#alclaw результаты поиска
When a Node Operator deposits staked crypto with a custodian, the Node Operator retains ownership and the custodian cannot use the crypto for operational or general business purposes nor lend, pledge or rehypothecate such assets in any way. #SecuritiesLawBlog #Crypto #ALCLAW
Each networks protocols run a little differently, including how Node Operators are selected, how much crypto is required to be staked and for how long, custody of staked crypto, solo or group staking, the rewards earned, etc.. #SecuritiesLawBlog #NodeOperators #ALCLAW
Public, permissionless networks allow users to participate in the network’s operation, including the validation of new transactions to the network in accordance with the network’s consensus mechanism. #SecuritiesLawBlog #SEC #ALCLAW
Each protocol incorporates a “consensus mechanism” to enable unrelated computers on a network to agree on data and transactions on the network. #SecuritiesLawBlog #SEC #ALCLAW
ANTHONY, LINDER & CACOMANOLIS, PLLC EXPANDS REACH WITH BILINGUAL BLOG LAUNCH- manilatimes.net/2025/10/10/tmt… #SecuritiesLawBlog #ALCLAW #Japan
ANTHONY, LINDER & CACOMANOLIS, PLLC、バイリンガル・ブログの立ち上げでリーチを拡大- jpmobile.prnasia.com/story/12531050… #ALCLAW #SecuritiesLawBlog #Japan #USIPOs
Networks rely on software programming (“protocols”) to reduce reliance on intermediaries, and which programming verifies transactions and provides settlement assurance to its users. #SecuritiesLawBlog #SEC #ALCLAW
It is the SEC’s view that protocol staking does not involve the offer or sale of securities under the Securities Act or Securities Exchange Act. #SecuritiesLawBlog #SEC #ALCLAW
Accordingly, it is the SEC’s view that participants in protocol staking activities do not need to be licensed or registered with the SEC. The SEC’s statement relies on the Howey Test in making its determination. #SecuritiesLawBlog #SEC #ALCLAW
Node Operators earn rewards of: (i) newly minted crypto assets; and (ii) a percentage of the transaction fees paid in crypto, by the parties who are seeking to add their transactions to the network. #SecuritiesLawBlog #CryptoAssets #ALCLAW
In particular, the SEC does not believe that protocol staking involves the investment of money in a common enterprise premised on a reasonably expectation of profits to be derived by the entrepreneurial or managerial efforts of others. #SecuritiesLawBlog #SEC #ALCLAW
SECが発表した、特定プロトコルのステーキング活動に関する声明- securities-law-blog.com/2025/10/28/sec… #SecuritiesLawBlog #SEC #ALCLAW
Nasdaq is proposing to add a sweeping new exception obfuscating compliance periods and allowing for the accelerated trading suspension and delisting of certain low value securities. #SecuritiesLawBlog #NASDAQ #ALCLAW
SEC Publishes CD&I On Filer Status Determination- securities-law-blog.com/2025/11/04/sec… #SecuritiesLawBlog #SEC #ALCLAW
Nasdaq has both initial and continued listing requirements which vary based on both the tier of Nasdaq for which listing is sought and the standard used to apply. #SecuritiesLawBlog #NASDAQ #ALCLAW
A company that lists initially on Nasdaq under one standard may continue to list if it meets the continued listing requirements under any of the other standards and as such, MVLS is rarely a cause for delisting. #SecuritiesLawBlog #NASDAQ #ALCLAW
Like the listing standards, Nasdaq rules have minimum quantitative and qualitative standards for a company to maintain a listing. #SecuritiesLawBlog #NASDAQ #ALCLAW
SEC Statement On Certain Protocol Staking Activities- securities-law-blog.com/2025/10/28/sec… #SecuritiesLawBlog #SEC #ALCLAW
The quantitative listing thresholds for initial listing are generally higher than for continued listing, thus helping to ensure that companies have reached a sufficient level of maturity prior to listing. #SecuritiesLawBlog #NASDAQ #ALCLAW
In particular, the SEC does not believe that protocol staking involves the investment of money in a common enterprise premised on a reasonably expectation of profits to be derived by the entrepreneurial or managerial efforts of others. #SecuritiesLawBlog #SEC #ALCLAW
Accordingly, it is the SEC’s view that participants in protocol staking activities do not need to be licensed or registered with the SEC. The SEC’s statement relies on the Howey Test in making its determination. #SecuritiesLawBlog #SEC #ALCLAW
It is the SEC’s view that protocol staking does not involve the offer or sale of securities under the Securities Act or Securities Exchange Act. #SecuritiesLawBlog #SEC #ALCLAW
When a Node Operator deposits staked crypto with a custodian, the Node Operator retains ownership and the custodian cannot use the crypto for operational or general business purposes nor lend, pledge or rehypothecate such assets in any way. #SecuritiesLawBlog #Crypto #ALCLAW
Each networks protocols run a little differently, including how Node Operators are selected, how much crypto is required to be staked and for how long, custody of staked crypto, solo or group staking, the rewards earned, etc.. #SecuritiesLawBlog #NodeOperators #ALCLAW
Node Operators earn rewards of: (i) newly minted crypto assets; and (ii) a percentage of the transaction fees paid in crypto, by the parties who are seeking to add their transactions to the network. #SecuritiesLawBlog #CryptoAssets #ALCLAW
Public, permissionless networks allow users to participate in the network’s operation, including the validation of new transactions to the network in accordance with the network’s consensus mechanism. #SecuritiesLawBlog #SEC #ALCLAW
Each protocol incorporates a “consensus mechanism” to enable unrelated computers on a network to agree on data and transactions on the network. #SecuritiesLawBlog #SEC #ALCLAW
Networks rely on software programming (“protocols”) to reduce reliance on intermediaries, and which programming verifies transactions and provides settlement assurance to its users. #SecuritiesLawBlog #SEC #ALCLAW
SEC Publishes CD&I On Filer Status Determination- securities-law-blog.com/2025/11/04/sec… #SecuritiesLawBlog #SEC #ALCLAW
A company that lists initially on Nasdaq under one standard may continue to list if it meets the continued listing requirements under any of the other standards and as such, MVLS is rarely a cause for delisting. #SecuritiesLawBlog #NASDAQ #ALCLAW
Nasdaq is proposing to add a sweeping new exception obfuscating compliance periods and allowing for the accelerated trading suspension and delisting of certain low value securities. #SecuritiesLawBlog #NASDAQ #ALCLAW
Like the listing standards, Nasdaq rules have minimum quantitative and qualitative standards for a company to maintain a listing. #SecuritiesLawBlog #NASDAQ #ALCLAW
A company that lists initially under one standard may continue to list if it meets the continued listing requirements under any of the other standards and as such, MVLS is rarely a cause for delisting. #SecuritiesLawBlog #NASDAQ #ALCLAW
Nasdaq has both initial and continued listing requirements which vary based on both the tier of Nasdaq for which listing is sought and the standard used to apply. #SecuritiesLawBlog #NASDAQ #ALCLAW
SECが発表した、特定プロトコルのステーキング活動に関する声明- securities-law-blog.com/2025/10/28/sec… #SecuritiesLawBlog #SEC #ALCLAW
SEC Statement On Certain Protocol Staking Activities- securities-law-blog.com/2025/10/28/sec… #SecuritiesLawBlog #SEC #ALCLAW
regulatory oversight with respect to U.S. government securities, as well as repurchase and reverse repurchase agreements on U.S. government securities. #SecuritiesLawBlog #SEC #ALCLAW
New to the SEC Rulemaking Agenda items on the proposed rule list are proposed targeted amendments designed to enhance transparency and…#SecuritiesLawBlog #SEC #ALCLAW
A shelf registration statement is one filed on Form S-3 or F-3 and is one of the most important tools for public company capital formation. #SecuritiesLawBlog #SEC #ALCLAW
We are hitting the ground running here at ALC Law! First PLCB orange placard posted for a client. Reach out for help on any liquor licensing needs! #ALCLaw #LiquorLaw #liquorlawyer
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