Hogan Lovells 2024 Election Impact and Congressional Outlook Report
15 November 2024
The U.S. Department of Commerce is seeking comments from the public to inform its development of a framework for enhancing U.S. competitiveness in and leveraging digital asset technologies. This framework is mandated by the Biden Administration’s March 9, 2022 Executive Order, “Ensuring Responsible Development of Digital Assets,” and provides a unique opportunity for industry to provide input to the framework that Commerce is developing in collaboration with other U.S. federal agencies.
The U.S. Department of Commerce (”Commerce”) has issued a notice and request for comment on developing a framework for leveraging and enhancing U.S. competitiveness in digital asset technologies (which include cryptocurrencies, stablecoins, and central bank digital currencies, among others) as mandated by the Biden Administration’s March 9, 2022 Executive Order. The Executive Order directs the Secretary of Commerce, in consultation with the Secretary of State, the Secretary of the Treasury, and heads of other relevant agencies to establish a framework that will complement U.S. engagement in international fora, such as the Group of 7, Group of 20, the Financial Action Task Force and the Financial Stability Board, to elevate the importance of responsible development of digital asset technologies. The Executive Order instructs that Commerce release the framework by September 5, 2022.
The notice seeks comment from industry on matters relevant to the Commerce’s development of the framework and invites responses to seventeen (17) specific questions, including the following examples:
Comments are due to Commerce by July 5, 2022.
This is a unique opportunity for our clients to comment on and shape the U.S. Government’s approach to promoting and regulating digital asset technologies, such as crypto and virtual currencies, stablecoins, and central bank digital currencies. Hogan Lovells would be pleased to assist you with participating in this comment process by leveraging our extensive and cross-border knowledge and experience with digital asset technologies and the agencies involved in contributing to this and other frameworks called for by the Executive Order.
Authored by Elizabeth Boison and Patrick de Laperouse.