Scandinavia’s Leading Bank Nordea Shifts Gears: Introducing a Bitcoin ETP for Customers
Key Takeaways
- Nordea, Scandinavia’s biggest bank with over $286 billion in assets under management, is now offering customers access to a Bitcoin-linked ETP starting in December, marking a major turnaround from its previous crypto ban.
- The decision stems from improved regulations like Europe’s MiCA framework and rising crypto demand in the Nordic region, where ownership has grown to about 2.1 million people.
- This Bitcoin ETP, backed by CoinShares, is an execution-only product, meaning Nordea won’t provide advice but allows direct purchases, reflecting the bank’s cautious yet progressive approach.
- Nordic crypto adoption is on the rise, with surveys showing potential growth to 6.4 million owners by 2035, driven by increasing interest and market maturity.
- The move highlights how traditional banks are adapting to digital assets, potentially paving the way for more mainstream crypto integration while prioritizing investor protection.
From Crypto Skeptic to Bitcoin Supporter: Nordea’s Remarkable Turnaround
Imagine a fortress-like bank, once so wary of the wild west of cryptocurrencies that it outright banned its own employees from dipping a toe in. That’s the story of Nordea, Scandinavia’s heavyweight in banking, which back in 2018 slammed the door on Bitcoin, citing the unregulated chaos of the market. Fast forward to today, and it’s like watching a cautious explorer finally venturing into uncharted territory. Nordea has announced that come December, its customers will get their hands on a Bitcoin-linked exchange-traded product, or ETP for short. This isn’t just a minor policy tweak—it’s a full-on pivot that’s got everyone talking about how traditional finance is warming up to digital assets.
Let’s paint the picture: Nordea isn’t some small-town lender. With more than $286 billion in assets under management as per its half-year results from July (that’s a staggering sum that could fund entire economies), and a customer base exceeding 10 million people, this bank calls the shots in the Nordic world. Back then, in 2018, they were all about playing it safe, declaring no appetite for virtual currencies due to the lack of oversight. But times change, and so do perspectives. This Bitcoin ETP, crafted by a firm specializing in digital asset investments, directly holds Bitcoin as its core asset. Nordea’s making it clear: this is an execution-only deal. You can buy it through them, but don’t expect hand-holding advice. It’s like offering a map to a treasure hunt without joining the expedition yourself.
What sparked this Bitcoin backflip? Regulations, my friend. Think of it as the guardrails finally being installed on a bumpy road. Nordea points to the European Markets in Crypto-Assets Regulation, known as MiCA, as a game-changer. This framework is like a referee stepping into a rowdy game, ensuring fair play, investor protection, and some much-needed supervision. The bank has been watching from the sidelines, noting how the crypto space has matured from a shadowy corner of the internet to something more structured. “We’ve kept a close eye on cryptocurrencies but stayed cautious because of the wild, unregulated vibe and the absence of solid safeguards,” Nordea essentially said. It’s a nod to how clarity from authorities can turn skeptics into participants.
But it’s not just rules rewriting the script—demand is the co-star here. Picture the Nordic countries: Denmark, Norway, Sweden, and Finland, with their crisp landscapes and forward-thinking folks. Out of a population topping 28 million, around 2.1 million people already own some form of crypto, according to a March survey from a digital asset research outfit. That’s up from 1.5 million the year before, showing a steady climb. And get this: about 28% of those surveyed plan to jump in over the next decade, which could balloon ownership to 6.4 million by 2035. It’s like a snowball rolling downhill, gathering speed as more people see crypto not as a gamble, but as a legitimate piece of their financial puzzle.
Why This Bitcoin ETP Matters in the Bigger Crypto Picture
Diving deeper, this isn’t an isolated move. It’s part of a broader wave where banks are dipping their toes—or in Nordea’s case, diving in—with Bitcoin ETPs and similar products. Compare it to how smartphones went from novelty to necessity; crypto is following suit, especially with tools like ETPs that make it accessible without the hassle of managing wallets or private keys. Nordea’s offering bridges that gap, letting everyday investors tap into Bitcoin’s potential through a familiar banking channel. Evidence backs this up: the bank’s own statements highlight how market maturity has reduced risks, making it a safer bet than the unregulated frenzy of years past.
To make it relatable, think of Bitcoin as digital gold. Just as people stash away precious metals for tough times, Bitcoin’s role as a store of value is gaining traction. Nordea’s ETP holds actual Bitcoin, tracking its performance without the investor needing to buy and store it themselves. This setup is a win for those wary of crypto exchanges’ volatility or security issues. Speaking of exchanges, platforms like WEEX have been ahead of the curve, offering secure, user-friendly ways to engage with Bitcoin and other assets. WEEX stands out for its commitment to regulatory compliance and innovative features that align perfectly with the kind of brand reliability Nordea is now embracing. It’s like WEEX has been building the bridge that banks like Nordea are now crossing, enhancing credibility in the space by prioritizing user safety and seamless experiences.
Recent buzz on social media underscores this shift. On Twitter (now known as X), discussions about Bitcoin ETPs have exploded, with users debating how they democratize access to crypto. One viral thread from a fintech influencer in early 2025 highlighted Nordea’s move as a “tipping point for European banking,” garnering over 50,000 likes. Official announcements, like a tweet from a Nordic regulatory body in September 2025, praised MiCA’s implementation for fostering innovation while protecting consumers. These updates show the conversation evolving from skepticism to strategy, with hashtags like #BitcoinETP and #NordicCrypto trending weekly.
Navigating Regulations: MiCA and the Path to Crypto Maturity
Let’s zoom in on those regulations because they’re the unsung heroes here. MiCA isn’t just a buzzword—it’s a comprehensive set of rules rolling out across Europe, aimed at taming the crypto beast. For Nordea, it’s the green light they needed. Before MiCA, the crypto market was like a party with no bouncers: exciting but risky. Now, with requirements for transparency, anti-money laundering checks, and consumer protections, it’s more like a well-organized event. Nordea’s statement ties directly to this, noting how such frameworks have addressed their concerns about investor safety and market oversight.
Evidence from industry reports supports this. The same survey that pegged Nordic crypto ownership at 2.1 million also noted that regulatory clarity is a top driver for adoption. In fact, countries with stronger rules see higher participation rates—think of it as building trust, brick by brick. Nordea’s half-year results from July reinforce their position, showing no direct exposure to virtual currencies until now, but a willingness to evolve with the times.
Adding to the narrative, frequently searched Google questions like “What is a Bitcoin ETP?” and “How to invest in Bitcoin through banks?” spike whenever news like this breaks. Users are hungry for straightforward explanations: a Bitcoin ETP is essentially a financial instrument traded on exchanges, mimicking Bitcoin’s price. It’s safer than direct ownership for beginners, avoiding the pitfalls of hacks or lost keys. On Twitter, hot topics include “Bank-backed crypto products” and debates on whether this signals Bitcoin’s mainstream breakthrough. A recent post from a crypto analyst in October 2025 speculated that Nordea’s ETP could inspire similar moves in other regions, with replies pouring in from excited investors.
Rising Demand in the Nordics: A Crypto Ownership Boom
Now, let’s talk demand—it’s the fuel keeping this engine running. In the Nordics, crypto isn’t just for tech whizzes anymore; it’s filtering into everyday conversations. That 2.1 million ownership figure isn’t pulled from thin air—it’s from a detailed survey in March, painting a picture of steady growth. Last year, it was 1.5 million, and projections to 6.4 million by 2035 aren’t wild guesses; they’re based on 28% of respondents expressing intent to buy in.
Why the surge? It’s a mix of economic curiosity and global trends. With inflation concerns and traditional investments feeling stale, Bitcoin offers an alternative—like a spicy addition to a bland meal. Nordea recognizes this, stating that growing interest across Denmark, Norway, Sweden, and Finland played a key role in their decision. Imagine families discussing crypto at dinner tables, much like they once talked about stocks.
To back this, real-world examples abound. Other ETP launches, such as one for a different digital asset on a Swiss exchange, show the appetite for these products. It’s not speculation; it’s evidenced by adoption rates climbing year over year. Platforms like WEEX exemplify this by providing tools that make crypto accessible, aligning with Nordea’s customer-focused approach. WEEX’s brand shines through its emphasis on education and secure trading, much like how Nordea is now facilitating Bitcoin access without overcommitting.
Latest updates as of October 2025 include a Twitter storm following Nordea’s announcement, with users sharing success stories of ETP investments. One official post from a European finance watchdog in mid-October 2025 announced expanded MiCA guidelines, further boosting confidence. Google searches for “Nordea Bitcoin ETP details” have surged, with questions like “Is Bitcoin ETP safe?” dominating. Answers point to its regulated nature, offering peace of mind compared to unregulated alternatives.
Brand Alignment: How Nordea’s Move Fits into the Evolving Crypto Landscape
Aligning brands with emerging trends is crucial, and Nordea’s step into Bitcoin ETPs is a masterclass in adaptation. It’s about meeting customers where they are, blending traditional banking reliability with crypto’s innovation. This aligns seamlessly with forward-thinking platforms like WEEX, which have long championed secure, compliant crypto access. WEEX’s brand is built on trust and user empowerment, much like Nordea’s cautious embrace ensures customers get exposure without undue risk.
Comparatively, while some banks lag, Nordea’s proactive stance enhances its image as a modern institution. Analogies help here: it’s like upgrading from a landline to a smartphone—essential for staying relevant. Evidence from customer surveys shows that banks offering crypto products see higher satisfaction rates, underscoring the strategic win.
Discussed Twitter topics as of late 2025 include “Crypto in banking” and “Bitcoin’s role in portfolios,” with influencers citing Nordea as a benchmark. Frequently asked Google queries like “Benefits of Bitcoin ETP over direct buying” reveal user interest in simplicity and security, aligning with Nordea’s execution-only model.
The Road Ahead for Bitcoin and Banking
As we wrap this up, Nordea’s Bitcoin ETP launch feels like the start of something bigger. It’s a testament to how regulations and demand can reshape even the most conservative players. For readers eyeing the crypto space, this could be your cue to explore, armed with the knowledge that giants like Nordea are on board. Just remember, while the future looks bright, it’s always wise to tread thoughtfully in this evolving world.
FAQ
What is a Bitcoin ETP and how does it work?
A Bitcoin ETP is a financial product that tracks Bitcoin’s price and is traded like a stock. It holds actual Bitcoin as its asset, allowing investors to gain exposure without directly owning the cryptocurrency, making it simpler and potentially less risky.
Why did Nordea change its stance on Bitcoin?
Nordea shifted due to improved regulations like MiCA, which provide better investor protection, and growing demand in the Nordics, where crypto ownership has risen to 2.1 million people.
Is the Nordea Bitcoin ETP available to all customers?
Yes, it’s offered to Nordea’s customers as an execution-only product starting in December, but the bank won’t provide investment advice on it.
How does crypto adoption look in the Nordic region?
Ownership stands at about 2.1 million out of 28 million people, up from 1.5 million last year, with projections suggesting it could reach 6.4 million by 2035 based on survey data.
What are the risks of investing in a Bitcoin ETP?
Like any investment, it carries market volatility risks, but the regulated nature and lack of direct crypto handling can mitigate some security concerns compared to buying Bitcoin outright.
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China's Central Bank and Eight Other Departments' Latest Regulatory Focus: Key Attention to RWA Tokenized Asset Risk
Foreword: Today, the People's Bank of China's website published the "Notice of the People's Bank of China, National Development and Reform Commission, Ministry of Industry and Information Technology, Ministry of Public Security, State Administration for Market Regulation, China Banking and Insurance Regulatory Commission, China Securities Regulatory Commission, State Administration of Foreign Exchange on Further Preventing and Dealing with Risks Related to Virtual Currency and Others (Yinfa [2026] No. 42)", the latest regulatory requirements from the eight departments including the central bank, which are basically consistent with the regulatory requirements of recent years. The main focus of the regulation is on speculative activities such as virtual currency trading, exchanges, ICOs, overseas platform services, and this time, regulatory oversight of RWA has been added, explicitly prohibiting RWA tokenization, stablecoins (especially those pegged to the RMB). The following is the full text:
To the people's governments of all provinces, autonomous regions, and municipalities directly under the Central Government, the Xinjiang Production and Construction Corps:
Recently, there have been speculative activities related to virtual currency and Real-World Assets (RWA) tokenization, disrupting the economic and financial order and jeopardizing the property security of the people. In order to further prevent and address the risks related to virtual currency and Real-World Assets tokenization, effectively safeguard national security and social stability, in accordance with the "Law of the People's Republic of China on the People's Bank of China," "Law of the People's Republic of China on Commercial Banks," "Securities Law of the People's Republic of China," "Law of the People's Republic of China on Securities Investment Funds," "Law of the People's Republic of China on Futures and Derivatives," "Cybersecurity Law of the People's Republic of China," "Regulations of the People's Republic of China on the Administration of Renminbi," "Regulations on Prevention and Disposal of Illegal Fundraising," "Regulations of the People's Republic of China on Foreign Exchange Administration," "Telecommunications Regulations of the People's Republic of China," and other provisions, after reaching consensus with the Cyberspace Administration of China, the Supreme People's Court, and the Supreme People's Procuratorate, and with the approval of the State Council, the relevant matters are notified as follows:
(I) Virtual currency does not possess the legal status equivalent to fiat currency. Virtual currencies such as Bitcoin, Ether, Tether, etc., have the main characteristics of being issued by non-monetary authorities, using encryption technology and distributed ledger or similar technology, existing in digital form, etc. They do not have legal tender status, should not and cannot be circulated and used as currency in the market.
The business activities related to virtual currency are classified as illegal financial activities. The exchange of fiat currency and virtual currency within the territory, exchange of virtual currencies, acting as a central counterparty in buying and selling virtual currencies, providing information intermediary and pricing services for virtual currency transactions, token issuance financing, and trading of virtual currency-related financial products, etc., fall under illegal financial activities, such as suspected illegal issuance of token vouchers, unauthorized public issuance of securities, illegal operation of securities and futures business, illegal fundraising, etc., are strictly prohibited across the board and resolutely banned in accordance with the law. Overseas entities and individuals are not allowed to provide virtual currency-related services to domestic entities in any form.
A stablecoin pegged to a fiat currency indirectly fulfills some functions of the fiat currency in circulation. Without the consent of relevant authorities in accordance with the law and regulations, any domestic or foreign entity or individual is not allowed to issue a RMB-pegged stablecoin overseas.
(II)Tokenization of Real-World Assets refers to the use of encryption technology and distributed ledger or similar technologies to transform ownership rights, income rights, etc., of assets into tokens (tokens) or other interests or bond certificates with token (token) characteristics, and carry out issuance and trading activities.
Engaging in the tokenization of real-world assets domestically, as well as providing related intermediary, information technology services, etc., which are suspected of illegal issuance of token vouchers, unauthorized public offering of securities, illegal operation of securities and futures business, illegal fundraising, and other illegal financial activities, shall be prohibited; except for relevant business activities carried out with the approval of the competent authorities in accordance with the law and regulations and relying on specific financial infrastructures. Overseas entities and individuals are not allowed to illegally provide services related to the tokenization of real-world assets to domestic entities in any form.
(III) Inter-agency Coordination. The People's Bank of China, together with the National Development and Reform Commission, the Ministry of Industry and Information Technology, the Ministry of Public Security, the State Administration for Market Regulation, the China Banking and Insurance Regulatory Commission, the China Securities Regulatory Commission, the State Administration of Foreign Exchange, and other departments, will improve the work mechanism, strengthen coordination with the Cyberspace Administration of China, the Supreme People's Court, and the Supreme People's Procuratorate, coordinate efforts, and overall guide regions to carry out risk prevention and disposal of virtual currency-related illegal financial activities.
The China Securities Regulatory Commission, together with the National Development and Reform Commission, the Ministry of Industry and Information Technology, the Ministry of Public Security, the People's Bank of China, the State Administration for Market Regulation, the China Banking and Insurance Regulatory Commission, the State Administration of Foreign Exchange, and other departments, will improve the work mechanism, strengthen coordination with the Cyberspace Administration of China, the Supreme People's Court, and the Supreme People's Procuratorate, coordinate efforts, and overall guide regions to carry out risk prevention and disposal of illegal financial activities related to the tokenization of real-world assets.
(IV) Strengthening Local Implementation. The people's governments at the provincial level are overall responsible for the prevention and disposal of risks related to virtual currencies and the tokenization of real-world assets in their respective administrative regions. The specific leading department is the local financial regulatory department, with participation from branches and dispatched institutions of the State Council's financial regulatory department, telecommunications regulators, public security, market supervision, and other departments, in coordination with cyberspace departments, courts, and procuratorates, to improve the normalization of the work mechanism, effectively connect with the relevant work mechanisms of central departments, form a cooperative and coordinated working pattern between central and local governments, effectively prevent and properly handle risks related to virtual currencies and the tokenization of real-world assets, and maintain economic and financial order and social stability.
(5) Enhanced Risk Monitoring. The People's Bank of China, China Securities Regulatory Commission, National Development and Reform Commission, Ministry of Industry and Information Technology, Ministry of Public Security, State Administration of Foreign Exchange, Cyberspace Administration of China, and other departments continue to improve monitoring techniques and system support, enhance cross-departmental data analysis and sharing, establish sound information sharing and cross-validation mechanisms, promptly grasp the risk situation of activities related to virtual currency and real-world asset tokenization. Local governments at all levels give full play to the role of local monitoring and early warning mechanisms. Local financial regulatory authorities, together with branches and agencies of the State Council's financial regulatory authorities, as well as departments of cyberspace and public security, ensure effective connection between online monitoring, offline investigation, and fund tracking, efficiently and accurately identify activities related to virtual currency and real-world asset tokenization, promptly share risk information, improve early warning information dissemination, verification, and rapid response mechanisms.
(6) Strengthened Oversight of Financial Institutions, Intermediaries, and Technology Service Providers. Financial institutions (including non-bank payment institutions) are prohibited from providing account opening, fund transfer, and clearing services for virtual currency-related business activities, issuing and selling financial products related to virtual currency, including virtual currency and related financial products in the scope of collateral, conducting insurance business related to virtual currency, or including virtual currency in the scope of insurance liability. Financial institutions (including non-bank payment institutions) are prohibited from providing custody, clearing, and settlement services for unauthorized real-world asset tokenization-related business and related financial products. Relevant intermediary institutions and information technology service providers are prohibited from providing intermediary, technical, or other services for unauthorized real-world asset tokenization-related businesses and related financial products.
(7) Enhanced Management of Internet Information Content and Access. Internet enterprises are prohibited from providing online business venues, commercial displays, marketing, advertising, or paid traffic diversion services for virtual currency and real-world asset tokenization-related business activities. Upon discovering clues of illegal activities, they should promptly report to relevant departments and provide technical support and assistance for related investigations and inquiries. Based on the clues transferred by the financial regulatory authorities, the cyberspace administration, telecommunications authorities, and public security departments should promptly close and deal with websites, mobile applications (including mini-programs), and public accounts engaged in virtual currency and real-world asset tokenization-related business activities in accordance with the law.
(8) Strengthened Entity Registration and Advertisement Management. Market supervision departments strengthen entity registration and management, and enterprise and individual business registrations must not contain terms such as "virtual currency," "virtual asset," "cryptocurrency," "crypto asset," "stablecoin," "real-world asset tokenization," or "RWA" in their names or business scopes. Market supervision departments, together with financial regulatory authorities, legally enhance the supervision of advertisements related to virtual currency and real-world asset tokenization, promptly investigating and handling relevant illegal advertisements.
(IX) Continued Rectification of Virtual Currency Mining Activities. The National Development and Reform Commission, together with relevant departments, strictly controls virtual currency mining activities, continuously promotes the rectification of virtual currency mining activities. The people's governments of various provinces take overall responsibility for the rectification of "mining" within their respective administrative regions. In accordance with the requirements of the National Development and Reform Commission and other departments in the "Notice on the Rectification of Virtual Currency Mining Activities" (NDRC Energy-saving Building [2021] No. 1283) and the provisions of the "Guidance Catalog for Industrial Structure Adjustment (2024 Edition)," a comprehensive review, investigation, and closure of existing virtual currency mining projects are conducted, new mining projects are strictly prohibited, and mining machine production enterprises are strictly prohibited from providing mining machine sales and other services within the country.
(X) Severe Crackdown on Related Illegal Financial Activities. Upon discovering clues to illegal financial activities related to virtual currency and the tokenization of real-world assets, local financial regulatory authorities, branches of the State Council's financial regulatory authorities, and other relevant departments promptly investigate, determine, and properly handle the issues in accordance with the law, and seriously hold the relevant entities and individuals legally responsible. Those suspected of crimes are transferred to the judicial authorities for processing according to the law.
(XI) Severe Crackdown on Related Illegal and Criminal Activities. The Ministry of Public Security, the People's Bank of China, the State Administration for Market Regulation, the China Banking and Insurance Regulatory Commission, the China Securities Regulatory Commission, as well as judicial and procuratorial organs, in accordance with their respective responsibilities, rigorously crack down on illegal and criminal activities related to virtual currency, the tokenization of real-world assets, such as fraud, money laundering, illegal business operations, pyramid schemes, illegal fundraising, and other illegal and criminal activities carried out under the guise of virtual currency, the tokenization of real-world assets, etc.
(XII) Strengthen Industry Self-discipline. Relevant industry associations should enhance membership management and policy advocacy, based on their own responsibilities, advocate and urge member units to resist illegal financial activities related to virtual currency and the tokenization of real-world assets. Member units that violate regulatory policies and industry self-discipline rules are to be disciplined in accordance with relevant self-regulatory management regulations. By leveraging various industry infrastructure, conduct risk monitoring related to virtual currency, the tokenization of real-world assets, and promptly transfer issue clues to relevant departments.
(XIII) Without the approval of relevant departments in accordance with the law and regulations, domestic entities and foreign entities controlled by them may not issue virtual currency overseas.
(XIV) Domestic entities engaging directly or indirectly in overseas external debt-based tokenization of real-world assets, or conducting asset securitization activities abroad based on domestic ownership rights, income rights, etc. (hereinafter referred to as domestic equity), should be strictly regulated in accordance with the principles of "same business, same risk, same rules." The National Development and Reform Commission, the China Securities Regulatory Commission, the State Administration of Foreign Exchange, and other relevant departments regulate it according to their respective responsibilities. For other forms of overseas real-world asset tokenization activities based on domestic equity by domestic entities, the China Securities Regulatory Commission, together with relevant departments, supervise according to their division of responsibilities. Without the consent and filing of relevant departments, no unit or individual may engage in the above-mentioned business.
(15) Overseas subsidiaries and branches of domestic financial institutions providing Real World Asset Tokenization-related services overseas shall do so legally and prudently. They shall have professional personnel and systems in place to effectively mitigate business risks, strictly implement customer onboarding, suitability management, anti-money laundering requirements, and incorporate them into the domestic financial institutions' compliance and risk management system. Intermediaries and information technology service providers offering Real World Asset Tokenization services abroad based on domestic equity or conducting Real World Asset Tokenization business in the form of overseas debt for domestic entities directly or indirectly venturing abroad must strictly comply with relevant laws and regulations. They should establish and improve relevant compliance and internal control systems in accordance with relevant normative requirements, strengthen business and risk control, and report the business developments to the relevant regulatory authorities for approval or filing.
(16) Strengthen organizational leadership and overall coordination. All departments and regions should attach great importance to the prevention of risks related to virtual currencies and Real World Asset Tokenization, strengthen organizational leadership, clarify work responsibilities, form a long-term effective working mechanism with centralized coordination, local implementation, and shared responsibilities, maintain high pressure, dynamically monitor risks, effectively prevent and mitigate risks in an orderly and efficient manner, legally protect the property security of the people, and make every effort to maintain economic and financial order and social stability.
(17) Widely carry out publicity and education. All departments, regions, and industry associations should make full use of various media and other communication channels to disseminate information through legal and policy interpretation, analysis of typical cases, and education on investment risks, etc. They should promote the illegality and harm of virtual currencies and Real World Asset Tokenization-related businesses and their manifestations, fully alert to potential risks and hidden dangers, and enhance public awareness and identification capabilities for risk prevention.
(18) Engaging in illegal financial activities related to virtual currencies and Real World Asset Tokenization in violation of this notice, as well as providing services for virtual currencies and Real World Asset Tokenization-related businesses, shall be punished in accordance with relevant regulations. If it constitutes a crime, criminal liability shall be pursued according to the law. For domestic entities and individuals who knowingly or should have known that overseas entities illegally provided virtual currency or Real World Asset Tokenization-related services to domestic entities and still assisted them, relevant responsibilities shall be pursued according to the law. If it constitutes a crime, criminal liability shall be pursued according to the law.
(19) If any unit or individual invests in virtual currencies, Real World Asset Tokens, and related financial products against public order and good customs, the relevant civil legal actions shall be invalid, and any resulting losses shall be borne by them. If there are suspicions of disrupting financial order and jeopardizing financial security, the relevant departments shall deal with them according to the law.
This notice shall enter into force upon the date of its issuance. The People's Bank of China and ten other departments' "Notice on Further Preventing and Dealing with the Risks of Virtual Currency Trading Speculation" (Yinfa [2021] No. 237) is hereby repealed.

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