The European Banking Authority (EBA) has published its draft standards on what defines a "significant" stablecoin under the Markets in Crypto-Assets (MiCA) regulation, explaining the roles of supervisory colleges, custodians, trading platforms and other entities.
Published last week, the draft standards are under consultation until February 8, 2024 and are set to come into force on June 30, 2024.
The standards will apply both to stablecoins, referred to as asset-referenced tokens (ARTs) by the EBA, and e-money tokens (EMTs), which are also within the scope of MiCA.
础蝉听 by the EBA, a stablecoin or EMT will be classed as 鈥渟ignificant鈥 if one of the following two criteria are met:
- The stablecoin or EMT is held by at least 20 percent of the population of a single member state on a single day.
- The stablecoin or EMT is used in 1.25m or 鈧250m of transactions in a single member state on a single day.
If a stablecoin or EMT meets either of these criteria, the EBA is required to establish a supervisory college to oversee its issuer within 30 calendar days.
The making of a college
The role of supervisory colleges under MiCA is to facilitate EBA oversight and to ensure cooperation and exchange of information between relevant agencies.
The supervisory colleges will be made up of competent authorities involved in the supervision of the 鈥渕ost relevant鈥 entities that are connected to a 鈥渟ignificant鈥 stablecoin or EMT operation.
These 鈥渕ost relevant鈥 entities are likely to be a mixture of custodians of reserve assets, payment service providers (PSPs) and trading platforms, including crypto-asset service providers (CASPs).
Under MiCA, a distinction is made between firms that issue a 鈥渟ignificant鈥 stablecoin, e-money institutions (EMIs) that issue a 鈥渟ignificant鈥 EMT, and credit institutions that issue a 鈥渟ignificant鈥 EMT.
This is because the first two of these are subject to reserve asset custody rules to which the third is not.
The first two must ensure that reserve assets are held by either credit institutions, investment firms or crypto-asset service providers (CASPs), whereas these rules do not apply to credit institutions that issue EMTs.
Custodians
For stablecoin issuers and EMIs that issue 鈥渟ignificant鈥 EMTs, the 鈥渕ost relevant鈥 custodians will be the three entities that hold the highest value of reserve assets.
However, for credit institutions that issue EMTs, the 鈥渕ost relevant鈥 entities will be the three entities that hold in custody the highest percentage of funds received in exchange for the EMT.
On both counts, the lookback period will begin on the day the stablecoin or EMT is determined to be 鈥渟ignificant鈥.
The EBA notes that there may be cases where there are less than three 鈥渕ost relevant鈥 custodians, and this can be reflected in the make-up of the supervisory college.
For example, if custody of reserve assets is concentrated in less than three entities, the EBA may reduce the total size of the supervisory college.
鈥淭his proposal aims at striking a suitable balance between ensuring an appropriate representation in colleges of relevant competent authorities and the need to ensure an effective functioning of colleges,鈥 said the EBA.
It also 鈥渢akes into account that an excessive number of members of the college could pose practical challenges for its effective functioning鈥.
Trading platforms
The three trading platforms where the 鈥渟ignificant鈥 stablecoin or EMT has had the highest number of average transactions per day can also be classed as 鈥渕ost relevant鈥 entities.
As can the three trading platforms where the 鈥渟ignificant鈥 stablecoin or EMT has had the highest aggregated value of transactions per day.
Once again, the EBA may invite the competent authorities of less than three of these entities, should it determine that only one or two are truly significant to the stablecoin or EMT.
For the purpose of the technical standards, a 鈥渢ransaction鈥 is defined as change in the legal person entitled to the stablecoin or EMT as a result of a transfer from one address to another, whether on-chain or off-chain.
PSPs
Similarly, the three PSPs that have executed the highest number of average transactions per day using a 鈥渟ignificant鈥 EMT can be classed as 鈥渕ost relevant鈥 entities.
As can the three PSPs that have executed the highest average aggregate value of 鈥渟ignificant鈥 EMT transactions per day.
The EBA notes that CASPs involved in the transfer of EMTs may 鈥渇all under the definition of payment services鈥 according to the revised Payment Services Directive (PSD2).
In such cases, those transfers should be provided by an entity authorised to provide such payment services in accordance with PSD2.
CASPs
A final category of 鈥渕ost relevant鈥 entities whose competent authority may be included in a supervisory college are CASPs that provide custody and administration services on behalf of clients.
These could include the three CASPs that have executed the highest average number of transactions per day or the highest aggregated value per day using a 鈥渟ignificant鈥 stablecoin or EMT.
Other draft regulatory technical standards
Over the past week, the EBA has published five separate consultations on draft regulatory technical standards for firms involved in stablecoin and EMT activities under MiCA.
These consultations, which 91天堂原創 will explore in future articles, cover topics such as聽,听,听 补苍诲听 for non-EU currency stablecoins and EMTs.


