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BREAKING: Galaxy Digital Urges SEC to Include AMMs in Tokenization Exemption

News RoomBy News RoomApril 15, 2026No Comments4 Mins Read
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Galaxy Digital Advocates for Clear Rules on Tokenized Securities Trading Through AMMs

In a significant development within the cryptocurrency regulation landscape, Galaxy Digital has made a compelling case to the U.S. Securities and Exchange Commission (SEC) regarding automated market makers (AMMs) and their status under the Securities Exchange Act of 1934. According to Galaxy Digital, AMMs should not be classified as “exchanges,” and the liquidity providers operating within these frameworks do not qualify as “dealers,” a distinction that is critical for regulatory compliance. This view stands in direct contrast to opinions voiced by the Securities Industry and Financial Markets Association (SIFMA), underscoring the growing debate around regulation in the crypto space.

In its submission to the SEC Crypto Task Force, Galaxy Digital argues for the necessity of a clear regulatory structure that accommodates tokenized securities trading on AMMs. The firm’s letter emphasizes the principle of technology neutrality, urging the SEC to recognize that regulations should apply to financial activities rather than the underlying technology. This stance aims to facilitate innovation while maintaining market integrity, thereby ensuring that new financial instruments can be traded securely and effectively within the regulatory framework.

One of the core arguments presented by Galaxy Digital is that AMMs should not fall under the categorization of “exchanges” as defined by the SEC. To support this claim, the firm outlines key characteristics of AMMs that distinguish them from traditional exchanges. These include the absence of discretionary control, full transparency of operations, deterministic settlement processes, and non-discriminatory access for all users. Such features, according to Galaxy Digital, position AMMs as distinct entities that operate differently from conventional exchanges, which often exercise control over trade execution.

Additionally, Galaxy Digital defends the status of liquidity providers who operate on these AMMs. The firm insists that liquidity providers do not function as “dealers” according to the statutory definitions set out in the Exchange Act. They primarily trade for their own accounts without soliciting transactions from customers or offering two-sided quotes, which nullifies the applicability of dealer registration requirements in their case. By doing so, Galaxy Digital seeks to clarify the role of liquidity providers and eliminate regulatory uncertainty that could hinder innovation in the tokenized securities market.

To further facilitate the development of a compliant ecosystem, Galaxy Digital proposes that the SEC adopt a conditional innovation exemption tailored for AMMs. This exemption could incorporate features such as whitelisting certain platforms, setting volume caps on trading activities, and requiring comprehensive disclosures. The firm believes that implementing these measures will not only ensure market integrity but also create a conducive environment for compliant tokenization architectures that can bring liquidity and efficiency to the crypto market.

The SEC has already signaled some openness to accommodating decentralized finance (DeFi) platforms, outlining conditions under which they may be exempt from registering as broker-dealers. This communication suggests that there may be a pathway for tokenized securities trading via AMMs and other decentralized applications. Such an approach could pave the way for greater integration of crypto assets with traditional financial structures, allowing for more fluid trading of tokenized securities while adhering to existing regulatory frameworks.

As the regulatory environment around cryptocurrencies continues to evolve, the conversation initiated by Galaxy Digital underscores the urgent need for clear guidelines that address the unique characteristics of blockchain-based financial systems. The distinction between traditional exchange mechanisms and the innovative structures provided by AMMs is crucial for striking a balance between fostering innovation and ensuring robust regulatory oversight. If the SEC embraces Galaxy Digital’s suggestions, it could set a precedent for how tokenized assets are treated under future regulations, potentially revolutionizing the way securities are traded in the digital era.

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