions and to
establish that the requirements of the Exchange Act have been met.''
Id. at 37582.
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(a) Manipulation of the ETP
The topic of price discovery in Bitcoin markets, including both
spot and futures, has attracted the attention of many researchers.
Nevertheless, despite the use of similar measures of price discovery,
the literature has presented mixed evidence.
On the one hand, an early study by Corbet et al. (2018) \115\
applied four metrics of price discovery including the information share
approach of Hasbrouck (1995),\116\ the component share methodology of
Gonzalo and Granger (1995),\117\ the information leadership approach of
Yan and Zivot (2010),\118\ and the information leadership share measure
of Putnins (2013) \119\ between the CME, CBOE, and spot prices using
data sampled on a one-minute frequency. The authors find that price
discovery is focused on the spot market. Similar evidence is presented
by Baur and Dimpfl (2019),\120\ where the authors use data sampled on a
five-minute interval and conclude that price discovery occurs in the
spot market.
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\115\ Corbet S., Lucey B., Peat M., Vigne S. Bitcoin futures--
What use are they? Economics Letters. 2018;172:23-27.
\116\ Hasbrouck J. One security, many markets: Determining the
contributions to price discovery. The Journal of Finance.
1995;50(4):1175-1199.
\117\ Gonzalo J., Granger C. Estimation of common long-memory
components in cointegrated systems. Journal of Business & Economic
Statistics. 1995;13(1):27-35.
\118\ Yan B., Zivot E. A structural analysis of price discovery
measures. Journal of Financial Markets. 2010;13(1):1-19.
\119\ Putni[ncedil][scaron] T.J. What do price discovery metrics
really measure? Journal of Empirical Finance. 2013;23:68-83.
\120\ Baur D.G., Dimpfl T. Price discovery in bitcoin spot or
futures? Journal of Futures Markets. 2019;39(7):803-817.
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On the other hand, a study by Kapar and Olmo (2019) \121\ finds
contradictory evidence using daily-sampled data, concluding that the
CME futures market dominates price discovery based on the approaches of
Gonzalo and Granger (1995) and Hasbrouck (1995). Similarly, Akyildirim
et al. (2019) \122\ show that Bitcoin futures play a significant role
in price discovery relative to the spot market using the four
previously mentioned measures of price discovery.
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\121\ Kapar B., Olmo J. An analysis of price discovery between
Bitcoin futures and spot markets. Economics Letters. 2019;174:62-64.
\122\ Akyildirim E., Corbet S., Katsiampa P., Kellard N., Sensoy
A. The development of bitcoin futures: Exploring the interactions
between cryptocurrency derivatives. Finance Research Letters.
2019;34:1-9.
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One potential reason for the mixed evidence, according to Hu et al.
(2020) \123\ is that cointegration relationships may go undetected if
the underlying model formulation is constrained to be time-invariant.
As such, the authors apply time-varying cointegrating coefficients
based on the works of Park and Hahn (1999) \124\ and Shi et
al.(2018),\125\ and conclude that futures prices Granger-cause spot
prices and that futures prices dominate Bitcoin price discovery.
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\123\ Hu, Yang et al. ``What role do futures markets play in
Bitcoin pricing? Causality, cointegration and price discovery from a
time-varying perspective?.'' International Review of Financial
Analysis vol. 72 (2020): 101569.
\124\ Park J.Y., Hahn S.B. Cointegrating regressions with time
varying coefficients. Econometric Theory. 1999;15(5):664-703.
\125\ Shi S., Phillips P.C., Hurn S. Change detection and the
causal impact of the yield curve. Journal of Time Series Analysis.
2018;39(6):966-987.
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[[Page 73384]]
Additionally, the Bitcoin futures market is by orders of magnitude
larger than the entire spot market of all cryptoassets in terms of
traded volume. According to a study by the Blockchain Lab of
Massachusetts Institute of Technology, ``the derivative market leads
price discovery of bitcoin more frequently than the spot markets. The
spot market is more likely to indicate the direction of the price
movement while the derivatives market is more likely to lead the
magnitude of the price movement'', says the report.\126\
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\126\ Eguren, Luisa, Fondufe, Bryan, Hogan, Caleb, and Matthews,
Claire. ``Price Discovery in the Bitcoin Spot and Derivatives
Markets'' Massachusetts Institute of Technology Blockchain Lab
Program, May 15th, 2020
---------------------------------------------------------------------------
The Bitcoin futures market has processed more than $1 trillion in
futures volume per month since the start of the year. In November 2021,
Bitcoin futures volume accounted for $1.58 trillion, while spot volume,
in the same time frame, amounted to $1.4 trillion including both
crypto-only and fiat currency volumes of all cryptoassets, not just
Bitcoin. Namely, the Bitcoin futures market is 12% larger than the
entire spot market in terms of volume just in the last month. Over the
past three months, the average monthly spot volume was $1.3 trillion
while the average Bitcoin futures volume was significantly greater
(approximately 30%) than the spot at $1.71 trillion according to data
from CryptoCompare and Coinglass.
In the past twelve months, the average monthly futures volume for
Bitcoin was $1.89 trillion, while the monthly spot volume for all
cryptoassets was $1.24 trillion. In other words, since the start of the
year, the Bitcoin futures market is 52% larger than the spot volume of
all cryptoassets traded on exchanges. As of December 2, the ratio of
Bitcoin spot vs futures volume currently stands at 0.17. In other
words, the Bitcoin spot market accounts for 17% of the bitcoin futures
market in volume terms.
According to the Sponsor's research presented above, the CME
Bitcoin Futures market is the leading market for bitcoin price
formation. Where CME Bitcoin Futures lead the price in the spot market
such that a potential manipulator of the bitcoin spot market (beyond
just the constituents of the Index \127\) would have to participate in
the CME Bitcoin Futures market, it follows that a potential manipulator
of the Shares would similarly have to transact in the CME Bitcoin
Futures market because the Index is based on spot prices.
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\127\ As further described below, the ``Index'' for the Fund is
the S&P Bitcoin Index. The current exchange composition of the Index
is Binance, Bitfinex, Bitflyer, Bittrex, Bitstamp, Coinbase Pro,
Gemini, HitBTC, Huobi, Kraken, KuCoin, and Poloniex.
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Further, the Trust only allows for in-kind creation and redemption,
which, as further described below, reduces the potential for
manipulation of the Shares through manipulation of the Index or any of
its individual constituents, again emphasizing that a potential
manipulator of the Shares would have to manipulate the entirety of the
bitcoin spot market, which is led by the CME Bitcoin Futures market. As
such, the Exchange believes that part (a) of the significant market
test outlined above is satisfied and that common membership in ISG
between the Exchange and CME would assist the listing exchange in
detecting and deterring misconduct in the Shares.
(b) Predominant Influence on Prices in Spot and Bitcoin Futures
The Exchange and Sponsor also believe that trading in the Shares
would not be the predominant force on prices in the CME Bitcoin Futures
market or spot market for a number of reasons, including the
significant volume in the CME Bitcoin Futures market, the size of
bitcoin's market cap, and the significant liquidity available in the
spot market. Moreover, the fact that the Shares are created in-kind
means that they are fully collateralized and should remain close to NAV
given that investors and market makers would arbitrage any significant
price deviations between the price of the Shares and prices in the spot
market. In addition to the CME Bitcoin Futures market data points cited
above, the spot market for bitcoin is also very liquid. According to
data from CoinRoutes from February 2021, the cost to buy or sell $5
million worth of bitcoin averages roughly 10 basis points with a market
impact of 30 basis points.\128\ For a $10 million market order, the
cost to buy or sell is roughly 20 basis points with a market impact of
50 basis points. Stated another way, a market participant could enter a
market buy or sell order for $10 million of bitcoin and only move the
market 0.5%. More strategic purchases or sales (such as using limit
orders and executing through OTC bitcoin trade desks) would likely have
less obvious impact on the market--which is consistent with
MicroStrategy, Tesla, and Square being able to collectively purchase
billions of dollars in bitcoin. As such, the combination of CME Bitcoin
Futures leading price discovery, the overall size of the bitcoin
market, and the ability for market participants, including authorized
participants creating and redeeming in-kind with the Trust, to buy or
sell large amounts of bitcoin without significant market impact will
help prevent the Shares from becoming the predominant force on pricing
in either the bitcoin spot or CME Bitcoin Futures markets, satisfying
part (b) of the test outlined above.
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\128\ These statistics are based on samples of bitcoin liquidity
in USD (excluding stablecoins or Euro liquidity) based on executable
quotes on Coinbase Pro, Gemini, Bitstamp, Kraken, LMAX Exchange,
BinanceUS, and OKCoin during February 2021.
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(c) Other Means To Prevent Fraudulent and Manipulative Acts and
Practices
As noted above, the Commission also permits a listing exchange to
demonstrate that ``other means to prevent fraudulent and manipulative
acts and practices'' are sufficient to justify dispensing with the
requisite surveillance-sharing agreement. The Exchange and Sponsor
believe that such conditions are present. According to the Sponsor, a
significant portion of the considerations around Bitcoin pricing have
historically stemmed from a lack of consistent pricing across markets.
However, according to the Sponsor's research, cross-exchange spreads in
Bitcoin have been declining consistently over the past several years.
Based on the daily Bitcoin price series from several popular
centralized exchanges \129\ the Sponsor has calculated the largest
cross-exchange percentage spread (labelled as %C-Spread) by deducting
the highest or maximum price (P) at time t from the lowest or minimum,
and dividing by the lowest across all exchanges (i). Formally, this is
expressed as:
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\129\ The exchanges include Binance, Bitfinex, Bithumb,
Bitstamp, Cexio, Coinbase, Coinone, Gateio, Gemini, HuobiPro, itBit,
Kraken, Kucoin, and OKEX.
[GRAPHIC] [TIFF OMITTED] TN27DE21.013
[[Page 73385]]
The results show a clear and sharp decline in the %C-Spread,
indicating that the Bitcoin market has become more efficient as cross-
exchange prices have converged over time.
[GRAPHIC] [TIFF OMITTED] TN27DE21.014
In addition, the magnitude of outlier % C-spreads has also declined
over time. This boxplot shows that, not only did the median value of
the %C-Spread decline over time, but also the extreme outlier values.
For instance, the maximum %C-Spread for 2017, 2018, 2019, 2020, and
2021 are 29.14%, 14.45%, 8.54%, 6.04%, and 7.1%, respectively. The
market has experienced a 38% year-on-year decline in the annual median
%C-Spread indicating a greater degree of Bitcoin price convergence
across exchanges and a more efficient market.
[[Page 73386]]
[GRAPHIC] [TIFF OMITTED] TN27DE21.015
The dispersion ([sigma]) of Bitcoin Prices has also declined over
the same period. This chart shows the 7-day rolling standard deviation
of the %C-Spread from January 1, 2017 to December 1, 2021. The
Sponsor's research finds that the dispersion in Bitcoin prices across
all exchanges has decreased over time, indicating that prices on all
the considered exchanges converge towards the intrinsic average much
more efficiently. This suggests that the market has become better at
quickly reaching a consensus price for Bitcoin.
As the pricing of the crypto market becomes increasingly efficient,
pricing methodologies become more accurate and less susceptible to
manipulation. The clustering of prices across a variety of sources
within the primary market points towards robust price discovery
mechanisms and efficient arbitrage.
[[Page 73387]]
[GRAPHIC] [TIFF OMITTED] TN27DE21.016
One factor that has contributed to the overall efficiency, price
discovery, and lower volatility of the Bitcoin market is the increase
in the number of participants, and subsequently, the total dollar
amount allocated to this market. This can be illustrated by the
following chart, which shows the number of wallet addresses holding
Bitcoin from March 2012 to December 2021.
[GRAPHIC] [TIFF OMITTED] TN27DE21.017
The increase in the number of participants has manifested itself in
higher liquidity in the market. This is exhibited in the following
chart, which shows the daily aggregated dollar notional of the bid and
ask order books within the first 100 price levels across several of the
largest centralized crypto exchanges from October 2020 to April 2021.
Specifically, the dollar notional that is allocated closest to the mid
price has increased from around $230 million to $860 million over that
period, representing a 270% increase in half a year.
[[Page 73388]]
[GRAPHIC] [TIFF OMITTED] TN27DE21.018
An increased notional order book suggests that there is a higher
degree of consensus among investors regarding the price of Bitcoin.
Moreover, this market characteristic hampers any attempt of price
manipulation by any single large entity.
As a robustness check, the Sponsor investigates whether the dollar
notional in the order book changes significantly prior to, and post an
extreme price event. Specifically, for events constituting large
increases in the price of Bitcoin, if the ask (or sell) side of the
order book experiences a significant shrinkage in the dollar notional
right before the event, then this may be an indication of market
manipulation whereby the ask-side of the order book becomes
sufficiently thin for a large order to move the price upward.
Similarly, for events constituting large decreases in the price of
Bitcoin, if the bid (or buy) side of the order book experiences a
significant shrinkage in the dollar notional prior to such events, then
this may be an indication of market manipulation whereby the thinner
bid-side of the order book may potentially lead to significant downward
price movements.
Using the top and bottom 0.1% of hourly price changes from October
2020 to April 2021 as events of extreme upward and downward market
movements, respectively, the Sponsor plotted the bid (left charts) and
ask (right charts) dollar notional of the Bitcoin order book within a
six-hour window around these events in the chart below, which shows the
results for extreme upward price movements. The extreme price events
(indicated by the dashed green lines) perfectly coincide with the
decrease in dollar notional of the ask-side of the order book. This is
indicative of an efficient market, whereby large market movements are
quickly and dynamically absorbed by a thick orderbook. Moreover, the
dollar notional on the ask side after the event is replenished back to
its pre-event level, which implies that market participants' reactions
are quick to restore the market back to its equilibrium level.
The same results and conclusions are found for extreme downward
price movements. The charts below show that such price events perfectly
coincide with shrinkages on the bid side of the order book (left
charts), indicating an efficient and dynamic Bitcoin market. Moreover,
the bid-side of the order book after the event is also restored back to
its pre-event level, which suggests that the market is symmetrically
efficient in moving back to equilibrium.
[[Page 73389]]
[GRAPHIC] [TIFF OMITTED] TN27DE21.019
[GRAPHIC] [TIFF OMITTED] TN27DE21.020
Finally, offering only in-kind creation and redemption will provide
unique protections against potential attempts to manipulate the Shares.
While the Sponsor believes that the Index which it uses to value the
Trust's bitcoin is
[[Page 73390]]
itself resistant to manipulation based on the methodology further
described below, the fact that creations and redemptions are only
available in-kind makes the manipulability of the Index significantly
less important. Specifically, because the Trust will not accept cash to
buy bitcoin in order to create new shares or, barring a forced
redemption of the Trust or under other extraordinary circumstances, be
forced to sell bitcoin to pay cash for redeemed shares, the price that
the Sponsor uses to value the Trust's bitcoin is not particularly
important.\130\ When authorized participants are creating with the
Trust, they need to deliver a certain number of bitcoin per share
(regardless of the valuation used) and when they're redeeming, they can
similarly expect to receive a certain number of bitcoin per share. As
such, even if the price used to value the Trust's bitcoin is
manipulated (which the Sponsor believes that its methodology is
resistant to), the ratio of bitcoin per Share does not change and the
Trust will either accept (for creations) or distribute (for
redemptions) the same number of bitcoin regardless of the value. This
not only mitigates the risk associated with potential manipulation, but
also discourages and disincentivizes manipulation of the Index because
there is little financial incentive to do so.
---------------------------------------------------------------------------
\130\ While the Index will not be particularly important for the
creation and redemption process, it will be used for calculating
fees.
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(ii) Designed To Protect Investors and the Public Interest
The Exchange believes that the proposal is designed to protect
investors and the public interest. Over the past 1.5 years, U.S.
investor exposure to bitcoin through OTC Bitcoin Funds has grown into
the tens of billions of dollars and more than a billion dollars of
exposure through Bitcoin Futures ETFs. With that growth, so too has
grown the quantifiable investor protection issues to U.S. investors
through roll costs for Bitcoin Futures ETFs and premium/discount
volatility and management fees for OTC Bitcoin Funds. The Exchange
believes that the concerns related to the prevention of fraudulent and
manipulative acts and practices have been sufficiently addressed to be
consistent with the Act and, to the extent that the Commission
disagrees with that assertion, also believes that such concerns are now
outweighed by these investor protection concerns. As such, the Exchange
believes that approving this proposal (and comparable proposals)
provides the Commission with the opportunity to allow U.S. investors
with access to bitcoin in a regulated and transparent exchange-traded
vehicle that would act to limit risk to U.S. investors by: (i) Reducing
premium and discount volatility; (ii) reducing management fees through
meaningful competition; (iii) reducing risks and costs associated with
investing in Bitcoin Futures ETFs and operating companies that are
imperfect proxies for bitcoin exposure; and (iv) providing an
alternative to custodying spot bitcoin.
Commodity-Based Trust Shares
The Exchange believes that the proposed rule change is designed to
prevent fraudulent and manipulative acts and practices in that the
Shares will be listed on the Exchange pursuant to the initial and
continued listing criteria in Exchange Rule 14.11(e)(4). The Exchange
believes that its surveillance procedures are adequate to properly
monitor the trading of the Shares on the Exchange during all trading
sessions and to deter and detect violations of Exchange rules and the
applicable federal securities laws. Trading of the Shares through the
Exchange will be subject to the Exchange's surveillance procedures for
derivative products, including Commodity-Based Trust Shares. The issuer
has represented to the Exchange that it will advise the Exchange of any
failure by the Trust or the Shares to comply with the continued listing
requirements, and, pursuant to its obligations under Section 19(g)(1)
of the Exchange Act, the Exchange will surveil for compliance with the
continued listing requirements. If the Trust or the Shares are not in
compliance with the applicable listing requirements, the Exchange will
commence delisting procedures under Exchange Rule 14.12. The Exchange
may obtain information regarding trading in the Shares and listed
bitcoin derivatives via the ISG, from other exchanges who are members
or affiliates of the ISG, or with which the Exchange has entered into a
comprehensive surveillance sharing agreement.
Availability of Information
The Exchange also believes that the proposal promotes market
transparency in that a large amount of information is currently
available about bitcoin and will be available regarding the Trust and
the Shares. In addition to the price transparency of the Index, the
Trust will provide information regarding the Trust's bitcoin holdings
as well as additional data regarding the Trust. The Trust will provide
an IIV per Share updated every 15 seconds, as calculated by the
Exchange or a third-party financial data provider during the Exchange's
Regular Trading Hours (9:30 a.m. to 4:00 p.m. E.T.). The IIV will be
calculated by using the prior day's closing NAV per Share as a base and
updating that value during Regular Trading Hours to reflect changes in
the value of the Trust's bitcoin holdings during the trading day.
The IIV disseminated during Regular Trading Hours should not be
viewed as an actual real-time update of the NAV, which will be
calculated only once at the end of each trading day. The IIV will be
widely disseminated on a per Share basis every 15 seconds during the
Exchange's Regular Trading Hours by one or more major market data
vendors. In addition, the IIV will be available through on-line
information services.
The website for the Trust, which will be publicly accessible at no
charge, will contain the following information: (a) The current NAV per
Share daily and the prior business day's NAV and the reported closing
price; (b) the BZX Official Closing Price in relation to the NAV as of
the time the NAV is calculated and a calculation of the premium or
discount of such price against such NAV; (c) data in chart form
displaying the frequency distribution of discounts and premiums of the
Official Closing Price against the NAV, within appropriate ranges for
each of the four previous calendar quarters (or for the life of the
Trust, if shorter); (d) the prospectus; and (e) other applicable
quantitative information. The Trust will also disseminate the Trust's
holdings on a daily basis on the Trust's website. The price of bitcoin
will be made available by one or more major market data vendors,
updated at least every 15 seconds during Regular Trading Hours.
Information about the Index, including key elements of how the Index is
calculated, will be publicly available at https://www.spglobal.com/spdji/en/indices/digital-assets/sp-bitcoin-index/.
The NAV for the Trust will be calculated by the Administrator once
a day and will be disseminated daily to all market participants at the
same time. Quotation and last-sale information regarding the Shares
will be disseminated through the facilities of the CTA.
Quotation and last sale information for bitcoin is widely
disseminated through a variety of major market data vendors, including
Bloomberg and Reuters, as well as the Index. Information relating to
trading, including price and volume information, in bitcoin is
available from major market data vendors and from the exchanges on
which bitcoin are traded.
[[Page 73391]]
Depth of book information is also available from bitcoin exchanges. The
normal trading hours for bitcoin exchanges are 24 hours per day, 365
days per year
For the above reasons, the Exchange believes that the proposed rule
change is consistent with the requirements of Section 6(b)(5) of the
Act.
B. Self-Regulatory Organization's Statement on Burden on Competition
The Exchange does not believe that the proposed rule change will
impose any burden on competition that is not necessary or appropriate
in furtherance of the purpose of the Act. The Exchange notes that the
proposed rule change, rather will facilitate the listing and trading of
an additional exchange-traded product that will enhance competition
among both market participants and listing venues, to the benefit of
investors and the marketplace.
C. Self-Regulatory Organization's Statement on Comments on the Proposed
Rule Change Received From Members, Participants, or Others
The Exchange has neither solicited nor received written comments on
the proposed rule change.
IV. Solicitation of Comments
Interested persons are invited to submit written data, views, and
arguments concerning the foregoing, including whether the proposed rule
change is consistent with the Act. Comments may be submitted by any of
the following methods:
Electronic Comments
Use the Commission's internet comment form (https://www.sec.gov/rules/sro.shtml); or
Send an email to [email protected]. Please include
File Number SR-CboeBZX-2021-051 on the subject line.
Paper Comments
Send paper comments in triplicate to Secretary, Securities
and Exchange Commission, 100 F Street NE, Washington, DC 20549-1090.
All submissions should refer to File Number SR-CboeBZX-2021-051. This
file number should be included on the subject line if email is used. To
help the Commission process and review your comments more efficiently,
please use only one method. The Commission will post all comments on
the Commission's internet website (https://www.sec.gov/rules/sro.shtml).
Copies of the submission, all subsequent amendments, all written
statements with respect to the proposed rule change that are filed with
the Commission, and all written communications relating to the proposed
rule change between the Commission and any person, other than those
that may be withheld from the public in accordance with the provisions
of 5 U.S.C. 552, will be available for website viewing and printing in
the Commission's Public Reference Room, 100 F Street NE, Washington, DC
20549 on official business days between the hours of 10:00 a.m. and
3:00 p.m. Copies of the filing also will be available for inspection
and copying at the principal office of the Exchange. All comments
received will be posted without change. Persons submitting comments are
cautioned that we do not redact or edit personal identifying
information from comment submissions. You should submit only
information that you wish to make available publicly. All submissions
should refer to File Number SR-CboeBZX-2021-051, and should be
submitted on or before January 18, 2022.
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\131\ 17 CFR 200.30-3(a)(12).
For the Commission, by the Division of Trading and Markets,
pursuant to delegated authority.\131\
J. Matthew DeLesDernier,
Assistant Secretary.
[FR Doc. 2021-27824 Filed 12-23-21; 8:45 am]
BILLING CODE 8011-01-P