Hong Kong Securities and Futures Commission Announces New Framework for Regulating Virtual Asset Trading Platforms | Insight | Baker McKenzie (2024)

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The Securities and Futures Commission (SFC) has taken another major steptowards establishing a regulatory framework for virtual asset tradingplatforms, and is now inviting licensing applications from platform operatorswho are willing and able to comply with new licensing criteria and continuingcompliance requirements outlined in the SFC's recently published PositionPaper - Regulation of virtual asset trading platforms ("Position Paper").Licensing applications are open from 6 November 2019.

Background

In November 2018, the SFC introduced a conceptual framework to explorethe potential regulation of virtual asset trading platforms.

After completing the exploratory analysis, the SFC has now concluded thatsome types of centralised platforms would be suitable to be regulated. TheSFC emphasises that it is entirely up to the platform operators to decidewhether or not they would like to obtain a licence and be regulated:

If a platform operator chooses not to be regulated, it has to ensure that thevirtual assets traded on its platform are not "securities" or "futures contracts"under the SFO.

If a platform operator chooses to be regulated and apply for a licence, it mustbe committed and capable of complying with the licensing criteria as well ascontinuing conduct requirements, which apply to all aspects of the platformoperations, regardless of whether the virtual assets are securities or nonsecurities and whether the trading is done on or off platform. The keylicensing conditions and regulatory standards prescribed in the PositionPaper are discussed in more detail below.

Licensing and supervisory regime for platformoperators

The SFC will only accept licensing applications for Type 1 (dealing insecurities) and Type 7 (providing automated trading services) regulatedactivities from platform operators which provide trading, clearing andsettlement services for virtual assets (including those which are "securities"),and have control over investors’ assets.

Upon being licensed, the licensee will be put in the SFC regulatory sandboxfor a period of close and intensive supervision.

When assessing whether a platform operator should be licensed, the SFCwill consider a number of factors, including the platform operator'sinfrastructure, core fitness and properness and conduct of virtual assettrading activities as a whole (despite its trading activities in security tokensbeing only a small part of its business). Platform operators must also ensurethat all virtual asset trading business activities ("Relevant Activities")conducted by their group companies which are actively marketed to HongKong investors or are conducted in Hong Kong, are carried out under a singlelegal entity licensed by the SFC.

Regulatory Standards

Licensed platform operators will be subject to strict licensing conditions andmust comply with the relevant provisions of the SFO and its subsidiarylegislation, as well as the Code of Conduct for Persons Licensed by orRegistered with the SFC ("Code of Conduct") and other regulatoryrequirements when conducting Relevant Activities.

Licensing Conditions

Licensed platform operators will be subject to the following key licensingconditions:

  • providing services only to "professional investors" (as defined in Part 1 of Schedule 1 to the SFO and the Securities and Futures (Professional Investor) Rules)
  • complying with the SFC's prescribed "Terms and Conditions for Virtual Asset Trading Platform Operators" ("Terms and Conditions")
  • obtaining the SFC’s prior written approval for any plan or proposal to introduce or offer a new or incidental service, or activity, or to make a material change to an existing service or activity
  • obtaining the SFC's prior written approval for any plan or proposal to add any product to its trading platform
  • providing monthly reports to the SFC on its business activities
  • appointing an independent firm to conduct an annual review of its activities and operations and prepare a report confirming compliance with the licensing conditions and all relevant legal and regulatory requirements

Terms and Conditions for Virtual Asset Trading PlatformOperators

Under the Terms and Conditions, in addition to the existing requirements thatapply to other SFC licensed intermediaries, the SFC has included specificrequirements to address the unique features of virtual assets.

The key Terms and Conditions include:

Access to trading services

  • Virtual asset trading services must be provided to "professional investors" only.
  • In case of provision of white labelling services, all reasonable steps should be taken to ensure that both (i) the clients engaging the white labelling services as well as (ii) the end users whose transactions will be routed to and executed on the same platform as the direct clients of the licensee, are "professional investors".

Virtual assets for trading

  • Proper due diligence should be made on all virtual assets before including them on the platform for trading.
  • In relation to virtual assets which are "securities", these are limited to those which are (i) asset-backed, (ii) approved or qualified by, or registered with regulators in comparable jurisdictions, and (iii) with a postissuance track record of 12 months.
  • A legal opinion should be obtained on the legal and regulatory status of each virtual asset (including whether that virtual asset falls within the scope of "securities") and the implications for the platform operator. Professional skepticism should be exercised before relying on any legal advice.
  • No financial accommodation may be provided by the licensee or its group companies to clients to acquire virtual assets. Trades can only be made if there are sufficient fiat currencies or virtual assets in the client's account with the licensee to settle the trade, with the exception of off-platform transactions conducted by institutional professional investors which are settled intra-day.
  • No virtual asset futures contracts and related derivatives services may be provided by the licensee.

Know Your Client (KYC)

  • All reasonable steps should be taken to establish the true identity of clients and their financial situation, investment experience and investment objectives.
  • Assessment must be made of the client's knowledge of virtual assets before providing any services. If a client does not possess such knowledge, services may only be provided if relevant training has been provided to the client and the personal circ*mstances of the client have been considered to ensure suitability of the services to the client.

Safe custody of assets

  • Client assets must be held on trust for clients through a wholly owned subsidiary of the platform operator which is incorporated in Hong Kong and holds a "trust or company service provider licence" under the Anti-Money Laundering and Counter-Terrorist Financing Ordinance.
  • At least 98% of client virtual assets should be stored in cold wallets (i.e., where private keys are kept offline), and not more than 2% in hot wallets (i.e., where the private keys to virtual assets are kept online and highly vulnerable to external threats).
  • Private keys should be used to digitally sign transactions, with internal controls and governance procedures in place for private key management.

Insurance

  • An insurance policy covering risks associated with the client virtual assets held in hot storage (full coverage) and risks associated with the client virtual assets held in cold storage (a substantial coverage, for instance, 95%) must be in effect at all times.

Anti-money laundering and counter-financing of terrorism (AML/CFT)

  • AML/CFT systems should be regularly reviewed and enhanced, including possible use of virtual asset tracking tools to flag criminal activities and identified transactions.

Market manipulation

  • Policies and controls for the proper surveillance of activities to identify, prevent and report any market manipulative or abusive trading activities should be put in place.
  • An effective market surveillance system provided by a reputable and independent provider should be adopted. The effectiveness of the market surveillance system should be reviewed at least annually.

Risk management and Cybersecurity

  • A sound risk management framework should be established to manage the full range of risks arising from the businesses and operations. Relevant pre-trade controls and post-trade monitoring measures should be put in place.
  • A technology audit should be conducted by a suitably qualified independent professional at least annually.

Conflicts of interest

  • Licensees must not engage in proprietary trading or market-making activities on a proprietary basis.
  • Policies should be put in place governing employees’ dealings in virtual assets to eliminate, avoid, manage or disclose actual or potential conflicts of interest.

Actions to Consider

Platform operators which operate a centralised virtual asset trading platformin Hong Kong should consider whether they want to apply for a licence fromthe SFC for Types 1 and 7 regulated activities. Specifically, they shouldconsider whether their proposed business model:

  • covers trading, clearing and/or settlement services for virtual assets
  • can accommodate at least one virtual asset that falls within the definition of “securities” under the SFO
  • can be operated by a single legal entity for licensing purposes
  • can limit the clientele to "professional investors" only
  • can put in place the necessary custody and insurance arrangements, as well as other appropriate controls, mechanisms and arrangements to comply with the SFC’s licensing conditions and the prescribed Terms and Conditions

We are happy to assist a platform operator to assess its eligibility andcapacity to comply with the SFC's licensing and sandbox requirements.Potential licensing applicants should note that the SFC has indicated the timerequired for processing a virtual asset trading platform licence applicationmay be longer than that for a standard licensing application.

Hong Kong Securities and Futures Commission Announces New Framework for Regulating Virtual Asset Trading Platforms | Insight | Baker McKenzie (2024)

FAQs

What is sfc regulation? ›

The SFC's statutory objectives are to maintain and promote fairness, efficiency, competitiveness, and transparency in the securities and futures markets; promote public understanding of investing and corporate finance policy; protect investors by enforcing regulations; reduce crime and misconduct and reduce the risks ...

Who is the regulator of Hong Kong capital market? ›

The Securities and Futures Commission (SFC) of Hong Kong is the independent statutory body charged with regulating the securities and futures markets in Hong Kong.

What does sfc hk do? ›

We are responsible for administering the laws governing the securities and futures markets in Hong Kong and facilitating and encouraging the development of these markets. In carrying out our mission, we aim to ensure Hong Kong's continued success and development as an international financial centre.

Who is the CEO of the Hong Kong Securities and Futures Commission? ›

Ms Julia Leung has been Chief Executive Officer (CEO) of the Securities and Futures Commission (SFC) since 1 January 2023.

What is the difference between HKEX and SFC? ›

Regulation of takeovers, share repurchases and privatisations, which may involve investor conduct, is also the responsibility of the SFC. HKEX is the operator of Hong Kong's central securities and derivatives marketplace and the front-line regulator of listed issuers (including listed companies).

Who is the owner of SFC? ›

Kesavan Muraleedharan is the Founder and Chairman of SFC Group.

Who regulates Hong Kong Stock Exchange? ›

The Hong Kong Securities and Futures Commission (the SFC) performs a lead role in market regulation and certain areas of listing regulation and a complementary role through the exercise of its statutory powers of investigation and enforcement in cases involving corporate misconduct.

Who regulates funds in Hong Kong? ›

The HKMA is responsible for the authorization, regulation and supervision of banking business and the business of taking deposits in Hong Kong.

Who are the main financial regulators in Hong Kong? ›

The four financial regulators are the Hong Kong Monetary Authority (HKMA), the Insurance Authority (IA), the Mandatory Provident Fund Schemes Authority (MPFA)and the Securities and Futures Commission (SFC).

What is the primary aim of the Hong Kong SFC? ›

As a financial regulator in one of the world's leading international financial centres, the SFC strives to strengthen and protect the integrity, orderliness and competitiveness of the securities and futures markets in Hong Kong for the benefit of the industry, investing public and Hong Kong's society as a whole.

What is the difference between HKMA and SFC? ›

1 The SFC is responsible for granting or refusing applications by AIs to be registered to carry on a regulated activity. All such applications received by the SFC will be referred to the HKMA for consideration.

What does SFC actually do? ›

The system file checker utility checks the integrity of Windows system files and repairs them if required. After the process is complete, reboot the computer.

How much does the CEO of HKEX make? ›

Hong Kong Exchanges and Clearing's CEO is Bonnie Chan, appointed in Mar 2024, has a tenure of less than a year. total yearly compensation is HK$14.80M, comprised of 29.2% salary and 70.8% bonuses, including company stock and options. directly owns 0.005% of the company's shares, worth CN¥12.81M.

Who is the new CEO of Hong Kong Stock Exchange? ›

Bonnie Y Chan was appointed the Chief Executive Officer of Hong Kong Exchanges and Clearing Limited on 1 March 2024. Ms Chan brings more than 30 years of global capital markets leadership and expertise.

Who is the CEO of Invest Hong Kong? ›

The current Director-General of Investment Promotion is Alpha Lau (Chinese: 劉凱旋). Under Lau's leadership, the agency has focused on promoting Hong Kong as a location for corporate headquarters, family offices, and technology companies.

What is the purpose of the SFC? ›

The basic purpose of the SFC is to make recommendations as to the sharing of State revenues with the rural and Urban local bodies, determination of the taxes, duties, tolls, fees etc.

What is the SFC standard? ›

The SFC standard is defined as Preparation of function charts for control systems, and was based on GRAFCET (itself based on binary Petri nets). It can be used to program processes that can be split into steps.

What is a SFC for tax purposes? ›

To begin, a specified foreign corporation includes any controlled foreign corporation (CFC) as well as any foreign corporation in which one or more domestic corporations is a U.S. shareholder.

What does SFC mean in finance? ›

Self-financing capacity means the surplus cash from a company's business, which allows it to finance its growth. But this cash surplus can also be used for other purposes, and its calculation serves as a measurement tool in several important ways.

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