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Topic: The End Is Near (Read 11572 times)

legendary
Activity: 2142
Merit: 1010
Newbie
February 04, 2015, 03:33:40 PM
If Bitcoin fails all coins fail, lol at thinking NXT will make it and not BTC.

Bitcoin Foundation licks all asses in the USA senate. Keep loling, it's the only thing that you can do now.
hero member
Activity: 700
Merit: 501
February 04, 2015, 03:30:32 PM
If Bitcoin fails all coins fail, lol at thinking NXT will make it and not BTC.
legendary
Activity: 2142
Merit: 1010
Newbie
February 04, 2015, 03:19:38 PM
http://www.dfs.ny.gov/legal/regulations/revised_vc_regulation.pdf:

Quote
Section 200.15 Anti-money laundering program
(a) All values in United States dollars referenced in this Section must be calculated using the methodology
to determine the value of Virtual Currency in Fiat Currency that was provided to the Department under this
Part.
(b) Each Licensee shall conduct an initial risk assessment that will consider legal, compliance, financial,
and reputational risks associated with the Licensee’s activities, services, customers, counterparties, and
geographic location and shall establish, maintain, and enforce an anti-money laundering program based thereon.
The Licensee shall conduct additional assessments on an annual basis, or more frequently as risks change, and
shall modify its anti-money laundering program as appropriate to reflect any such changes.
(c) The anti-money laundering program shall, at a minimum:
(1) provide for a system of internal controls, policies, and procedures designed to ensure ongoing
compliance with all applicable anti-money laundering laws, rules, and regulations;
(2) provide for independent testing for compliance with, and the effectiveness of, the anti-money
laundering program to be conducted by qualified internal personnel of the Licensee, who are not responsible for
the design, installation, maintenance, or operation of the anti-money laundering program, or the policies and
procedures that guide its operation, or a qualified external party, at least annually, the findings of which shall be
summarized in a written report submitted to the superintendent;
(3) designate a qualified individual or individuals in compliance responsible for coordinating and
monitoring day-to-day compliance with the anti-money laundering program; and
(4) provide ongoing training for appropriate personnel to ensure they have a fulsome understanding of
anti-money laundering requirements and to enable them to identify transactions required to be reported and
maintain records required to be kept in accordance with this Part.
(d) The anti-money laundering program shall include a written anti-money laundering policy reviewed and
approved by the Licensee's board of directors or equivalent governing body.
(e) Each Licensee, as part of its anti-money laundering program, shall maintain records and make reports in
the manner set forth below.
(1) Records of Virtual Currency transactions. Each Licensee shall maintain the following information
for all Virtual Currency transactions including involving the payment, receipt, exchange or conversion,
purchase, sale, transfer, or transmission of Virtual Currency:
i) the identity and physical addresses of the party or parties to the transaction that are customers or
accountholders of the Licensee and, to the extent practicable, any other parties to the transaction;
ii) the amount or value of the transaction, including in what denomination purchased, sold, or
transferred;
iii) the method of payment;
iv) the date or dates on which the transaction was initiated and completed; and
v) a description of the transaction.

(2) Reports on transactions. When a Licensee is involved in a Virtual Currency transaction or series of
Virtual Currency transactions, including transactions for the receipt, exchange, conversion, purchase, sale,
transfer, or transmission of Virtual Currency, in an aggregate amount exceeding the United States dollar value
of $10,000 in one day, by one Person, the Licensee shall notify the Department, in a manner prescribed by the
superintendent, within 24 hours.
(3) Reporting of Suspicious Activity. Each Licensee shall monitor for transactions that might signify
money laundering, tax evasion, or other illegal or criminal activity and notify the Department, in a manner
prescribed by the superintendent, immediately upon detection of any such transaction.
(i) Each Licensee shall file Suspicious Activity Reports (“SARs”) in accordance with applicable
federal laws, rules, and regulations.
(ii) Each Licensee that is not required to file SARs under federal law shall file with the
superintendent, in a form prescribed by the superintendent, reports of transactions that indicate a possible
violation of law or regulation within 30 days from the detection of the facts that constitute a need for filing.
Continuing suspicious activity shall be reviewed on an ongoing basis and a suspicious activity report shall be
filed within 120 days of the last filing describing continuing activity.
(f) No Licensee shall structure transactions, or assist in the structuring of transactions, to evade reporting
requirements under this Part.
(g) No Licensee shall engage in, facilitate, or knowingly allow the transfer or transmission of Virtual
Currency when such action will obfuscate or conceal the identity of an individual customer or counterparty.
Nothing in this Section, however, shall be construed to require a Licensee to make available to the general
public the fact or nature of the movement of Virtual Currency by individual customers or counterparties.
(h) Each Licensee shall also maintain, as part of its anti-money laundering program, a customer
identification program.
(1) Identification and verification of account holders. When opening an account for, or establishing a
service relationship with, a customer, each Licensee must, at a minimum, verify the customer’s identity, to the
extent reasonable and practicable, maintain records of the information used to verify such identity, including
name, physical address, and other identifying information, and check customers against the Specially
Designated Nationals (“SDNs”) list maintained by the Office of Foreign Asset Control (“OFAC”), a part of the
U.S. Treasury Department. Enhanced due diligence may be required based on additional factors, such as for
high risk customers, high-volume accounts, or accounts on which a suspicious activity report has been filed.
(2) Enhanced due diligence for accounts involving foreign entities. Licensees that maintain accounts for
non-U.S. Persons and non-U.S. Licensees must establish enhanced due diligence policies, procedures, and
controls to detect money laundering, including assessing the risk presented by such accounts based on the
nature of the foreign business, the type and purpose of the activity, and the anti-money laundering and
supervisory regime of the foreign jurisdiction.
(3) Prohibition on accounts with foreign shell entities. Licensees are prohibited from maintaining
relationships of any type in connection with their Virtual Currency Business Activity with entities that do not
have a physical presence in any country.
(4) Identification required for large transactions. Each Licensee must require verification of the identity
of any accountholder initiating a transaction with a value greater than $3,000.
(i) Each Licensee shall demonstrate that it has risk-based policies, procedures, and practices to ensure, to
the maximum extent practicable, compliance with applicable regulations issued by OFAC.
(j) Each Licensee shall have in place appropriate policies and procedures to block or reject specific or
impermissible transactions that violate federal or state laws, rules, or regulations.
(k) The individual or individuals designated by the Licensee, pursuant to Paragraph 200.15(c)(3), shall be
responsible for day-to-day operations of the anti-money laundering program and shall, at a minimum:
(1) Monitor changes in anti-money laundering laws, including updated OFAC and SDN lists, and update
the program accordingly;
(2) Maintain all records required to be maintained under this Section;
(3) Review all filings required under this Section before submission;
(4) Escalate matters to the board of directors, senior management, or appropriate governing body and
seek outside counsel, as appropriate;
(5) Provide periodic reporting, at least annually, to the board of directors, senior management, or
appropriate governing body; and
(6) Ensure compliance with relevant training requirements.

Congrats, Bitcoin is almost assimilated by the state.
full member
Activity: 140
Merit: 100
Bitcoin - love & hate
January 16, 2015, 09:18:03 AM
Are you like the world's most honest person?

Probably. You can bet on that @ bitbet.us
Or you can short BTC. It is up to you.
sr. member
Activity: 378
Merit: 254
January 16, 2015, 09:06:53 AM
full member
Activity: 215
Merit: 100
January 16, 2015, 08:55:15 AM
Every ponzi needs new believers. Keep faith. I want to profit as much from bitcoin as possible. Don't ask, just buy.

Are you like the world's most honest person?
full member
Activity: 140
Merit: 100
Bitcoin - love & hate
January 16, 2015, 08:50:56 AM
False believers lose their faith in Bitcoin but not real believrs and new believers arrive everyday

Every ponzi needs new believers. Keep faith. I want to profit as much from bitcoin as possible. Don't ask, just buy.
hero member
Activity: 1022
Merit: 500
January 16, 2015, 08:42:14 AM
People lost their faith in Bitcoin. The rise of competing altcoins, govt regulation, shutdowns of exchanges, frozen bank accounts, recent crashes called "fluctuations", black PR. More than 4 years have passed since the launch and Bitcoin is still far from world-wide adoption. In our fast-paced world 4 years is too much time. Those who familiar with Bitcoin see other worrying indications - price manipulation, inability of core devs to solve technical issues related to scalability, centralization, successful attempts of some persons to regulate Bitcoin. For me it's obvious now that The End Is Near. Bitcoin failed, time to move on...

False believers lose their faith in Bitcoin but not real believrs and new believers arrive everyday
There are no competing altcoins
Governement regulation has been decent for Bitcoin
mtgox and the stamp hack are bad, yes but nothing we can't recover from
frozen bank accounts : bad fiat bank account regulation is good for Bitcoin in the long term perspective
crashes are not good but nothing we can't recover from
Adoption is growing
4 years is not too much time! We already have a 2.5 Billions market cap!
All markets are "manipulated", they can still rise long term with sometimes healthy crashes
sr. member
Activity: 378
Merit: 254
January 13, 2015, 09:00:19 AM
Poor Bitcoiners  Cry

Oh wait. It is still in Beta right?



Cheesy
sr. member
Activity: 252
Merit: 250
January 13, 2015, 08:51:46 AM
Please Bitcoin guys: Get your act together! You're ruining it for the rest of us.
member
Activity: 95
Merit: 10
January 13, 2015, 06:33:32 AM
No, it is movin' backwards to gamma   Grin
full member
Activity: 232
Merit: 100
January 13, 2015, 06:31:01 AM
Poor Bitcoiners  Cry

Oh wait. It is still in Beta right?

full member
Activity: 196
Merit: 101
June 02, 2014, 02:23:16 PM
Interesting necro.

I for one enjoy any necro'd thread. It gives a 'snap shot' of that given time.

Me too, HODL at all costs ignore the haters.

I'm holding most of my bitcoins since the last two bubbles and I've tried to trade the smallest part.
The smallest one now is so tiny that it have no value, but the largest...
legendary
Activity: 1722
Merit: 1000
June 02, 2014, 12:41:35 PM
Interesting necro.

I for one enjoy any necro'd thread. It gives a 'snap shot' of that given time.

Me too, HODL at all costs ignore the haters.
sr. member
Activity: 484
Merit: 250
June 02, 2014, 11:01:05 AM
agree, i have loaded with of NAS.
legendary
Activity: 1512
Merit: 1004
June 02, 2014, 10:12:47 AM
...
hero member
Activity: 980
Merit: 508
July 15, 2013, 03:38:16 PM
I wouldn't have cashed out Came-from-beyond. We ain't seen nothin' yet.
legendary
Activity: 2142
Merit: 1010
Newbie
May 08, 2013, 05:39:16 PM
I guess its easier to laugh at the OP rather than face the truth.

That may be, from your perspective.

From mine, it is rational (and therefore easier) to do both.

This statement makes no sense. R u trying to troll?
legendary
Activity: 2142
Merit: 1010
Newbie
May 08, 2013, 05:36:55 PM
I can't pay even for hosting (have to reopen my VISA) or for game-time (gave cash to my friend so he paid using his VISA). If I could pay for something with Bitcoin I would leave the coins in my wallet, unfortunatelly I couldn't...

I have a server but I'd have to set up PHPmyadmin and all. You could pay me monthy if you'd want.

Thx, but I prefer Hetzner.
member
Activity: 84
Merit: 10
May 08, 2013, 05:10:44 PM
I guess its easier to laugh at the OP rather than face the truth.

That may be, from your perspective.

From mine, it is rational (and therefore easier) to do both.
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