Comment Letter: NFT Taxation – Notice 2023-27
CCI offers recommendations in response to the IRS on non-fungible token taxation and Notice 2023-29.
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CCI offers recommendations in response to the IRS on non-fungible token taxation and Notice 2023-29.
In its recent Re-Proposal, the SEC attempts to inappropriately bring crypto and DeFi trading systems under its remit.
CCI appreciates the opportunity to comment on the SEC proposal to adopt Rule 223-1
The UK's innovative and outcomes-focused approach to regulating financial services has created a framework capable of evolving with products.
The Proposed Rule puts the proverbial “cart before the horse” and fails to provide a sufficient economic analysis, required under...
CCI provided comments on the New York Department of Financial Services’ proposed rulemaking for virtual currency licensee assessments.
Taxpayers and businesses should have clarity and not have overly-broad reporting requirements - our latest to the European Commission.
CCI submitted a comment letter in response to OSTP's Request for Information regarding Digital Asset Research and Development.
CCI provided feedback on legislation in New Jersey that would regulate digital assets and blockchain technology.
CCI shared its expertise and views on the important issue of how law on personal property does and should apply...