CFTC updates guidelines! Allows trust banks to issue USD stablecoins but excludes algorithmic stablecoins

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The CFTC revised guidelines to include national trust banks issuing stablecoins, aligning with the GENIUS Act, and anchoring with the FDIC framework, excluding algorithmic stablecoins.

CFTC Revises Staff Letter, Officially Incorporates National Trust Banks into the Issuer Framework

The U.S. Commodity Futures Trading Commission (CFTC) issued an important update to its guidelines on February 6, 2026, officially revising the previous staff letter to fully align with the regulatory framework established by the GENIUS Act. The core of this revision is to expand the standards for payment stablecoin issuers, explicitly including National Trust Banks in the list of qualified financial institutions, granting them the legal status to issue fiat-pegged tokens.

Image source: CFTC CFTC releases important guideline update, officially revising the previous staff letter to fully align with the regulatory framework established by the GENIUS Act

This change is primarily reflected in CFTC Staff Letter 26-05, which replaces and updates Staff Letter 25-40 issued on December 8, 2025. The CFTC Market Participants Division admits in the document that, in the provisions of Staff Letter 25-40, there was no intention to exclude National Trust Banks from being issuers of payment stablecoins. To correct this definitional oversight, the division decided to reissue the letter and, by expanding the definition of stablecoin issuers, formally include institutions like National Trust Banks that operate nationwide. This means that these banks, focused on asset management and custodial services, will play a more critical role in the U.S. dollar stablecoin market in the future.

Analysis of National Trust Banks’ Functions and the Background of the GENIUS Act

National Trust Banks hold a special position in the U.S. financial landscape. Unlike well-known traditional commercial banks, National Trust Banks typically do not offer general retail banking services such as personal loans or checking accounts. Their core business mainly focuses on three areas:

  1. Providing custody services for digital and traditional assets;
  2. Executing wills and estate matters on behalf of clients;
  3. Offering professional asset management services.

Although they do not have retail banking functions, National Trust Banks are legally authorized to operate across all 50 U.S. states, giving them natural geographic and legal advantages in cross-state stablecoin payments and clearing systems.

This policy shift by the CFTC is seen as a key follow-up after President Trump signed the GENIUS Act in July 2025. The act established the first comprehensive regulatory framework for U.S. dollar stablecoins. It clarifies the legal status of stablecoins as blockchain tokens pegged to the U.S. dollar and requires all issuance activities to be conducted under strict federal supervision. The CFTC guideline revision aims to ensure that different types of banking institutions have clear and consistent operational bases under this framework.

FDIC Proposal for Commercial Bank Participation Pathway with Strict Collateral Standards

In addition to the CFTC’s revisions concerning trust banks, the Federal Deposit Insurance Corporation (FDIC) proposed a framework for commercial banks issuing stablecoins in December 2025. According to this proposal, traditional commercial banks are permitted to issue stablecoins through their FDIC-regulated subsidiaries. Before the official launch, the FDIC will conduct rigorous compliance reviews of the parent banks and their subsidiaries to assess whether they fully meet the technical and financial requirements stipulated by the GENIUS Act.

The GENIUS Act sets very high thresholds for stablecoin stability mechanisms. It mandates that approved stablecoins must adopt an over-collateralized model, ensuring a 1:1 peg with the U.S. dollar. Collateral assets are limited to cash deposits and short-term government securities, such as U.S. Treasury Bills. Additionally, issuers must establish transparent and efficient redemption policies and undergo periodic external assessments of their financial health to ensure asset safety during market volatility.

Regulatory Red Lines and Market Transformation: Excluding Algorithmic Stablecoins

While refining the issuance system, the GENIUS Act also clearly delineates red lines for the market. The framework explicitly excludes algorithmic stablecoins (Algorithmic Stablecoins) and synthetic dollars (Synthetic Dollars) from the definition of legitimate stablecoins. These tokens rely on complex software code or market trading strategies to maintain their peg to the dollar, rather than using real fiat assets for 1:1 collateral, and are considered to pose higher systemic risks, thus cannot be recognized under current federal legislation.

From the signing of the 2025 Act to the continued refinement of rules by the CFTC and FDIC in early 2026, the legal environment for the U.S. stablecoin market is undergoing a profound transformation. As regulatory boundaries are established, stablecoin issuance is shifting from early-stage tech experiments to formal financial models led by national trust banks and their commercial bank subsidiaries. This not only strengthens investor confidence but also lays a standardized legal foundation for the long-term development of U.S. dollar stablecoins in the global payment system.

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