🇺🇸 United States Market structure laws (SEC vs CFTC clarity) Stablecoin federal framework Shift from enforcement → rulemaking Strong focus on consumer protection & AML 🇪🇺 European Union MiCA fully rolling out (licenses, stablecoins, disclosures) DAC8 crypto tax reporting from Jan 2026 Passporting across EU states 🇬🇧 United Kingdom Crypto treated like traditional finance Market abuse rules (insider trading, manipulation) OECD CARF tax reporting from Jan 2026 🇯🇵 Japan Stablecoins only via licensed banks/trusts Strong custody & exchange oversight Pro-Web3 innovation stance 🇰🇷 South Korea Harsh penalties for manipulation & insider trading User asset protection laws Full enforcement phase 🇭🇰 Hong Kong Licensed exchanges only Retail allowed on approved platforms Separate stablecoin licensing law 🇸🇬 Singapore Very strict AML & marketing rules Stablecoin framework Strong focus on tokenization & infrastructure 🇦🇪 UAE (Dubai / Abu Dhabi) Dedicated crypto regulators (VARA, ADGM) Clear licensing paths Positioning as global crypto hub 🇨🇦 Canada Exchanges treated like securities dealers Custody & leverage restrictions Strong investor protection focus 🇦🇺 Australia Exchange licensing regime coming Custody & AML tightening Aligning with global standards 🇧🇷 Brazil Crypto legal for payments & investment Exchanges regulated Stablecoins widely used 🇮🇳 India Very high crypto taxes No ban, but heavy friction Exploring CBDC-first approach 🇨🇳 China Trading & mining banned Strong enforcement Focus on digital yuan (CBDC) 🇷🇺 Russia Mining formalization + penalties for illegal mining Tight state control Limited public access 🌍 Global (IMF / FATF / OECD) AML + Travel Rule everywhere OECD CARF = global crypto tax reporting Pressure to regulate, not ignore crypto 🔑 One-line takeaway Crypto is not being banned globally — it’s being absorbed into regulated finance. Speculation is tolerated, utility and transparency are preferred.
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$PI 🌍 Global Crypto Regulation – What’s Happening Worldwide (2024–early 2026)
🇺🇸 United States
Market structure laws (SEC vs CFTC clarity)
Stablecoin federal framework
Shift from enforcement → rulemaking
Strong focus on consumer protection & AML
🇪🇺 European Union
MiCA fully rolling out (licenses, stablecoins, disclosures)
DAC8 crypto tax reporting from Jan 2026
Passporting across EU states
🇬🇧 United Kingdom
Crypto treated like traditional finance
Market abuse rules (insider trading, manipulation)
OECD CARF tax reporting from Jan 2026
🇯🇵 Japan
Stablecoins only via licensed banks/trusts
Strong custody & exchange oversight
Pro-Web3 innovation stance
🇰🇷 South Korea
Harsh penalties for manipulation & insider trading
User asset protection laws
Full enforcement phase
🇭🇰 Hong Kong
Licensed exchanges only
Retail allowed on approved platforms
Separate stablecoin licensing law
🇸🇬 Singapore
Very strict AML & marketing rules
Stablecoin framework
Strong focus on tokenization & infrastructure
🇦🇪 UAE (Dubai / Abu Dhabi)
Dedicated crypto regulators (VARA, ADGM)
Clear licensing paths
Positioning as global crypto hub
🇨🇦 Canada
Exchanges treated like securities dealers
Custody & leverage restrictions
Strong investor protection focus
🇦🇺 Australia
Exchange licensing regime coming
Custody & AML tightening
Aligning with global standards
🇧🇷 Brazil
Crypto legal for payments & investment
Exchanges regulated
Stablecoins widely used
🇮🇳 India
Very high crypto taxes
No ban, but heavy friction
Exploring CBDC-first approach
🇨🇳 China
Trading & mining banned
Strong enforcement
Focus on digital yuan (CBDC)
🇷🇺 Russia
Mining formalization + penalties for illegal mining
Tight state control
Limited public access
🌍 Global (IMF / FATF / OECD)
AML + Travel Rule everywhere
OECD CARF = global crypto tax reporting
Pressure to regulate, not ignore crypto
🔑 One-line takeaway
Crypto is not being banned globally — it’s being absorbed into regulated finance.
Speculation is tolerated, utility and transparency are preferred.