Regulation

MiCA’s Stablecoin Regime and Its Remaining Challenges: Part 1

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Trading volumes show that stablecoins are currently the largest use case for cryptoassets. June 30, 2024 will therefore mark a major milestone for cryptoasset regulation in Europe – and potentially beyond – with the entry into force of the “stablecoin regime” of the Markets in Cryptoassets (MiCA) Regulation. This Regulation requires issuers (and other persons) to have a MiCA license to publicly offer or trade asset-referenced tokens (ARTs) or e-money tokens (EMTs) within the European Union, with no transition period.

MiCA represents a significant evolution towards a comprehensive regulatory framework including prudential and conduct requirements for crypto-asset issuers and crypto-asset service providers (CASPs) in the EU. Previously, the frameworks focused only on anti-money laundering and combating the financing of terrorism (AML/CFT). MiCA aims to unify the currently fragmented regulatory landscape by establishing harmonised rules, providing legal certainty, protecting consumers and investors and supporting the integrity and stability of the European financial system while fostering innovation.

While the stablecoin regime comes into force at the end of this month, the full CASP regulatory framework will become applicable six months later, on 30 December 2024. The European Banking Authority (EBA) and the European Securities and Markets Authority (ESMA) have undertaken extensive consultations on Regulatory Technical Standards (RTS), Implementing Technical Standards (ITS) and Guidelines to help firms better understand regulatory expectations in order to comply with the MiCA framework.

In this blog, we take a closer look at MiCA’s stablecoin regime, including:

  • On-chain data related to stablecoin usage and overview of MiCA’s stablecoin regime (part 1)
  • The main differences between ARTs and EMTs, and what is required by issuers (part 2)
  • Practical challenges and legal uncertainty that remain in this regulatory framework (Part 3)

Part 1: What on-chain data tells us about stablecoins

While Bitcoin accounts for about 50% of the total crypto asset market capitalization about $2.2 trillionit represents only a small portion of the overall transfer volume, about 10%. By 2023, the overall on-chain transaction volume reached $10 trillion, with stablecoins accounting for 60% of that volume (see Figure 1). This translates to a daily global average of $17.4 billion transferred via stablecoins.

Figure 1: USD value transferred on-chain per month

Chainalysis data further indicates that 1.5 million transfers are made daily using stablecoins, 91% of which are under $10,000. Thus, the majority of transaction volume is in lower denominations, suggesting substantial retail usage of stablecoins.

Additionally, stablecoins are now being held for increasingly longer periods of time on a receiving wallet address before being transferred to another wallet address, around 40 weeks on average (see Figure 2). This is part of a more structural trend, as more and more people holding cryptoassets are doing so for longer periods of time, expecting positive price movements. This trend is also typically more pronounced in bear markets, which see less trading activity. However, you can also see on the right side of the chart the cyclical impact of the current bull market, with average holding times already getting slightly shorter.

Figure 2: Average number of weeks of asset retention, i.e. without moving outside the receiving address

In our recent Policy Pulse Webinar We also discuss these trends with Dimitrios Psarakis And Philippe Gradwell.

MiCA’s stablecoin regime

MiCA defines crypto-assets and distinguishes three types:

  1. asset-referenced tokens (ART),
  2. electronic money tokens (EMT) and
  3. other tokens that are neither ART nor EMT.

The main difference between ART and EMT is the underlying connection:

  • ART in Title III, it is a type of cryptographic asset that is not an electronic money token and that claims to maintain a stable value by referencing another value (e.g., gold and cryptoassets) or a right or a combination thereof, including one or more official currencies (e.g., a basket of currencies).
  • The ambulances Under Title IV, it is a type of crypto asset that claims to maintain a stable value by referencing the value of an official currency.

The rules applicable to EMTs and ARTs (referred to in this blog as “stablecoins” unless otherwise indicated) come into effect from June 30, 2024.

The third category of tokens under MiCA is “other tokens,” such as Bitcoin or Ether. The regulatory requirements for these “other tokens” will come into force on December 30, 2024, alongside the regulatory framework for CASPs that offer one or more of the ten specific MiCA services.

As for “algorithmic stablecoins”, which aim to maintain a stable value by exploiting a supply and demand system managed by an algorithm, these could fall within the definition of an ART or an EMT, and therefore, MiCA specifies that the issuers of these tokens are required to follow the respective rules. If they do not fit these definitions, the issuers must still follow the rules of “other tokens”.

Finally, it should be noted that MiCA excludes from its scope tokens already subject to other regulatory frameworks, such as those representing financial instruments (e.g. shares, bonds and derivatives) governed by the EU Markets in Financial Instruments Directive (MiFID).

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This material is provided for informational purposes only and is not intended to provide legal, tax, financial or investment advice. Recipients should consult their own advisors before making any such decisions. Chainalysis has no liability for any decision made or any other act or omission in connection with the recipient’s use of this material.

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