Tako Founders Club Weekly Founder Spotlight | Base Founder Jesse
Founder's Club (https://app.tako.so/community/trend/founders-club) is a space for founders to interact, share insights, and build connections. It also provides an opportunity for users interested in emerging and trending projects to engage in direct conversations with founders.
Within the Base ecosystem, due to the lack of a timely Chinese communication channel, the Chinese-speaking community has always felt somewhat detached. Therefore, in the sixth edition of the "Founder's AMA," we invited @Base Founder @jessepollak to engage directly with Chinese-speaking users. The conversation was divided into two parts: 1) Jesse answered representative questions from the community, with over 80 questions collected for this session; 2) Jesse conducted a real-time text Q&A session on Tako on April 25th at 10:30 am.
Below is a summary of the first part of the discussion. The AMA was hosted by Julie (@juliethetako).
Q1 Julie
This question is from Mable (@mablejiang): You mentioned previously that you hoped to do more in Asia. Could you share your development plans in Asia?
(Related questions were also asked by: @Xuegaogx, @DeFiGuyLuke, @0x35_kaori, @mablejiang, @0xNought, @PANewsCN, @Moose777, @jacktod_, @0xginana)
Jesse: Last autumn, I spent a few weeks in Asia and had conversations with some developers. This reaffirmed my belief that we need to do more in this region.
Recently, we hired a country lead in the Philippines, and there are currently open country lead positions in Indonesia and Singapore, with more positions to be available in the future. We also plan to engage in closer collaborations with developers in China. I understand the importance of localization for the Chinese market, so we will provide more communication channels and resources for Chinese-speaking developers, creators, and users. Stay tuned for more information later this year.
Q2 Julie
This question is from Star (@starzqeth): Solana has a clear positioning, what is Base's positioning? It feels like doing a bit of everything, but none as thorough as Solana.
(The following users also inquired about related questions: @Whdysseus, @Michael_Liu93, @leoding0806x, @framenum, @mablejiang, @hoidya_, @taowang1, @Moose777)
Jesse: Base is a global on-chain economy, and we are making Base accessible to everyone through the execution of the 2025 strategy (see link below), while always staying true to our core values (Stay Base). Specifically, this means:
· Building powerful and open tools to help anyone build world-class on-chain applications.
· Nurturing a vibrant ecosystem that connects open on-chain applications to expand the Base user base.
· Creating a robust on-chain account that provides seamless fund, identity, and governance services.
· Making Base the center of the on-chain economy, with a highly liquid, always-on global capital market.
· Decentralizing, scaling, and accelerating Base to enable everyone worldwide to participate in the on-chain economy.
I understand the challenge you mentioned about meeting everyone's needs is indeed difficult, but I believe that if we can execute along these directions, it should be achievable. Lastly, I have great respect for the Solana team, and bringing a billion people onto the chain is certainly not something any single entity can accomplish.
https://base.mirror.xyz/gFOLgyrs8jtX4Eqt4Kh6ikWhB3tqrhQoKfddeqZIECs
Q3 Julie
This question is from Wu Shuo (@wublockchain): What do you think is the biggest challenge and dilemma for Ethereum currently? Have these challenges already affected its overall ecosystem development? What key breakthroughs has Base made in the Ethereum ecosystem? From which perspectives can Base help Ethereum solve existing problems?
(The following users also inquired about related questions: @ai_9684xtpa@PANewsCN@ZKSgu@0xcryptoHowe@Benjieming1Q84)
Jesse: @brian_armstrong often says, "Things are never as good as they seem, nor as bad as they seem." Recently, there has been a lot of negative news about ETH's price, which I believe is mostly noise. I am more focused on using @base to address what I see as key issues and to make sure everything on-chain "runs smoothly":
· Fast and Cheap: Transactions on Base have remained at less than one cent for over a year. We recently released Flash Blocks on the testnet, bringing transaction speeds down to 200 milliseconds. Fast and cheap.
· Secure and Easy: The smart wallet has removed much of the complexity, helping users unfamiliar with cryptocurrency to easily get started, and it only requires operation in a browser without the need for additional extensions or app installations. We can also ensure everything runs smoothly through subsidizing gas fees and recovery features.
· Developer<>User Flywheel: Many people initially get involved for a specific token, then want to explore more functionalities but don't have a clear next step. We are introducing Farcaster and miniapps into @CoinbaseWallet, seamlessly integrating everything and driving the expansion of this flywheel.
Stay humble, keep building.
Q4 Julie
This question is from @yjy616: Base has seen many original meme projects emerge, and even some community-driven "cultural events" have gained good traction. In Jesse's view, are memes and native culture an important part of Base's differentiation? How will the Base team further support the development of grassroots meme culture, especially in non-English-speaking communities?
(The following users also asked related questions: @0xPickleCati @0xNought)
Jesse: Yes, memes are definitely a part of our culture and a key factor that sets Base apart strategically from other platforms. I once gave a lecture explaining why I believe memes are so crucial in this process. But in simple terms, I think memes, just like in Web2, are an essential user onboarding tool. And the meme builders on Base have brought us our most potent cultural force. Special thanks to @clankeronbase, @apedotstore, @ClizaSystems, and other platform and community efforts; their contributions have made all of this possible.
Additionally, I have recently been discussing "Content Coins." Just as a social media post may be just an image or may turn into a viral meme, a content coin is also a simple post without its value expected. I believe that much content will evolve into memes, and many memes will also create content! @1_crypticpoet has a great article explaining how these interact.
Q5 Julie
This question is from @anymose96: How to understand Base is for everyone, and why was the official reference token minted so quickly?
Jesse: First of all, let's clarify: Base is for everyone is a post released by Base on Zora, not a formal token. We have been publishing content on Zora for years and are very interested in their Content is Coined new model.
Why did we do this? Because unlocking tokens provides a powerful tool for creators to earn income through creativity and paves the way for more experimental attempts. There has been a lot of discussion about this, with everyone debating whether it is a good or bad thing. My view is that people are accustomed to a traditional understanding of tokens, and this approach is new and different. We anticipated some criticism and indeed found it a bit daunting. If we could do it over, I would have @base make more statements and clarifications from the beginning.
Looking ahead, we will continue to mint coins because we believe everyone should bring their content to the chain. Our goal is to lead by example through action and experiment in public. If you want to learn more, you can listen to this great podcast by clicking here to view the Zora link
Q6 Julie
This question is from @jacktod_: base's future plan is to attract more web2 users to join web3. I have also seen the team engaging in various degrees of communication around the world, spreading knowledge, etc. What is the main purpose of getting users on-chain? Is it mainly at the level of everyday consumption, or is it more focused on defi, gamefi?
Jesse: Every day, I think about how to bring a billion people onto the chain, and the reality is, we cannot achieve this goal just by attracting those who are already interested in cryptocurrency. We need to expand this "cake," and to do that, I believe the answer is all the methods mentioned above. Our mission is to build a global on-chain economy that includes everyone.
Payments are a great example that showcases how on-chain technology can improve people's lives. I witnessed this firsthand last year while traveling globally, seeing how forex and international payments are so crucial for people to access the global economy. Stablecoins in local currencies and fast, low-cost on-chain payments have solved many real-world issues for people: they are almost instant, unlike traditional payments that take days, and the fees are as low as less than a cent (USD-denominated) instead of 3% or $50 or even more.
On-chain finance, social, entertainment, music, art, games, content... all these areas can improve people's lives by transferring control to developers and creators, rather than being centralized in the hands of large corporations.
Q7 Julie
This question is from @adJAstra: Do you think Coinbase Wallet will evolve into the ultimate platform for handling all on-chain transactions, especially in terms of app distribution and promotion? How far are we from this vision?
Jesse: It's coming soon! We have been rebuilding @CoinbaseWallet from scratch over the past few months, with the goal of making it 10 times faster while shifting the focus to solving the issues of discovery and distribution.
Once someone has purchased their first token, the next steps are not really intuitive in terms of what they can do next or what apps they might be interested in trying. Therefore, we are integrating Farcaster social feeds with mini-apps directly into @CoinbaseWallet and enabling users to easily discover on-chain experiences within the app without having to leave.
In this video, I detailed this point: Link. We will share more updates next week at Farcon!
Q8 Julie
This question is from @TechFlowPost: We see Base or yourself often interacting with Zora. What is the reason the team or you personally are bullish on Zora? What is Zora's unique positioning and ecosystem value within the Base ecosystem?
(The following user also asked a related question: @framenum)
Jesse: I am very bullish on on-chain social media as it has the potential to drive viral adoption, and Zora is a great example of this (if you haven't tried the app yet, download it now).
In traditional social platforms, centralized companies control content and users. In on-chain social media, creators own their content and can earn income when they share (beyond just likes). Posts on Zora are automatically minted, and creators receive a portion of transaction fees. In this way, on-chain social media disrupts the traditional model by returning control to creators.
Over the past week or so, I have witnessed firsthand how powerful this model is in attracting new users to the space. You can use Zora without knowing about cryptocurrency and earn from your own posts. I believe we need more apps like this to help onboard billions to the blockchain.
Looking forward to seeing more creative initiatives from other developers in this space!
Q9 Julie
This question is from @PANewsCN: In Base's recently released 2025 roadmap, the goal of achieving 25 million users, 25,000 developers, and 1 billion on-chain transactions within the year was proposed. What strategies and measures does Base plan to take to achieve these growth goals, and how are the priorities of these goals ranked?
(The following user also asked a related question: @Cyrus_G3)
Jesse: These are what we call "big, bold, audacious goals." If we hit 100% of our goals, it means we didn't think big enough, so I challenge our team to set even larger goals. If we want to onboard a billion people to the blockchain, these are the strategies we must take.
So, what are we doing to achieve this goal?
We are increasing our investment in more powerful and open developer tools. We are particularly focused on developers because they will build the on-chain applications that will attract billions of users.
We are rebuilding @coinbasewallet from the ground up to make it 10 times faster, more user-friendly, and to enhance content discovery through the addition of Farcaster social dynamics. We are also integrating mini-apps to allow users to experience them within the app without leaving.
We are continuing to decentralize, scale, and speed up Base because we believe that building a truly global economy can only be done by creating a decentralized, open platform. In the first phase, there will be a capacity of 250 mgas/s and faster blocks. More details can be found in the blog post below: Click here to view the blog post
Q10 Julie
This question is from @0xLuo: What directions do you hope developers on Base will focus on? What important products or categories do you currently feel are missing in the ecosystem?
(The following users also asked related questions: @Xuegaogx @hoidya_ @0xcryptoHowe @Moose777 @PANewsCN @TeddyinEden @Nazarick_eth)
Jesse: We have just launched Base Batches (basebatches.xyz), which covers four main themes: AI, stablecoins, mini-apps, and consumer applications. I am very excited to see developers build more projects in these areas, as there are really a lot of opportunities. If you are a developer looking for support from zero to one, feel free to join Base Batches!
Q11 Julie
This question is from @Benjieming1Q84: Is Farcaster considering full adoption by Chinese users? If Farcaster is not considering this, how will base/coinbase wallet cover different regions and languages?
(The following user also asked a related question: @adJAstra@jacktod_)
Jesse: I know that Warpcast is not currently localized for Chinese users, but I am thrilled to see clients like @tako accelerating efforts to fill this gap. However, if we want the Chinese community to fully embrace this network, there is still a lot of work to be done.
This is very important to me and is one of the reasons I am hosting this AMA, hoping to interact more directly with the Chinese community. Currently, I do not have specific features or timelines to share, but my team is recruiting country leads across Asia, with a particular focus on Chinese speakers. We are dedicated to building a more inclusive global network.
Base is for everyone—this means we will invest more effort in the localization of Base, Farcaster, and the entire community in the future.
Q12 Julie
This question is from @adJAstra: What is the roadmap for Coinbase Wallet integrating Farcaster? How will user behavior change when users access social content or mini-apps through Warpcast via Coinbase Wallet instead of c directly?
Jesse: We are rebuilding Coinbase Wallet from the ground up, with plans for full Farcaster social dynamics, as well as mini-apps that can be interacted with directly in the feed. This will start rolling out soon!
I believe that the strength of adding this feature to Coinbase Wallet is that we can support it within the existing user context. This will not only provide more distribution channels for apps but also help users discover apps they may be interested in. I think this will bring more user engagement for developers like you, and I am very excited about it.
Q13 Julie
This question is from @kongxairdrop: Does Base have plans to issue its own token in the future?
(The following users also asked related questions: @almalq.eth @aaron183Aaros@CryptoPainter_X)
Jesse: We do not have plans to issue a new network token. Base uses ETH as the native asset to pay for Gas fees. My current focus is on building an excellent product that can serve developers (those creating applications), as well as users and businesses (those using these applications) effectively.
Q14 Julie
This question is from @CryptoPainter_X: Although Base has promised a multi-signature structure to ensure immunity from Coinbase's influence, in the Chinese-speaking community, the "incubated by CB" label and the naming of "Base" seem to have been equated to some extent early on. I would like to ask, in the future, how does Base plan to achieve comprehensive independence on both a technical and social level and completely shed this label that has long influenced its development?
Jesse: Base is open and permissionless. Despite our incubation within Coinbase (similar to how many other networks are also incubated in labs), we have a deep commitment to decentralization. Why? Because we believe that only on a decentralized platform can a global on-chain economy thrive, promoting innovation, creativity, and freedom.
From the beginning, Coinbase and Base have adhered to principles of neutrality, ensuring users' sovereignty over their crypto assets, ensuring unbiased transaction ordering on Base, protecting the discretion of non-public data, and guaranteeing users the ability to withdraw from Base without restrictions. Over the past year, we have focused on achieving the first phase of decentralization, and soon we will share more progress on this front.
I also believe that we need to continue working to establish Base as an independent brand and ecosystem, distinguishing it perceptually from Coinbase while leveraging all the advantages that come from collaboration. We will soon have some exciting updates to share on this front :)
Q15 Julie
This question is from @0xLuo: What support can Base developers receive from the official team? For example, funding, exposure, guidance? What is the best way to obtain this support?
(The following users also asked related questions: @taowang1 @framenum)
Jesse: We are committed to supporting developers at various stages, whether you have just released your first on-chain experiment or are scaling a real business, we are here to support you.
I am very excited to introduce to everyone a brand new project — Base Batches, which is a global developer program aimed at providing developers with everything they need to grow — funding, exposure, mentor support, community resources, you name it.
It is divided into several stages: First, you join the Buildathon in your region (we hold events globally). If you excel, you have the opportunity to enter our incubator, where you will receive hands-on support from mentors, Base core team members, and outstanding partners. Next is Demo Day, where the top-performing teams will showcase to the judges, vying for up to $1 million in funding support.
This is not just a one-time event — we are building a long-term support system to help you from ideation to gaining traction, and then developing into a full-fledged company. We aim to support you at every stage.
Visit base.org/build now to join a batch!
Q16 Julie
This question is from @TeddyinEden: Base gives off a clean, mainstream, and brand-friendly vibe. What is your attitude towards projects that are more on the edge, provocative, or controversial? Can such projects find a place on Base?
(The following user has also asked a related question: @hoidya_)
Jesse: Base welcomes everyone from everywhere.
Lastly, thanks to all users who participated in asking questions! If your question was not addressed or if you have follow-up questions, you can join the live AMA session tomorrow, April 25th at 10:30 AM, to ask your question, and Jesse will answer in real-time!
Special thanks to: @0x35_kaori@0xHarryWeb3@0xLuo@0xNought@0xPickleCati@0xcryptoHowe@0xginana@Anonymous@Bamboocrycry@Benjieming1Q84@Candy@CryptoPainter_X@Cyrus_G3@DeFiGuyLuke@EEEEdison1992@KathySats@Michael_Liu93@Moose777@Nazarick_eth@PANewsCN@RaccoonHKG@TechFlowPost@TeddyinEden@Whdysseus@Xuegaogx@ZKSgu@aaron183Aaros@adJAstra@ai_9684xtpa@alacheng@alexin091@almalq@anymose96@framenum@hoidya_@jacktod_@joezhoublack@kongxairdrop@leo7_lau@leoding0806x@lurenbian@mablejiang@noneptr@otzgary@ps2025moon@sheabao@starzqeth@taowang1@wangzai5680@wublockchain@yjy616@silverfang88@jhaninvest@the_andydandy
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China's Central Bank and Eight Other Departments' Latest Regulatory Focus: Key Attention to RWA Tokenized Asset Risk
Foreword: Today, the People's Bank of China's website published the "Notice of the People's Bank of China, National Development and Reform Commission, Ministry of Industry and Information Technology, Ministry of Public Security, State Administration for Market Regulation, China Banking and Insurance Regulatory Commission, China Securities Regulatory Commission, State Administration of Foreign Exchange on Further Preventing and Dealing with Risks Related to Virtual Currency and Others (Yinfa [2026] No. 42)", the latest regulatory requirements from the eight departments including the central bank, which are basically consistent with the regulatory requirements of recent years. The main focus of the regulation is on speculative activities such as virtual currency trading, exchanges, ICOs, overseas platform services, and this time, regulatory oversight of RWA has been added, explicitly prohibiting RWA tokenization, stablecoins (especially those pegged to the RMB). The following is the full text:
To the people's governments of all provinces, autonomous regions, and municipalities directly under the Central Government, the Xinjiang Production and Construction Corps:
Recently, there have been speculative activities related to virtual currency and Real-World Assets (RWA) tokenization, disrupting the economic and financial order and jeopardizing the property security of the people. In order to further prevent and address the risks related to virtual currency and Real-World Assets tokenization, effectively safeguard national security and social stability, in accordance with the "Law of the People's Republic of China on the People's Bank of China," "Law of the People's Republic of China on Commercial Banks," "Securities Law of the People's Republic of China," "Law of the People's Republic of China on Securities Investment Funds," "Law of the People's Republic of China on Futures and Derivatives," "Cybersecurity Law of the People's Republic of China," "Regulations of the People's Republic of China on the Administration of Renminbi," "Regulations on Prevention and Disposal of Illegal Fundraising," "Regulations of the People's Republic of China on Foreign Exchange Administration," "Telecommunications Regulations of the People's Republic of China," and other provisions, after reaching consensus with the Cyberspace Administration of China, the Supreme People's Court, and the Supreme People's Procuratorate, and with the approval of the State Council, the relevant matters are notified as follows:
(I) Virtual currency does not possess the legal status equivalent to fiat currency. Virtual currencies such as Bitcoin, Ether, Tether, etc., have the main characteristics of being issued by non-monetary authorities, using encryption technology and distributed ledger or similar technology, existing in digital form, etc. They do not have legal tender status, should not and cannot be circulated and used as currency in the market.
The business activities related to virtual currency are classified as illegal financial activities. The exchange of fiat currency and virtual currency within the territory, exchange of virtual currencies, acting as a central counterparty in buying and selling virtual currencies, providing information intermediary and pricing services for virtual currency transactions, token issuance financing, and trading of virtual currency-related financial products, etc., fall under illegal financial activities, such as suspected illegal issuance of token vouchers, unauthorized public issuance of securities, illegal operation of securities and futures business, illegal fundraising, etc., are strictly prohibited across the board and resolutely banned in accordance with the law. Overseas entities and individuals are not allowed to provide virtual currency-related services to domestic entities in any form.
A stablecoin pegged to a fiat currency indirectly fulfills some functions of the fiat currency in circulation. Without the consent of relevant authorities in accordance with the law and regulations, any domestic or foreign entity or individual is not allowed to issue a RMB-pegged stablecoin overseas.
(II)Tokenization of Real-World Assets refers to the use of encryption technology and distributed ledger or similar technologies to transform ownership rights, income rights, etc., of assets into tokens (tokens) or other interests or bond certificates with token (token) characteristics, and carry out issuance and trading activities.
Engaging in the tokenization of real-world assets domestically, as well as providing related intermediary, information technology services, etc., which are suspected of illegal issuance of token vouchers, unauthorized public offering of securities, illegal operation of securities and futures business, illegal fundraising, and other illegal financial activities, shall be prohibited; except for relevant business activities carried out with the approval of the competent authorities in accordance with the law and regulations and relying on specific financial infrastructures. Overseas entities and individuals are not allowed to illegally provide services related to the tokenization of real-world assets to domestic entities in any form.
(III) Inter-agency Coordination. The People's Bank of China, together with the National Development and Reform Commission, the Ministry of Industry and Information Technology, the Ministry of Public Security, the State Administration for Market Regulation, the China Banking and Insurance Regulatory Commission, the China Securities Regulatory Commission, the State Administration of Foreign Exchange, and other departments, will improve the work mechanism, strengthen coordination with the Cyberspace Administration of China, the Supreme People's Court, and the Supreme People's Procuratorate, coordinate efforts, and overall guide regions to carry out risk prevention and disposal of virtual currency-related illegal financial activities.
The China Securities Regulatory Commission, together with the National Development and Reform Commission, the Ministry of Industry and Information Technology, the Ministry of Public Security, the People's Bank of China, the State Administration for Market Regulation, the China Banking and Insurance Regulatory Commission, the State Administration of Foreign Exchange, and other departments, will improve the work mechanism, strengthen coordination with the Cyberspace Administration of China, the Supreme People's Court, and the Supreme People's Procuratorate, coordinate efforts, and overall guide regions to carry out risk prevention and disposal of illegal financial activities related to the tokenization of real-world assets.
(IV) Strengthening Local Implementation. The people's governments at the provincial level are overall responsible for the prevention and disposal of risks related to virtual currencies and the tokenization of real-world assets in their respective administrative regions. The specific leading department is the local financial regulatory department, with participation from branches and dispatched institutions of the State Council's financial regulatory department, telecommunications regulators, public security, market supervision, and other departments, in coordination with cyberspace departments, courts, and procuratorates, to improve the normalization of the work mechanism, effectively connect with the relevant work mechanisms of central departments, form a cooperative and coordinated working pattern between central and local governments, effectively prevent and properly handle risks related to virtual currencies and the tokenization of real-world assets, and maintain economic and financial order and social stability.
(5) Enhanced Risk Monitoring. The People's Bank of China, China Securities Regulatory Commission, National Development and Reform Commission, Ministry of Industry and Information Technology, Ministry of Public Security, State Administration of Foreign Exchange, Cyberspace Administration of China, and other departments continue to improve monitoring techniques and system support, enhance cross-departmental data analysis and sharing, establish sound information sharing and cross-validation mechanisms, promptly grasp the risk situation of activities related to virtual currency and real-world asset tokenization. Local governments at all levels give full play to the role of local monitoring and early warning mechanisms. Local financial regulatory authorities, together with branches and agencies of the State Council's financial regulatory authorities, as well as departments of cyberspace and public security, ensure effective connection between online monitoring, offline investigation, and fund tracking, efficiently and accurately identify activities related to virtual currency and real-world asset tokenization, promptly share risk information, improve early warning information dissemination, verification, and rapid response mechanisms.
(6) Strengthened Oversight of Financial Institutions, Intermediaries, and Technology Service Providers. Financial institutions (including non-bank payment institutions) are prohibited from providing account opening, fund transfer, and clearing services for virtual currency-related business activities, issuing and selling financial products related to virtual currency, including virtual currency and related financial products in the scope of collateral, conducting insurance business related to virtual currency, or including virtual currency in the scope of insurance liability. Financial institutions (including non-bank payment institutions) are prohibited from providing custody, clearing, and settlement services for unauthorized real-world asset tokenization-related business and related financial products. Relevant intermediary institutions and information technology service providers are prohibited from providing intermediary, technical, or other services for unauthorized real-world asset tokenization-related businesses and related financial products.
(7) Enhanced Management of Internet Information Content and Access. Internet enterprises are prohibited from providing online business venues, commercial displays, marketing, advertising, or paid traffic diversion services for virtual currency and real-world asset tokenization-related business activities. Upon discovering clues of illegal activities, they should promptly report to relevant departments and provide technical support and assistance for related investigations and inquiries. Based on the clues transferred by the financial regulatory authorities, the cyberspace administration, telecommunications authorities, and public security departments should promptly close and deal with websites, mobile applications (including mini-programs), and public accounts engaged in virtual currency and real-world asset tokenization-related business activities in accordance with the law.
(8) Strengthened Entity Registration and Advertisement Management. Market supervision departments strengthen entity registration and management, and enterprise and individual business registrations must not contain terms such as "virtual currency," "virtual asset," "cryptocurrency," "crypto asset," "stablecoin," "real-world asset tokenization," or "RWA" in their names or business scopes. Market supervision departments, together with financial regulatory authorities, legally enhance the supervision of advertisements related to virtual currency and real-world asset tokenization, promptly investigating and handling relevant illegal advertisements.
(IX) Continued Rectification of Virtual Currency Mining Activities. The National Development and Reform Commission, together with relevant departments, strictly controls virtual currency mining activities, continuously promotes the rectification of virtual currency mining activities. The people's governments of various provinces take overall responsibility for the rectification of "mining" within their respective administrative regions. In accordance with the requirements of the National Development and Reform Commission and other departments in the "Notice on the Rectification of Virtual Currency Mining Activities" (NDRC Energy-saving Building [2021] No. 1283) and the provisions of the "Guidance Catalog for Industrial Structure Adjustment (2024 Edition)," a comprehensive review, investigation, and closure of existing virtual currency mining projects are conducted, new mining projects are strictly prohibited, and mining machine production enterprises are strictly prohibited from providing mining machine sales and other services within the country.
(X) Severe Crackdown on Related Illegal Financial Activities. Upon discovering clues to illegal financial activities related to virtual currency and the tokenization of real-world assets, local financial regulatory authorities, branches of the State Council's financial regulatory authorities, and other relevant departments promptly investigate, determine, and properly handle the issues in accordance with the law, and seriously hold the relevant entities and individuals legally responsible. Those suspected of crimes are transferred to the judicial authorities for processing according to the law.
(XI) Severe Crackdown on Related Illegal and Criminal Activities. The Ministry of Public Security, the People's Bank of China, the State Administration for Market Regulation, the China Banking and Insurance Regulatory Commission, the China Securities Regulatory Commission, as well as judicial and procuratorial organs, in accordance with their respective responsibilities, rigorously crack down on illegal and criminal activities related to virtual currency, the tokenization of real-world assets, such as fraud, money laundering, illegal business operations, pyramid schemes, illegal fundraising, and other illegal and criminal activities carried out under the guise of virtual currency, the tokenization of real-world assets, etc.
(XII) Strengthen Industry Self-discipline. Relevant industry associations should enhance membership management and policy advocacy, based on their own responsibilities, advocate and urge member units to resist illegal financial activities related to virtual currency and the tokenization of real-world assets. Member units that violate regulatory policies and industry self-discipline rules are to be disciplined in accordance with relevant self-regulatory management regulations. By leveraging various industry infrastructure, conduct risk monitoring related to virtual currency, the tokenization of real-world assets, and promptly transfer issue clues to relevant departments.
(XIII) Without the approval of relevant departments in accordance with the law and regulations, domestic entities and foreign entities controlled by them may not issue virtual currency overseas.
(XIV) Domestic entities engaging directly or indirectly in overseas external debt-based tokenization of real-world assets, or conducting asset securitization activities abroad based on domestic ownership rights, income rights, etc. (hereinafter referred to as domestic equity), should be strictly regulated in accordance with the principles of "same business, same risk, same rules." The National Development and Reform Commission, the China Securities Regulatory Commission, the State Administration of Foreign Exchange, and other relevant departments regulate it according to their respective responsibilities. For other forms of overseas real-world asset tokenization activities based on domestic equity by domestic entities, the China Securities Regulatory Commission, together with relevant departments, supervise according to their division of responsibilities. Without the consent and filing of relevant departments, no unit or individual may engage in the above-mentioned business.
(15) Overseas subsidiaries and branches of domestic financial institutions providing Real World Asset Tokenization-related services overseas shall do so legally and prudently. They shall have professional personnel and systems in place to effectively mitigate business risks, strictly implement customer onboarding, suitability management, anti-money laundering requirements, and incorporate them into the domestic financial institutions' compliance and risk management system. Intermediaries and information technology service providers offering Real World Asset Tokenization services abroad based on domestic equity or conducting Real World Asset Tokenization business in the form of overseas debt for domestic entities directly or indirectly venturing abroad must strictly comply with relevant laws and regulations. They should establish and improve relevant compliance and internal control systems in accordance with relevant normative requirements, strengthen business and risk control, and report the business developments to the relevant regulatory authorities for approval or filing.
(16) Strengthen organizational leadership and overall coordination. All departments and regions should attach great importance to the prevention of risks related to virtual currencies and Real World Asset Tokenization, strengthen organizational leadership, clarify work responsibilities, form a long-term effective working mechanism with centralized coordination, local implementation, and shared responsibilities, maintain high pressure, dynamically monitor risks, effectively prevent and mitigate risks in an orderly and efficient manner, legally protect the property security of the people, and make every effort to maintain economic and financial order and social stability.
(17) Widely carry out publicity and education. All departments, regions, and industry associations should make full use of various media and other communication channels to disseminate information through legal and policy interpretation, analysis of typical cases, and education on investment risks, etc. They should promote the illegality and harm of virtual currencies and Real World Asset Tokenization-related businesses and their manifestations, fully alert to potential risks and hidden dangers, and enhance public awareness and identification capabilities for risk prevention.
(18) Engaging in illegal financial activities related to virtual currencies and Real World Asset Tokenization in violation of this notice, as well as providing services for virtual currencies and Real World Asset Tokenization-related businesses, shall be punished in accordance with relevant regulations. If it constitutes a crime, criminal liability shall be pursued according to the law. For domestic entities and individuals who knowingly or should have known that overseas entities illegally provided virtual currency or Real World Asset Tokenization-related services to domestic entities and still assisted them, relevant responsibilities shall be pursued according to the law. If it constitutes a crime, criminal liability shall be pursued according to the law.
(19) If any unit or individual invests in virtual currencies, Real World Asset Tokens, and related financial products against public order and good customs, the relevant civil legal actions shall be invalid, and any resulting losses shall be borne by them. If there are suspicions of disrupting financial order and jeopardizing financial security, the relevant departments shall deal with them according to the law.
This notice shall enter into force upon the date of its issuance. The People's Bank of China and ten other departments' "Notice on Further Preventing and Dealing with the Risks of Virtual Currency Trading Speculation" (Yinfa [2021] No. 237) is hereby repealed.

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China's Central Bank and Eight Other Departments' Latest Regulatory Focus: Key Attention to RWA Tokenized Asset Risk
Foreword: Today, the People's Bank of China's website published the "Notice of the People's Bank of China, National Development and Reform Commission, Ministry of Industry and Information Technology, Ministry of Public Security, State Administration for Market Regulation, China Banking and Insurance Regulatory Commission, China Securities Regulatory Commission, State Administration of Foreign Exchange on Further Preventing and Dealing with Risks Related to Virtual Currency and Others (Yinfa [2026] No. 42)", the latest regulatory requirements from the eight departments including the central bank, which are basically consistent with the regulatory requirements of recent years. The main focus of the regulation is on speculative activities such as virtual currency trading, exchanges, ICOs, overseas platform services, and this time, regulatory oversight of RWA has been added, explicitly prohibiting RWA tokenization, stablecoins (especially those pegged to the RMB). The following is the full text:
To the people's governments of all provinces, autonomous regions, and municipalities directly under the Central Government, the Xinjiang Production and Construction Corps:
Recently, there have been speculative activities related to virtual currency and Real-World Assets (RWA) tokenization, disrupting the economic and financial order and jeopardizing the property security of the people. In order to further prevent and address the risks related to virtual currency and Real-World Assets tokenization, effectively safeguard national security and social stability, in accordance with the "Law of the People's Republic of China on the People's Bank of China," "Law of the People's Republic of China on Commercial Banks," "Securities Law of the People's Republic of China," "Law of the People's Republic of China on Securities Investment Funds," "Law of the People's Republic of China on Futures and Derivatives," "Cybersecurity Law of the People's Republic of China," "Regulations of the People's Republic of China on the Administration of Renminbi," "Regulations on Prevention and Disposal of Illegal Fundraising," "Regulations of the People's Republic of China on Foreign Exchange Administration," "Telecommunications Regulations of the People's Republic of China," and other provisions, after reaching consensus with the Cyberspace Administration of China, the Supreme People's Court, and the Supreme People's Procuratorate, and with the approval of the State Council, the relevant matters are notified as follows:
(I) Virtual currency does not possess the legal status equivalent to fiat currency. Virtual currencies such as Bitcoin, Ether, Tether, etc., have the main characteristics of being issued by non-monetary authorities, using encryption technology and distributed ledger or similar technology, existing in digital form, etc. They do not have legal tender status, should not and cannot be circulated and used as currency in the market.
The business activities related to virtual currency are classified as illegal financial activities. The exchange of fiat currency and virtual currency within the territory, exchange of virtual currencies, acting as a central counterparty in buying and selling virtual currencies, providing information intermediary and pricing services for virtual currency transactions, token issuance financing, and trading of virtual currency-related financial products, etc., fall under illegal financial activities, such as suspected illegal issuance of token vouchers, unauthorized public issuance of securities, illegal operation of securities and futures business, illegal fundraising, etc., are strictly prohibited across the board and resolutely banned in accordance with the law. Overseas entities and individuals are not allowed to provide virtual currency-related services to domestic entities in any form.
A stablecoin pegged to a fiat currency indirectly fulfills some functions of the fiat currency in circulation. Without the consent of relevant authorities in accordance with the law and regulations, any domestic or foreign entity or individual is not allowed to issue a RMB-pegged stablecoin overseas.
(II)Tokenization of Real-World Assets refers to the use of encryption technology and distributed ledger or similar technologies to transform ownership rights, income rights, etc., of assets into tokens (tokens) or other interests or bond certificates with token (token) characteristics, and carry out issuance and trading activities.
Engaging in the tokenization of real-world assets domestically, as well as providing related intermediary, information technology services, etc., which are suspected of illegal issuance of token vouchers, unauthorized public offering of securities, illegal operation of securities and futures business, illegal fundraising, and other illegal financial activities, shall be prohibited; except for relevant business activities carried out with the approval of the competent authorities in accordance with the law and regulations and relying on specific financial infrastructures. Overseas entities and individuals are not allowed to illegally provide services related to the tokenization of real-world assets to domestic entities in any form.
(III) Inter-agency Coordination. The People's Bank of China, together with the National Development and Reform Commission, the Ministry of Industry and Information Technology, the Ministry of Public Security, the State Administration for Market Regulation, the China Banking and Insurance Regulatory Commission, the China Securities Regulatory Commission, the State Administration of Foreign Exchange, and other departments, will improve the work mechanism, strengthen coordination with the Cyberspace Administration of China, the Supreme People's Court, and the Supreme People's Procuratorate, coordinate efforts, and overall guide regions to carry out risk prevention and disposal of virtual currency-related illegal financial activities.
The China Securities Regulatory Commission, together with the National Development and Reform Commission, the Ministry of Industry and Information Technology, the Ministry of Public Security, the People's Bank of China, the State Administration for Market Regulation, the China Banking and Insurance Regulatory Commission, the State Administration of Foreign Exchange, and other departments, will improve the work mechanism, strengthen coordination with the Cyberspace Administration of China, the Supreme People's Court, and the Supreme People's Procuratorate, coordinate efforts, and overall guide regions to carry out risk prevention and disposal of illegal financial activities related to the tokenization of real-world assets.
(IV) Strengthening Local Implementation. The people's governments at the provincial level are overall responsible for the prevention and disposal of risks related to virtual currencies and the tokenization of real-world assets in their respective administrative regions. The specific leading department is the local financial regulatory department, with participation from branches and dispatched institutions of the State Council's financial regulatory department, telecommunications regulators, public security, market supervision, and other departments, in coordination with cyberspace departments, courts, and procuratorates, to improve the normalization of the work mechanism, effectively connect with the relevant work mechanisms of central departments, form a cooperative and coordinated working pattern between central and local governments, effectively prevent and properly handle risks related to virtual currencies and the tokenization of real-world assets, and maintain economic and financial order and social stability.
(5) Enhanced Risk Monitoring. The People's Bank of China, China Securities Regulatory Commission, National Development and Reform Commission, Ministry of Industry and Information Technology, Ministry of Public Security, State Administration of Foreign Exchange, Cyberspace Administration of China, and other departments continue to improve monitoring techniques and system support, enhance cross-departmental data analysis and sharing, establish sound information sharing and cross-validation mechanisms, promptly grasp the risk situation of activities related to virtual currency and real-world asset tokenization. Local governments at all levels give full play to the role of local monitoring and early warning mechanisms. Local financial regulatory authorities, together with branches and agencies of the State Council's financial regulatory authorities, as well as departments of cyberspace and public security, ensure effective connection between online monitoring, offline investigation, and fund tracking, efficiently and accurately identify activities related to virtual currency and real-world asset tokenization, promptly share risk information, improve early warning information dissemination, verification, and rapid response mechanisms.
(6) Strengthened Oversight of Financial Institutions, Intermediaries, and Technology Service Providers. Financial institutions (including non-bank payment institutions) are prohibited from providing account opening, fund transfer, and clearing services for virtual currency-related business activities, issuing and selling financial products related to virtual currency, including virtual currency and related financial products in the scope of collateral, conducting insurance business related to virtual currency, or including virtual currency in the scope of insurance liability. Financial institutions (including non-bank payment institutions) are prohibited from providing custody, clearing, and settlement services for unauthorized real-world asset tokenization-related business and related financial products. Relevant intermediary institutions and information technology service providers are prohibited from providing intermediary, technical, or other services for unauthorized real-world asset tokenization-related businesses and related financial products.
(7) Enhanced Management of Internet Information Content and Access. Internet enterprises are prohibited from providing online business venues, commercial displays, marketing, advertising, or paid traffic diversion services for virtual currency and real-world asset tokenization-related business activities. Upon discovering clues of illegal activities, they should promptly report to relevant departments and provide technical support and assistance for related investigations and inquiries. Based on the clues transferred by the financial regulatory authorities, the cyberspace administration, telecommunications authorities, and public security departments should promptly close and deal with websites, mobile applications (including mini-programs), and public accounts engaged in virtual currency and real-world asset tokenization-related business activities in accordance with the law.
(8) Strengthened Entity Registration and Advertisement Management. Market supervision departments strengthen entity registration and management, and enterprise and individual business registrations must not contain terms such as "virtual currency," "virtual asset," "cryptocurrency," "crypto asset," "stablecoin," "real-world asset tokenization," or "RWA" in their names or business scopes. Market supervision departments, together with financial regulatory authorities, legally enhance the supervision of advertisements related to virtual currency and real-world asset tokenization, promptly investigating and handling relevant illegal advertisements.
(IX) Continued Rectification of Virtual Currency Mining Activities. The National Development and Reform Commission, together with relevant departments, strictly controls virtual currency mining activities, continuously promotes the rectification of virtual currency mining activities. The people's governments of various provinces take overall responsibility for the rectification of "mining" within their respective administrative regions. In accordance with the requirements of the National Development and Reform Commission and other departments in the "Notice on the Rectification of Virtual Currency Mining Activities" (NDRC Energy-saving Building [2021] No. 1283) and the provisions of the "Guidance Catalog for Industrial Structure Adjustment (2024 Edition)," a comprehensive review, investigation, and closure of existing virtual currency mining projects are conducted, new mining projects are strictly prohibited, and mining machine production enterprises are strictly prohibited from providing mining machine sales and other services within the country.
(X) Severe Crackdown on Related Illegal Financial Activities. Upon discovering clues to illegal financial activities related to virtual currency and the tokenization of real-world assets, local financial regulatory authorities, branches of the State Council's financial regulatory authorities, and other relevant departments promptly investigate, determine, and properly handle the issues in accordance with the law, and seriously hold the relevant entities and individuals legally responsible. Those suspected of crimes are transferred to the judicial authorities for processing according to the law.
(XI) Severe Crackdown on Related Illegal and Criminal Activities. The Ministry of Public Security, the People's Bank of China, the State Administration for Market Regulation, the China Banking and Insurance Regulatory Commission, the China Securities Regulatory Commission, as well as judicial and procuratorial organs, in accordance with their respective responsibilities, rigorously crack down on illegal and criminal activities related to virtual currency, the tokenization of real-world assets, such as fraud, money laundering, illegal business operations, pyramid schemes, illegal fundraising, and other illegal and criminal activities carried out under the guise of virtual currency, the tokenization of real-world assets, etc.
(XII) Strengthen Industry Self-discipline. Relevant industry associations should enhance membership management and policy advocacy, based on their own responsibilities, advocate and urge member units to resist illegal financial activities related to virtual currency and the tokenization of real-world assets. Member units that violate regulatory policies and industry self-discipline rules are to be disciplined in accordance with relevant self-regulatory management regulations. By leveraging various industry infrastructure, conduct risk monitoring related to virtual currency, the tokenization of real-world assets, and promptly transfer issue clues to relevant departments.
(XIII) Without the approval of relevant departments in accordance with the law and regulations, domestic entities and foreign entities controlled by them may not issue virtual currency overseas.
(XIV) Domestic entities engaging directly or indirectly in overseas external debt-based tokenization of real-world assets, or conducting asset securitization activities abroad based on domestic ownership rights, income rights, etc. (hereinafter referred to as domestic equity), should be strictly regulated in accordance with the principles of "same business, same risk, same rules." The National Development and Reform Commission, the China Securities Regulatory Commission, the State Administration of Foreign Exchange, and other relevant departments regulate it according to their respective responsibilities. For other forms of overseas real-world asset tokenization activities based on domestic equity by domestic entities, the China Securities Regulatory Commission, together with relevant departments, supervise according to their division of responsibilities. Without the consent and filing of relevant departments, no unit or individual may engage in the above-mentioned business.
(15) Overseas subsidiaries and branches of domestic financial institutions providing Real World Asset Tokenization-related services overseas shall do so legally and prudently. They shall have professional personnel and systems in place to effectively mitigate business risks, strictly implement customer onboarding, suitability management, anti-money laundering requirements, and incorporate them into the domestic financial institutions' compliance and risk management system. Intermediaries and information technology service providers offering Real World Asset Tokenization services abroad based on domestic equity or conducting Real World Asset Tokenization business in the form of overseas debt for domestic entities directly or indirectly venturing abroad must strictly comply with relevant laws and regulations. They should establish and improve relevant compliance and internal control systems in accordance with relevant normative requirements, strengthen business and risk control, and report the business developments to the relevant regulatory authorities for approval or filing.
(16) Strengthen organizational leadership and overall coordination. All departments and regions should attach great importance to the prevention of risks related to virtual currencies and Real World Asset Tokenization, strengthen organizational leadership, clarify work responsibilities, form a long-term effective working mechanism with centralized coordination, local implementation, and shared responsibilities, maintain high pressure, dynamically monitor risks, effectively prevent and mitigate risks in an orderly and efficient manner, legally protect the property security of the people, and make every effort to maintain economic and financial order and social stability.
(17) Widely carry out publicity and education. All departments, regions, and industry associations should make full use of various media and other communication channels to disseminate information through legal and policy interpretation, analysis of typical cases, and education on investment risks, etc. They should promote the illegality and harm of virtual currencies and Real World Asset Tokenization-related businesses and their manifestations, fully alert to potential risks and hidden dangers, and enhance public awareness and identification capabilities for risk prevention.
(18) Engaging in illegal financial activities related to virtual currencies and Real World Asset Tokenization in violation of this notice, as well as providing services for virtual currencies and Real World Asset Tokenization-related businesses, shall be punished in accordance with relevant regulations. If it constitutes a crime, criminal liability shall be pursued according to the law. For domestic entities and individuals who knowingly or should have known that overseas entities illegally provided virtual currency or Real World Asset Tokenization-related services to domestic entities and still assisted them, relevant responsibilities shall be pursued according to the law. If it constitutes a crime, criminal liability shall be pursued according to the law.
(19) If any unit or individual invests in virtual currencies, Real World Asset Tokens, and related financial products against public order and good customs, the relevant civil legal actions shall be invalid, and any resulting losses shall be borne by them. If there are suspicions of disrupting financial order and jeopardizing financial security, the relevant departments shall deal with them according to the law.
This notice shall enter into force upon the date of its issuance. The People's Bank of China and ten other departments' "Notice on Further Preventing and Dealing with the Risks of Virtual Currency Trading Speculation" (Yinfa [2021] No. 237) is hereby repealed.
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