Srcboebzx2018040 4152607 172036
Srcboebzx2018040 4152607 172036
Srcboebzx2018040 4152607 172036
SUBJECT: Meeting with Van Eck Securities Corporation, SolidX Management LLC, and
Cboe BZX Exchange, Inc.
__________________________________________________________________________
On July 31, 2018, Brett Redfearn, Andrea Orr, David Shillman, Michael Coe, Edward Cho,
Michou Nguyen, Lauren Yates, Alexander Zozos, and David Remus (by phone) from the
Division of Trading and Markets; William Hinman, Valerie Szczepanik (by phone), Amy Starr
(by phone), Charles Garrison, and Michael Seaman from the Division of Corporation Finance;
and Igor Kozhanov from the Division of Economic and Risk Analysis, met with the following
individuals:
The discussion concerned Cboe BZX Exchange, Inc.’s proposed rule change to list and trade,
pursuant to BZX Rule 14.11(e)(4), shares of SolidX Bitcoin Shares issued by the VanEck SolidX
Bitcoin Trust. SolidX Management LLC also provided the attached presentation to the
Commission Staff.
VanEck SolidX Bitcoin Trust
Presentation for SEC Staff
July 2018
PRESENTATION OUTLINE
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COMMISSION DETERMINED IN MARCH 2017 THE PROPOSED RULE
CHANGE WAS NOT CONSISTENT WITH SECTION 6(b)(5) OF THE
SECURITIES EXCHANGE ACT
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COMMISSION DETERMINED THE PROPOSED RULE CHANGE WAS NOT
CONSISTENT WITH SECTION 6(b)(5) (CONT’D)
“The Commission notes that bitcoin is still in the relatively early stages of
its development and that, over time, regulated bitcoin-related markets of
significant size may develop. Should such markets develop, the
Commission could consider whether a bitcoin ETP would, based on the
facts and circumstances then presented, be consistent with the
requirements of the Exchange Act”
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PRESENTATION OUTLINE
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CHANGE 1 – MARKET STRUCTURE: MULTIPLE DERIVATIVES MARKETS
NOW EXIST FOR BITCOIN
Derivatives markets:
All of the above are markets regulated by the CFTC and all are cleared
products
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CHANGE 2 – PRODUCT PRICING
• OTC desk prices are not subject to manipulation in the absence of misconduct
by the trading desks themselves
• Constituent OTC index platforms will enter into information sharing agreements
with Cboe
• OTC desks trade with institutional and sophisticated investors and follow AML,
KYC and BSA regulations, among others
• Trades in OTC market are principal-to-principal, desks and trades are
identifiable and accountable to regulators
• CFTC has jurisdiction over OTC bitcoin trading
Section 2(c)(2)(D) of the CEA grants the CFTC oversight authority over
any transaction in a commodity (including virtual currencies) that is
entered into with or offered to a person who is not an eligible contract
participant or eligible commercial entity (a “retail customer”)
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CHANGE 3 – MARKET STRUCTURE: PROLIFERATION OF INFORMATION
SHARING AGREEMENTS THAT WERE NOT IN PLACE IN MARCH 2017
• ISAs will be established between OTC bitcoin trading desks and Cboe
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CHANGE 4 – PRODUCT STRUCUTURE: OVERTLY NOT FOR RETAIL
Outside of the context of the disapproval notice from March 2017, the
SEC has indicated concerns regarding bitcoin ETFs and retail investors
To address those concerns, the initial share price will be set at a level
designed to ensure that only institutional and “non-retail” investors will be
able to purchase shares
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PRESENTATION OUTLINE
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SECTION 6(b)(5) OF THE SECURITIES EXCHANGE ACT PROVIDES THE
CRITERIA FOR APPROVAL
The Trust provides investors with the virtues of the above criteria in a
manner not offered by direct investment in bitcoin
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DIRECT INVESTMENT IN BITCOIN CREATES RISKS FOR INVESTORS
All of the above run counter to the letter and the spirit of Section 6(b)(5)
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LANDSCAPE OF EXISTING VEHICLES DOES NOT PROVIDE INVESTORS
WITH SUFFICIENT PROTECTION
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BITCOIN IS UNLIKE ANY OTHER DIGITAL ASSET AND VANECK SOLIDX
BITCOIN TRUST IS STRUCTURED METICULOUSLY TO ADDRESS THE
SEC’S CONCERNS
• Deemed commodity by CFTC, no ambiguity • Cash and in-kind creations and redemptions
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PRESENTATION OUTLINE
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STAFF LETTER ISSUE NO. 1 – POTENTIAL PRICE MANIPULATION
OTC prices are not subject to the concerns respecting price manipulation
discussed in the disapproval notice
OTC desks are either regulated or affiliates of regulated entities and subject
to CFTC jurisdiction
The Trust expects to conduct its bitcoin trading in the OTC market and has
identified the OTC market as its principal market for bitcoin for fund
accounting purposes
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STAFF LETTER ISSUE NO. 1 (Cont’d)
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STAFF LETTER ISSUE NO. 2 – PRICING AND NAV
OTC desks follow AML, KYC and BSA regulations, among others
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STAFF LETTER ISSUE NO. 3 – LIQUIDITY
Daily USD bitcoin trading volume across major exchanges (those that
follow AML, KYC, BSA, etc.) is approximately $1 billion (0.8% of
monetary base)
ETF required to have market price that would not deviate materially
from NAV
Assuming $1 billion AUM for the ETF, there exists sufficient liquidity to meet
redemption orders, even assuming an unprecedented 10% daily redemption
“an illiquid investment means any investment that the fund reasonably expects
cannot be sold or disposed of in current market conditions in seven calendar days or
less without the sale or disposition significantly changing the market value of the
investment”
Trust has already entered into AP agreements with several large institutions
There exist many established market makers that have expressed an interest in
making markets in the ETF
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STAFF LETTER ISSUE NO. 5 – CUSTODY
The only way to ensure investors are shielded from operational risk is to provide
insurance against loss or theft of bitcoin
Insurance eliminates regulatory barriers and counterparty risk barriers that otherwise
would prevent institutional participation
Assembled over the course of several years, the Trust has bound $125,000,000 of
insurance capacity from a syndicate of A-rated underwriters and arranged to scale
coverage with goal to maintain insurance at a one-to-one ratio with bitcoin holdings
Independent auditor and underwriters can and will validate the Trust’s bitcoin holdings
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ABOUT VANECK
VanEck offers investors forward-looking, intelligently designed investment strategies that
take advantage of targeted market opportunities. Founded in 1955, the firm is a pioneer
in global investing with a history of placing clients’ interests first in all market
environments. VanEck Vectors exchange-traded products are one of the largest ETP
families in the world, managing more than 70 funds with approximately $46 billion in
assets under management, including mutual funds, ETFs, and institutional accounts
Jan Van Eck is CEO and Director of Van Eck Associates Corporation, Director and
President, Van Eck Securities Corporation, Director and President, Van Eck
Absolute Return Advisers Corporation, and President, and Chief Executive Officer
and Trustee, VanEck Vectors ETF Trust. Since joining VanEck in 1992, Jan has
created a variety of international, emerging markets and commodity-related
investment strategies in mutual fund, ETF, and alternative investment formats. Jan
received his JD from Stanford University and holds a BA in Economics from
Williams College
Adam Phillips is Chief Operating Officer of VanEck Vectors ETFs. Prior to joining
VanEck, Adam was the Founder and Managing Member of LB Trading, LLC, a
proprietary ETF trading firm on the American Stock Exchange and Junior General
Partner and Management Committee Member at Orbit II Partners, L.P., a
proprietary trading firm specializing in equity options, index options and ETF market
making. Adam holds a BA in Economics and American Civilization from Lafayette
College
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ABOUT SOLIDX
SolidX is a financial technology company founded in 2014 and based in New York
City. It develops cryptography products and services with a focus on software
applications and capital markets. The SolidX team has been involved with the
bitcoin ecosystem since 2011 and with the financial markets since the early 2000s
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