On Sept. 25, 2020, the SEC issued a No-Action Letter to FINRA, in response to a previously issued Joint Statement by the SEC and FINRA. This No-Action Letter detailed how broker-dealers could operate alternative trading systems that trade digital assets without garnering enforcement action from the SEC for not meeting the custody requirements required under Rule 15c3-3.
Read the full GT Alert, “SEC Issues No-Action Letter Facilitating the Secondary Trading of Digital Assets.”