[Federal Register Volume 90, Number 63 (Thursday, April 3, 2025)]
[Notices]
[Pages 14670-14679]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2025-05699]


-----------------------------------------------------------------------

SECURITIES AND EXCHANGE COMMISSION

[Release No. 34-102742; File No. SR-CBOE-2025-017]


Self-Regulatory Organizations; Cboe Exchange, Inc.; Notice of 
Filing of a Proposed Rule Change, as Modified by Amendment No. 3, To 
Amend Rules 4.3, 4.20, and 8.30, To Allow the Exchange To List and 
Trade Options on the VanEck Bitcoin Trust

March 28, 2025.
    Pursuant to Section 19(b)(1) of the Securities Exchange Act of 1934 
(the ``Act''),\1\ and Rule 19b-4 thereunder,\2\ notice is hereby given 
that on March 14, 2025, Cboe Exchange, Inc. (the ``Exchange'' or ``Cboe 
Options'') filed with the Securities and Exchange Commission (the 
``Commission'') the proposed rule change as described in Items I, II, 
and III below, which Items have been prepared by the Exchange. On March 
26, 2025, the Exchange filed Amendment No. 1 to the proposed rule 
change. On March 27, 2025, the Exchange withdrew Amendment No. 1, filed 
and withdrew Amendment No. 2, and filed Amendment No. 3 to the 
proposal, which supersedes and replaces the original proposal in its 
entirety.\3\ The Commission is publishing this notice to solicit 
comments on the proposed rule change, as modified by Amendment No. 3, 
from interested persons.
---------------------------------------------------------------------------

    \1\ 15 U.S.C. 78s(b)(1).
    \2\ 17 CFR 240.19b-4.
    \3\ This Amendment No. 3 modifies the original filing by (1) 
adding information regarding the proposed changes to Rule 4.20; and 
(2) correcting minor technical errors.
---------------------------------------------------------------------------

I. Self-Regulatory Organization's Statement of the Terms of Substance 
of the Proposed Rule Change

    Cboe Exchange, Inc. (the ``Exchange'' or ``Cboe Options'') proposes 
to amend Rules 4.3, 4.20, and 8.30, to allow the Exchange to list and 
trade options on the VanEck Bitcoin Trust. The text of the proposed 
rule change is provided in Exhibit 5.
    The text of the proposed rule change is also available on the 
Exchange's website (http://www.cboe.com/AboutCBOE/CBOELegalRegulatoryHome.aspx), at the Exchange's Office of the 
Secretary, and at the Commission's Public Reference Room.

II. Self-Regulatory Organization's Statement of the Purpose of, and 
Statutory Basis for, the Proposed Rule Change

    In its filing with the Commission, the Exchange included statements 
concerning the purpose of and basis for the proposed rule change and 
discussed any comments it received on the proposed rule change. The 
text of these statements may be examined at the places specified in 
Item IV below. The Exchange has prepared summaries, set forth in 
sections A, B, and C below, of the most significant aspects of such 
statements.
---------------------------------------------------------------------------

    \4\ Rule 1.1 defines a ``Unit'' (which may also be referred to 
as an ETF) as a share or other security traded on a national 
securities exchange and defined as an NMS stock as set forth in Rule 
4.3.
    \5\ See Securities Exchange Act Release No. 99306 (Jan. 10, 
2024), 89 FR 3008 (Jan. 17, 2024) (SR-CboeBZX-2023-040) (Order 
Granting Accelerated Approval of Proposed Rule Changes, as Modified 
by Amendments Thereto, to List and Trade Bitcoin-Based Commodity-
Based Trust Shares and Trust Units) (``Bitcoin ETP Approval 
Order'').
---------------------------------------------------------------------------

A. Self-Regulatory Organization's Statement of the Purpose of, and 
Statutory Basis for, the Proposed Rule Change

1. Purpose
    The Exchange proposes to amend Rule 4.3 regarding the criteria for 
underlying securities. Specifically, the Exchange proposes to amend 
Rule 4.3, Interpretation and Policy .06(a)(4) to allow the Exchange to 
list and trade options on Units \4\ that represent interests in the 
VanEck Bitcoin Trust,\5\ designating them as ``Units'' deemed 
appropriate for options trading on the Exchange. Current Rule 4.3,

[[Page 14671]]

Interpretation and Policy .06 provides that, subject to certain other 
criteria set forth in that Rule, securities deemed appropriate for 
options trading include Units that represent certain types of 
interests,\6\ including interests in certain specific trusts that hold 
financial instruments, money market instruments, or precious metals 
(which are deemed commodities).
---------------------------------------------------------------------------

    \6\ See Rule 4.3, Interpretation and Policy .06(a), which 
permits options trading on Units that represent (1) interests in 
registered investment companies (or series thereof) organized as 
open-end management investment companies, unit investment trusts or 
similar entities that hold portfolios of securities and/or financial 
instruments including, but not limited to, stock index futures 
contracts, options on futures, options on securities and indexes, 
equity caps, collars and floors, swap agreements, forward contracts, 
repurchase agreements and reverse purchase agreements (the 
``Financial Instruments''), and money market instruments, including, 
but not limited to, U.S. government securities and repurchase 
agreements (the ``Money Market Instruments'') comprising or 
otherwise based on or representing investments in indexes or 
portfolios of securities and/or Financial Instruments and Money 
Market Instruments (or that hold securities in one or more other 
registered investment companies that themselves hold such portfolios 
of securities and/or Financial Instruments and Money Market 
Instruments); (2) interests in a trust or similar entity that holds 
a specified non-U.S. currency deposited with the trust or similar 
entity when aggregated in some specified minimum number may be 
surrendered to the trust by the beneficial owner to receive the 
specified non-U.S. currency and pays the beneficial owner interest 
and other distributions on deposited non-U.S. currency, if any, 
declared and paid by the trust (``Currency Trust Shares''); (3) 
commodity pool interests principally engaged, directly or 
indirectly, in holding and/or managing portfolios or baskets of 
securities, commodity futures contracts, options on commodity 
futures contracts, swaps, forward contracts and/or options on 
physical commodities and/or non-U.S. currency (``Commodity Pool 
Units''); (4) represent interests in the SPDR Gold Trust, the 
iShares COMEX Gold Trust, the iShares Silver Trust, the Aberdeen 
Standard Physical Silver Trust, the Aberdeen Standard Physical Gold 
Trust, the Aberdeen Standard Physical Palladium Trust, the Aberdeen 
Standard Physical Platinum Trust, the Sprott Physical Gold Trust, 
the Goldman Sachs Physical Gold ETF, the Fidelity Wise Origin 
Bitcoin Fund, the ARK 21Shares Bitcoin ETF, the iShares Bitcoin 
Trust, the Grayscale Bitcoin Trust, the Grayscale Bitcoin Mini 
Trust, or the Bitwise Bitcoin ETF; or (5) an interest in a 
registered investment company (``Investment Company'') organized as 
an open-end management investment company or similar entity, that 
invests in a portfolio of securities selected by the Investment 
Company's investment adviser consistent with the Investment 
Company's investment objectives and policies, which is issued in a 
specified aggregate minimum number in return for a deposit of a 
specified portfolio of securities and/or a cash amount with a value 
equal to the next determined net asset value (``NAV''), and when 
aggregated in the same specified minimum number, may be redeemed at 
a holder's request, which holder will be paid a specified portfolio 
of securities and/or cash with a value equal to the next determined 
NAV (``Managed Fund Share'').
---------------------------------------------------------------------------

    The VanEck Bitcoin Trust is a Bitcoin-backed commodity ETF 
structured as a trust. Similar to any Unit currently deemed appropriate 
for options trading under Rule 4.3, Interpretation and Policy .06, the 
investment objective of the VanEck Bitcoin Trust is for its shares to 
reflect the performance of Bitcoin (less the expenses of the trust's 
operations), offering investors an opportunity to gain exposure to 
Bitcoin without the complexities of Bitcoin delivery. As is the case 
for Units currently deemed appropriate for options trading, the VanEck 
Bitcoin Trust's shares represent units of fractional undivided 
beneficial interest in the trust, the assets of which consist 
principally of Bitcoin and are designed to track Bitcoin or the 
performance of the price of Bitcoin and offer access to the Bitcoin 
market.\7\ The VanEck Bitcoin Trust provides investors with cost-
efficient alternatives that allow a level of participation in the 
Bitcoin market through the securities market.
---------------------------------------------------------------------------

    \7\ The trust may include minimal cash and cash equivalents 
(i.e., short-term instruments with maturities of less than three 
months).
---------------------------------------------------------------------------

    The Exchange believes the VanEck Bitcoin Trust satisfies the 
Exchange's initial listing standards for Units on which the Exchange 
may list options. Specifically, the VanEck Bitcoin Trust satisfies the 
initial listing standards set forth in Rule 4.3, Interpretation and 
Policy .06(b), as is the case for other Units on which the Exchange 
lists options (including trusts that hold commodities). Rule 4.3, 
Interpretation and Policy .06 requires that Units must either (1) meet 
the criteria and standards set forth in Rule 4.3, Interpretation and 
Policy .01(a),\8\ or (2) be available for creation or redemption each 
business day from or through the issuer in cash or in kind at a price 
related to net asset value, and the issuer must be obligated to issue 
Units in a specified aggregate number even if some or all of the 
investment assets required to be deposited have not been received by 
the issuer, subject to the condition that the person obligated to 
deposit the investments has undertaken to deliver the investment assets 
as soon as possible and such undertaking is secured by the delivery and 
maintenance of collateral consisting of cash or cash equivalents 
satisfactory to the issuer, as provided in the respective prospectus. 
The VanEck Bitcoin Trust satisfies Rule 4.3, Interpretation and Policy 
.06(b)(2), as each is subject to this creation and redemption process.
---------------------------------------------------------------------------

    \8\ Rule 4.3, Interpretation and Policy .01 provides for 
guidelines to be by the Exchange when evaluating potential 
underlying securities for Exchange option transactions.
---------------------------------------------------------------------------

    While not required by the Rules for purposes of options listings, 
the Exchange believes the VanEck Bitcoin Trust satisfies the criteria 
and guidelines set forth in Rule 4.3, Interpretation and Policy .01. 
Pursuant to Rule 4.3(a), a security (which includes a Unit) on which 
options may be listed and traded on the Exchange must be duly 
registered (with the Commission) and be an NMS stock (as defined in 
Rule 600 of Regulation NMS under the Securities Exchange Act of 1934, 
as amended (the ``Act'')), and be characterized by a substantial number 
of outstanding shares that are widely held and actively traded.\9\ The 
VanEck Bitcoin Trust is an NMS Stock as defined in Rule 600 of 
Regulation NMS under the Act.\10\ The Exchange believes the VanEck 
Bitcoin Trust is characterized by a substantial number of outstanding 
shares that are widely held and actively traded.
---------------------------------------------------------------------------

    \9\ The criteria and guidelines for a security to be considered 
widely held and actively traded are set forth in Rule 4.3, 
Interpretation and Policy .01, subject to exceptions.
    \10\ An ``NMS stock'' means any NMS security other than an 
option, and an ``NMS security'' means any security or class of 
securities for which transaction reports are collected, processed, 
and made available pursuant to an effective transaction reporting 
plan (or an effective national market system plan for reporting 
transaction in listed options). See 17 CFR 242.600(b)(64) 
(definition of ``NMS security'') and (65) (definition of ``NMS 
stock'').
---------------------------------------------------------------------------

    As of March 5, 2025, the VanEck Bitcoin Trust had the following 
number of shares outstanding:

------------------------------------------------------------------------
                                                              Shares
                      Bitcoin fund                          outstanding
------------------------------------------------------------------------
VanEck Bitcoin Trust....................................     49,900,000
------------------------------------------------------------------------

    The VanEck Bitcoin Trust had significantly more than 7,000,000 
shares outstanding (approximately 7 times that amount), which is the 
minimum number of shares of a corporate stock that the Exchange 
generally requires to list options on that stock pursuant to Rule 4.3, 
Interpretation and Policy .01(a)(1). The Exchange believes this 
demonstrates that the VanEck Bitcoin Trust is characterized by a 
substantial number of outstanding shares.
    Further, the below table contains information regarding the number 
of beneficial holders of the VanEck Bitcoin Trust as of the specified 
dates:

[[Page 14672]]



------------------------------------------------------------------------
          Bitcoin fund            Beneficial holders         Date
------------------------------------------------------------------------
VanEck Bitcoin Trust............             32,469             1/31/25
------------------------------------------------------------------------

    As this table shows, the VanEck Bitcoin Trust has significantly 
more than 2,000 beneficial holders (approximately 16 times more), which 
is the minimum number of holders the Exchange generally requires for 
corporate stock in order to list options on that stock pursuant to Rule 
4.3, Interpretation and Policy .01(a)(2). Therefore, the Exchange 
believes the shares of the VanEck Bitcoin Trust are widely held.\11\
---------------------------------------------------------------------------

    \11\ The Exchange continues to believe assets under management 
(``AUM''), rather than shares outstanding and number of holders, is 
a better measure of investable capacity of ETFs and a more 
appropriate figure for determining position and exercise limits of 
ETFs and looks forward to further discussions with the Commission 
staff on this topic.
---------------------------------------------------------------------------

    The Exchange also believes the shares of the VanEck Bitcoin Trust 
are actively traded. As of March 5, 2025, the total trading volume (by 
shares) for the trust for the six-month period of September 5, 2024, 
through March 5, 2025, and the approximate average daily volume 
(``ADV'') (in shares and notional) over the 30-day period of September 
5, 2024, through March 5, 2025, for the VanEck Bitcoin Trust was as 
follows:

----------------------------------------------------------------------------------------------------------------
                                                6-Month trading                             30-Day ADV (notional
                Bitcoin fund                    volume (shares)      30-Day ADV (shares)             $)
----------------------------------------------------------------------------------------------------------------
VanEck Bitcoin Trust.......................           133,275,448                794,677          39,163,513.72
----------------------------------------------------------------------------------------------------------------

    As demonstrated above, as of March 5, 2025, the six-month trading 
volume for the VanEck Bitcoin Trust as of that date was substantially 
higher than 2,400,000 shares (approximately 55 times that amount), 
which is the minimum 12-month volume the Exchange generally requires 
for a corporate stock in order to list options on that security as set 
forth in Rule 4.3, Interpretation and Policy .01. The Exchange believes 
this data demonstrates the VanEck Bitcoin Trust is characterized as 
having shares that are actively traded.
    Options on the VanEck Bitcoin Trust will be subject to the 
Exchange's continued listing standards set forth in Rule 4.4, 
Interpretation and Policy .06 for Units deemed appropriate for options 
trading pursuant to Rule 4.3, Interpretation and Policy .06. 
Specifically, Rule 4.4, Interpretation and Policy .06 provides that 
Units that were initially approved for options trading pursuant to Rule 
4.3, Interpretation and Policy .06 shall be deemed not to meet the 
requirements for continued approval, and the Exchange shall not open 
for trading any additional series of option contracts of the class 
covering that such Units, if the Units cease to be an NMS stock or the 
Units are halted from trading in their primary market. Additionally, 
options on Units may be subject to the suspension of opening 
transactions in any of the following circumstances: (1) in the case of 
options covering Units approved for trading under Rule 4.3, 
Interpretation and Policy .06(b)(1), in accordance with the terms of 
paragraphs (a), (b), and (c) of Rule 4.4, Interpretation and Policy 
.01; (2) in the case of options covering Units approved for trading 
under Rule 4.3 Interpretation and Policy .06(b)(2) (as is the case for 
the VanEck Bitcoin Trust), following the initial twelve-month period 
beginning upon the commencement of trading in the Units on a national 
securities exchange and are defined as an NMS stock, there are fewer 
than 50 record and/or beneficial holders of such Units for 30 or more 
consecutive trading days; (3) the value of the index or portfolio of 
securities, non-U.S. currency, or portfolio of commodities including 
commodity futures contracts, options on commodity futures contracts, 
swaps, forward contracts and/or options on physical commodities and/or 
financial instruments and money market instruments on which the Units 
are based is no longer calculated or available; or (4) such other event 
shall occur or condition exist that in the opinion of the Exchange 
makes further dealing in such options on the Exchange inadvisable.
    Options on the VanEck Bitcoin Trust will be physically settled 
contracts with American-style exercise.\12\ Consistent with current 
Rule 4.5, which governs the opening of options series on a specific 
underlying security (including Units), the Exchange will open at least 
one expiration month for options on the VanEck Bitcoin Trust \13\ at 
the commencement of trading on the Exchange and may also list series of 
options on the VanEck Bitcoin Trust for trading on a weekly,\14\ 
monthly,\15\ or quarterly \16\ basis. The Exchange may also list long-
term equity option series (``LEAPS'') that expire from 12 to 180 months 
from the time they are listed.
---------------------------------------------------------------------------

    \12\ See Rule 4.2, which provides that the rights and 
obligations of holders and writers are set forth in the Rules of the 
Options Clearing Corporation (``OCC''); and Equity Options Product 
Specifications Jan. 3, 2024), available at Equity Options 
Specifications (cboe.com); see also OCC Rules, Chapters VIII (which 
governs exercise and assignment) and Chapter IX (which governs the 
discharge of delivery and payment obligations arising out of the 
exercise of physically settled stock option contracts).
    \13\ See Rule 4.5(b). The monthly expirations are subject to 
certain listing criteria for underlying securities described within 
Rule 4.3. Monthly listings expire the third Friday of the month. The 
term ``expiration date'' (unless separately defined elsewhere in the 
OCC By-Laws), when used in respect of an option contract (subject to 
certain exceptions), means the third Friday of the expiration month 
of such option contract, or if such Friday is a day on which the 
exchange on which such option is listed is not open for business, 
the preceding day on which such exchange is open for business. See 
OCC By-Laws Article I, Section 1. Pursuant to Rule 4.5(c), 
additional series of options of the same class may be opened for 
trading on the Exchange when the Exchange deems it necessary to 
maintain an orderly market, to meet customer demand or when the 
market price of the underlying stock moves more than five strike 
prices from the initial exercise price or prices. New series of 
options on an individual stock may be added until the beginning of 
the month in which the options contract will expire. Due to unusual 
market conditions, the Exchange, in its discretion, may add a new 
series of options on an individual stock until the close of trading 
on the business day prior to expiration.
    \14\ See Rule 4.5(d).
    \15\ See Rule 4.5(g).
    \16\ See Rule 4.5(e).
---------------------------------------------------------------------------

    Pursuant to Rule 4.5, Interpretation and Policy .07, which governs 
strike prices of series of options on Units, the interval of strikes 
prices for series of options on the VanEck Bitcoin Trust will be $1 or 
greater when the strike price is $200 or less and $5 or greater where 
the strike price is over

[[Page 14673]]

$200.\17\ Additionally, the Exchange may list series of options 
pursuant to the $1 Strike Price Interval Program,\18\ the $0.50 Strike 
Program,\19\ the $2.50 Strike Price Program,\20\ and the $5 Strike 
Program.\21\ Pursuant to Rule 5.4, where the price of a series of the 
VanEck Bitcoin Trust option is less than $3.00, the minimum increment 
will be $0.05, and where the price is $3.00 or higher, the minimum 
increment will be $0.10.\22\ Any and all new series of VanEck Bitcoin 
Trust options that the Exchange lists will be consistent and comply 
with the expirations, strike prices, and minimum increments set forth 
in Rules 4.5 and 5.4, as applicable.
---------------------------------------------------------------------------

    \17\ The Exchange notes that for options listed pursuant to the 
Short Term Option Series Program, the Monthly Options Series 
Program, and the Quarterly Options Series Program, Rules 4.5(d), 
(e), and (g) specifically sets forth intervals between strike prices 
on Quarterly Options Series, Short Term Option Series, and Monthly 
Options Series, respectively.
    \18\ See Rule 4.5, Interpretation and Policy .01(a).
    \19\ See Rule 4.5, Interpretation and Policy .01(b).
    \20\ See Rule 4.5, Interpretation and Policy .04.
    \21\ See Rule 4.5, Interpretation and Policy .01(f).
    \22\ If options on the VanEck Bitcoin Trust are eligible to 
participate in the Penny Interval Program, the minimum increment 
will be $0.01 for series with a price below $3.00 and $0.05 for 
series with a price at or above $3.00. See 5.4(d) (which describes 
the requirements for the Penny Interval Program).
    \23\ Over 90% of the ETFs used for comparison have a limit of at 
least 200,000, and more than 75% have a limit of 250,000.
---------------------------------------------------------------------------

    VanEck Bitcoin Trust options will trade in the same manner as any 
other Unit options on the Exchange. The Exchange Rules that currently 
apply to the listing and trading of all Unit options on the Exchange, 
including, for example, Rules that govern listing criteria, 
expirations, exercise prices, minimum increments, margin requirements, 
customer accounts, and trading halt procedures will apply to the 
listing and trading of VanEck Bitcoin Trust options on the Exchange in 
the same manner as they apply to other options on all other Units that 
are listed and traded on the Exchange, including the precious-metal 
backed commodity Units already deemed appropriate for options trading 
on the Exchange pursuant to current Rule 4.3, Interpretation and Policy 
.06(a)(4).
    Rule 4.20 currently permits the Exchange to authorize for trading a 
FLEX option class on any equity security if it may authorize for 
trading a non-FLEX option class on that equity security pursuant to 
Rule 4.3. The proposed rule change amends Rule 4.20 to exclude the 
VanEck Bitcoin Trust from this provision.
    The Exchange also proposes to amend Rule 8.30. Specifically, the 
Exchange proposes to amend Rule 8.30, Interpretation and Policy .10 to 
provide a position limit of 25,000 same side option contracts for the 
VanEck Bitcoin Trust option. Additionally, pursuant to Rule 8.42, 
Interpretation and Policy .02, the exercise limits for options on the 
VanEck Bitcoin Trust will be equivalent to this proposed position 
limit.
    The Exchange determined these proposed position and exercise limits 
considering, among other things, the approximate six-month average 
daily volume (``ADV'') and outstanding shares of the VanEck Bitcoin 
Trust (which as discussed above demonstrate that the VanEck Bitcoin 
Trust is widely held and actively traded and thus justify these 
conservatively proposed position limits), as set forth below, along 
with market capitalization (as of March 5, 2025):

----------------------------------------------------------------------------------------------------------------
                                                 Six-month ADV                             Market capitalization
          Underlying Bitcoin fund                   (shares)          Outstanding shares            ($)
----------------------------------------------------------------------------------------------------------------
VanEck Bitcoin Trust.......................             1,074,802             49,900,000          1,271,859,416
----------------------------------------------------------------------------------------------------------------

    The Exchange then compared the number of outstanding shares of the 
VanEck Bitcoin Trust to those of other ETFs. The following table 
provides the approximate average position (and exercise limit) of ETF 
options with similar outstanding shares (as of March 5, 2025), compared 
to the proposed position and exercise limit for the VanEck Bitcoin 
Trust options:

----------------------------------------------------------------------------------------------------------------
                                                                       Average limit of
                      Underlying Bitcoin fund                         other ETF options        Proposed limit
                                                                         (contracts)            (contracts)
----------------------------------------------------------------------------------------------------------------
VanEck Bitcoin Trust..............................................          \23\ 225,000                 25,000
----------------------------------------------------------------------------------------------------------------

    The Exchange considered current position and exercise limits of 
options on ETFs with outstanding shares comparable to those of the 
VanEck Bitcoin Trust, with the proposed limit significantly lower 
(between two and ten times lower) than the average limits of the 
options on the other ETFs. As discussed above, the VanEck Bitcoin Trust 
is actively held and widely traded (all statistics as of March 5, 2025) 
because it: (1) had significantly more than 7,000,000 shares 
outstanding, which is the minimum number of shares of a corporate stock 
that the Exchange generally requires to list options on that stock 
pursuant to Rule 4.3, Interpretation and Policy .01(a)(1); (2) had 
significantly more than 2,000 beneficial holders, which is the minimum 
number of holders the Exchange generally requires for corporate stock 
in order to list options on that stock pursuant to Rule 4.3, 
Interpretation and Policy .01(a)(2); and (3) had a six-month trading 
volume substantially higher than 2,400,000 shares, which is the minimum 
12-month volume the Exchange generally requires for a security in order 
to list options on that security as set forth in Rule 4.3, 
Interpretation and Policy .01.
    With respect to outstanding shares, if a market participant held 
the maximum number of positions possible pursuant to the proposed 
position and exercise limits, the equivalent shares represented by the 
proposed position/exercise limit would represent the following 
approximate percentage of current outstanding shares:

----------------------------------------------------------------------------------------------------------------
                                            Proposed position/
         Underlying Bitcoin fund            exercise limit (in      Outstanding shares         Percentage of
                                            equivalent shares)                               outstanding shares
----------------------------------------------------------------------------------------------------------------
VanEck Bitcoin Trust....................             2,500,000                49,900,000                   5.01
----------------------------------------------------------------------------------------------------------------


[[Page 14674]]

    As this table demonstrates, if a market participant held the 
maximum permissible options positions in VanEck Bitcoin Trust options 
and exercised all of them at the same time, that market participant 
would control a small percentage of the outstanding shares of the 
VanEck Bitcoin Trust.
    Cboe Options Rule 8.30, Interpretation and Policy .02, provides two 
methods of qualifying for a position limit tier above 25,000 option 
contracts. The first method is based on six-month trading volume in the 
underlying security, and the second method is based on slightly lower 
six-month trading volume and number of shares outstanding in the 
underlying security. An underlying stock or ETF that qualifies for 
method two based on trading volume and number of shares outstanding 
would be required to have the minimum number of outstanding shares as 
shown in middle column of the table below.
    The table, which provides the equivalent shares of the position 
limits applicable to equity options, including ETFs, further represents 
the percentages of the minimum number of outstanding shares that an 
underlying stock or ETF must have to qualify for that position limit 
(under the second method described above), all of which are higher than 
the percentages for the VanEck Bitcoin Trust.

----------------------------------------------------------------------------------------------------------------
                                                                                                 Percentage of
    Position/exercise limit (in                     Minimum outstanding shares                    outstanding
        equivalent shares)                                                                           shares
----------------------------------------------------------------------------------------------------------------
2,500,000.........................                                             \24\ 6,300,000               40.0
5,000,000.........................                                                 40,000,000               12.5
7,500,000.........................                                                120,000,000                6.3
20,000,000........................                                                240,000,000                8.3
25,000,000........................                                                300,000,000                8.3
----------------------------------------------------------------------------------------------------------------

    The equivalent shares represented by the proposed position and 
exercise limits for the VanEck Bitcoin Trust as a percentage of 
outstanding shares of the VanEck Bitcoin Trust is significantly lower 
than the percentage for the lowest possible position limit for equity 
options of 25,000 (under 6% compared to 40%) and is lower than that 
percentage for each current position limit bucket.\25\
---------------------------------------------------------------------------

    \24\ This is the minimum number of outstanding shares an 
underlying security must have for the Exchange to continue to list 
options on that security, so this would be the smallest number of 
outstanding shares permissible for any corporate option that would 
have a position limit of 25,000 contract. See Rule 4.4, 
Interpretation and Policy .01. This rule applies to corporate stock 
options but not ETF options, which currently have no requirement 
regarding outstanding shares of the underlying ETF for the Exchange 
to continue listing options on that ETF. Therefore, there may be ETF 
options trading for which the 25,000 contract position limits 
represents an even larger percentage of outstanding shares of the 
underlying ETF than set forth above.
    \25\ As these percentages are based on the minimum number of 
outstanding shares an underlying security must have to qualify for 
the applicable position limit, these are the highest possible 
percentages that would apply to any option subject to that position 
and exercise limit.
---------------------------------------------------------------------------

    Further, the proposed position and exercise limits for the VanEck 
Bitcoin Trust option are significantly below the limits that would 
otherwise apply pursuant to current Rule 8.30. These position and 
exercise limits are the lowest position and exercise limits available 
in the options industry, are extremely conservative and more than 
appropriate given the market capitalization, average daily volume, and 
high number of outstanding shares of the VanEck Bitcoin Trust.
    All of the above information demonstrates that the proposed 
position and exercise limits for the VanEck Bitcoin Trust options are 
more than reasonable and appropriate. The trading volume, ADV, and 
outstanding shares of the VanEck Bitcoin Trust demonstrate that the 
trust is actively traded and widely held, and proposed position and 
exercise limits are well below those of other ETFs with similar market 
characteristics. The proposed position and exercise limits are the 
lowest position and exercise limits available for equity options in the 
industry, are extremely conservative, and are more than appropriate 
given the VanEck Bitcoin Trust's market capitalization, ADV, and high 
number of outstanding shares.
    Today, the Exchange has an adequate surveillance program in place 
for options. Cboe intends to apply those same program procedures to 
options on the VanEck Bitcoin Trust that it applies to the Exchange's 
other options products.\26\ Cboe's market surveillance staff would have 
access to the surveillances conducted by Cboe BZX Exchange, Inc.\27\ 
with respect to the VanEck Bitcoin Trust and would review activity in 
the underlying VanEck Bitcoin Trust when conducting surveillances for 
market abuse or manipulation in the options on the VanEck Bitcoin 
Trust. Additionally, the Exchange is a member of the Intermarket 
Surveillance Group (``ISG'') under the ISG Agreement. ISG members work 
together to coordinate surveillance and investigative information 
sharing in the stock, options, and futures markets. In addition to 
obtaining information from BZX, the Exchange would be able to obtain 
information regarding trading of shares of the VanEck Bitcoin Trust 
through ISG.
---------------------------------------------------------------------------

    \26\ The surveillance program includes surveillance patterns for 
price and volume movements as well as patterns for potential 
manipulation (e.g., spoofing and marking the close).
    \27\ Cboe BZX Exchange, Inc. is an affiliated market of the 
Exchange.
---------------------------------------------------------------------------

    In addition, Cboe has a Regulatory Services Agreement with the 
Financial Industry Regulatory Authority (``FINRA'') for certain market 
surveillance, investigation and examinations functions. Pursuant to a 
multi-party 17d-2 joint plan, all options exchanges allocate amongst 
themselves and FINRA responsibilities to conduct certain options-
related market surveillance that are common to rules of all options 
exchanges.\28\
---------------------------------------------------------------------------

    \28\ Section 19(g)(1) of the Act, among other things, requires 
every self-regulatory organization (``SRO'') registered as a 
national securities exchange or national securities association to 
comply with the Act, the rules and regulations thereunder, and the 
SRO's own rules, and, absent reasonable justification or excuse, 
enforce compliance by its members and persons associated with its 
members. See 15 U.S.C. 78q(d)(1) and 17 CFR 240.17d-2. Section 
17(d)(1) of the Act allows the Commission to relieve an SRO of 
certain responsibilities with respect to members of the SRO who are 
also members of another SRO (``common members''). Specifically, 
Section 17(d)(1) allows the Commission to relieve an SRO of its 
responsibilities to: (i) receive regulatory reports from such 
members; (ii) examine such members for compliance with the Act and 
the rules and regulations thereunder, and the rules of the SRO; or 
(iii) carry out other specified regulatory responsibilities with 
respect to such members.
---------------------------------------------------------------------------

    The underlying shares of spot bitcoin exchange-traded products 
(``ETPs''), including the VanEck Bitcoin Trust, are also subject to 
safeguards related to addressing market abuse and manipulation. As the 
Commission stated in its order approving proposals of several exchanges 
to list and trade shares of spot bitcoin-based ETPs:


[[Page 14675]]


    Each Exchange has a comprehensive surveillance-sharing agreement 
with the CME via their common membership in the Intermarket 
Surveillance Group. This facilitates the sharing of information that 
is available to the CME through its surveillance of its markets, 
including its surveillance of the CME bitcoin futures market.\29\
---------------------------------------------------------------------------

    \29\ See Bitcoin ETP Approval Order at 3009.

    The Exchange states that, given the consistently high correlation 
between the CME Bitcoin futures market and the spot bitcoin market, as 
confirmed by the Commission through robust correlation analysis, the 
Commission was able to conclude that such surveillance sharing 
agreements could reasonably be ``expected to assist in surveilling for 
fraudulent and manipulative acts and practices in the specific context 
of the [Bitcoin ETPs].'' \30\
---------------------------------------------------------------------------

    \30\ See Bitcoin ETP Approval Order, 89 FR at 3010-11.
---------------------------------------------------------------------------

    In light of surveillance measures related to both options and 
futures as well as the VanEck Bitcoin Trust,\31\ the Exchange believes 
that existing surveillance procedures are designed to deter and detect 
possible manipulative behavior which might potentially arise from 
listing and trading the proposed options on the VanEck Bitcoin Trust. 
Further, the Exchange will implement any new surveillance procedures it 
deems necessary to effectively monitor the trading of options on the 
VanEck Bitcoin Trust.
---------------------------------------------------------------------------

    \31\ See supra note 5.
---------------------------------------------------------------------------

    The Exchange has also analyzed its capacity and represents that it 
believes the Exchange and OPRA have the necessary systems capacity to 
handle the additional traffic associated with the listing of new series 
that may result from the introduction of options on VanEck Bitcoin 
Trust up to the number of expirations currently permissible under the 
Rules. Because the proposal is limited to two classes, the Exchange 
believes any additional traffic that may be generated from the 
introduction of VanEck Bitcoin Trust options will be manageable.
    The Exchange believes that offering options on the VanEck Bitcoin 
Trust will benefit investors by providing them with an additional, 
relatively lower cost investing tool to gain exposure to the price of 
Bitcoin and hedging vehicle to meet their investment needs in 
connection with Bitcoin-related products and positions. The Exchange 
expects investors will transact in options on the VanEck Bitcoin Trust 
in the unregulated over-the-counter (``OTC'') options market,\32\ but 
may prefer to trade such options in a listed environment to receive the 
benefits of trading listing options, including (1) enhanced efficiency 
in initiating and closing out positions; (2) increased market 
transparency; and (3) heightened contra-party creditworthiness due to 
the role of OCC as issuer and guarantor of all listed options. The 
Exchange believes that listing the VanEck Bitcoin Trust options may 
cause investors to bring this liquidity to the Exchange, would increase 
market transparency and enhance the process of price discovery 
conducted on the Exchange through increased order flow. The Units that 
hold financial instruments, money market instruments, or precious metal 
commodities on which the Exchange may already list and trade options 
are trusts structured in substantially the same manner as the VanEck 
Bitcoin Trust and essentially offer the same objectives and benefits to 
investors, just with respect to different assets. The Exchange notes 
that it has not identified any issues with the continued listing and 
trading of any Unit options, including Units that hold commodities 
(i.e., precious metals) that it currently lists and trades on the 
Exchange.
---------------------------------------------------------------------------

    \32\ The Exchange understands from customers that investors have 
historically transacted in options on Units in the OTC options 
market if such options were not available for trading in a listed 
environment.
---------------------------------------------------------------------------

2. Statutory Basis
    The Exchange believes the proposed rule change is consistent with 
the Act and the rules and regulations thereunder applicable to the 
Exchange and, in particular, the requirements of Section 6(b) of the 
Act.\33\ Specifically, the Exchange believes the proposed rule change 
is consistent with the Section 6(b)(5) \34\ requirements that the rules 
of an exchange be designed to prevent fraudulent and manipulative acts 
and practices, to promote just and equitable principles of trade, to 
foster cooperation and coordination with persons engaged in regulating, 
clearing, settling, processing information with respect to, and 
facilitating transactions in securities, to remove impediments to and 
perfect the mechanism of a free and open market and a national market 
system, and, in general, to protect investors and the public interest. 
Additionally, the Exchange believes the proposed rule change is 
consistent with the Section 6(b)(5) \35\ requirement that the rules of 
an exchange not be designed to permit unfair discrimination between 
customers, issuers, brokers, or dealers.
---------------------------------------------------------------------------

    \33\ 15 U.S.C. 78f(b).
    \34\ 15 U.S.C. 78f(b)(5).
    \35\ Id.
---------------------------------------------------------------------------

    In particular, the Exchange believes that the proposal to list and 
trade options on the VanEck Bitcoin Trust will remove impediments to 
and perfect the mechanism of a free and open market and a national 
market system and, in general, protect investors because offering 
options on the VanEck Bitcoin Trust will provide investors with an 
opportunity to realize the benefits of utilizing options on the VanEck 
Bitcoin Trust, including cost efficiencies and increased hedging 
strategies. The Exchange believes that offering the VanEck Bitcoin 
Trust options will benefit investors by providing them with a 
relatively lower-cost risk management tool, which will allow them to 
manage their positions and associated risk in their portfolios more 
easily in connection with exposure to the price of Bitcoin and with 
Bitcoin-related products and positions. Additionally, the Exchange's 
offering of VanEck Bitcoin Trust options will provide investors with 
the ability to transact in such options in a listed market environment 
as opposed to in the unregulated OTC options market, which would 
increase market transparency and enhance the process of price discovery 
conducted on the Exchange through increased order flow to the benefit 
of all investors. The Exchange also notes that it already lists options 
on other commodity-based Units,\36\ which, as described above, are 
trusts structured in substantially the same manner as the VanEck 
Bitcoin Trust and essentially offer the same objectives and benefits to 
investors and for which the Exchange has not identified any issues with 
the continued listing and trading of commodity-backed Unit options it 
currently lists for trading. \37\
---------------------------------------------------------------------------

    \36\ See Rule 4.3, Interpretation and Policy .06(a)(4).
    \37\ See Securities Exchange Act No. 101387 (Oct. 18, 2024) 89 
FR 84948 (Oct. 24, 2024) (SR-CBOE-2024-035) (Notice of Filing of 
Amendment Nos. 2 and 3 and Order Granting Accelerated Approval of a 
Proposed Rule Change, as Modified by Amendment Nos. 2 and 3, To 
Permit the Listing and Trading of Options on Bitcoin Exchange-Traded 
Funds).
---------------------------------------------------------------------------

    The Exchange also believes the proposed rule change will remove 
impediments to and perfect the mechanism of a free and open market and 
a national market system, because it is consistent with current 
Exchange Rules previously filed with the Commission.\38\ Options on the 
VanEck Bitcoin Trust satisfy the initial listing standards and 
continued listing standards currently in the Exchange Rules applicable 
to options on all Units, including Units that hold other commodities 
already deemed appropriate for options trading on the

[[Page 14676]]

Exchange. Additionally, as demonstrated above, the VanEck Bitcoin Trust 
is characterized by a substantial number of shares that are widely held 
and actively traded. VanEck Bitcoin Trust options will trade in the 
same manner as any other Unit options--the same Exchange Rules that 
currently govern the listing and trading of all Unit options, including 
permissible expirations, strike prices and minimum increments, and 
applicable margin requirements, will govern the listing and trading of 
options on the VanEck Bitcoin Trust in the same manner.
---------------------------------------------------------------------------

    \38\ Id.
---------------------------------------------------------------------------

    The Exchange believes the proposed rule change to exclude the 
VanEck Bitcoin Trust from being eligible for trading as FLEX options is 
consistent with the Act, because it will permit the Exchange to 
continue to participate in ongoing discussions with the Commission 
regarding appropriate position limits for ETF options.\39\
---------------------------------------------------------------------------

    \39\ The Exchange may submit a separate rule filing that would 
permit the Exchange to authorize for trading FLEX options on the 
VanEck Bitcoin Trust (which filing may propose changes to existing 
FLEX option position limits for such options if appropriate).
---------------------------------------------------------------------------

    The Exchange believes the proposed position and exercise limits are 
designed to prevent fraudulent and manipulative acts and practices and 
promote just and equitable principles of trade, as they are designed to 
address potential manipulative schemes and adverse market impacts 
surrounding the use of options, such as disrupting the market in the 
security underlying the options. The proposed position and exercise 
limits in this proposal for the VanEck Bitcoin Trust options are 25,000 
contracts, which is currently the lowest limit applicable to any equity 
options (including ETF options). The Exchange believes the proposed 
position and exercise limits are extremely conservative for the VanEck 
Bitcoin Trust option given the trading volume and outstanding shares 
for each. The information above demonstrates that the average position 
and exercise limits of options on ETFs with comparable outstanding 
shares and trading volume to those of the VanEck Bitcoin Trust is 
significantly higher than the proposed position and exercise limits for 
the VanEck Bitcoin Trust options. Therefore, the proposed position and 
exercise limits for the VanEck Bitcoin Trust options are conservative 
relative to options on ETFs with comparable market characteristics.
    Further, given that the issuer of the VanEck Bitcoin Trust may 
create and redeem shares that represent an interest in Bitcoin, the 
Exchange believes it is relevant to compare the size of a position 
limit to the market capitalization of the Bitcoin market. As of March 
5, 2025, the global supply of Bitcoin was 19,832,309, and the price of 
one Bitcoin was approximately $90,608.57,\40\ which equates to a market 
capitalization of approximately $1.797 trillion. Consider the proposed 
position and exercise limit of 25,000 option contracts for the VanEck 
Bitcoin Trust option. A position and exercise limit of 25,000 same side 
contracts effectively restricts a market participant from holding 
positions that could result in the receipt of no more than 2,500,000 of 
VanEck Bitcoin Trust shares, as applicable (if that market participant 
exercised all of its options). The following table shows the share 
price of the VanEck Bitcoin Trust on March 5, 2025, the value of 
2,500,000 shares of the VanEck Bitcoin Trust at that price, and the 
approximate percentage of that value of the size of the Bitcoin market:
---------------------------------------------------------------------------

    \40\ See Blockchain.com [verbar] Charts--Total Circulating 
Bitcoin.

----------------------------------------------------------------------------------------------------------------
                                                                      Value of 2,500,000
                Bitcoin fund                  March 5, 2025 share     shares of Bitcoin    Percentage of Bitcoin
                                                   price ($)               fund ($)                market
----------------------------------------------------------------------------------------------------------------
VanEck Bitcoin Trust.......................                 25.60             64,000,000                 0.0035
----------------------------------------------------------------------------------------------------------------

    Therefore, if a market participant with the maximum 25,000 same 
side contracts in VanEck Bitcoin Trust options exercised all positions 
at one time, such an event would have no practical impact on the 
Bitcoin market.
    The Exchange also believes the proposed limits are appropriate 
given position limits for Bitcoin futures. For example, the Chicago 
Mercantile Exchange (``CME'') imposes a position limit of 2,000 futures 
(for the initial spot month) on its Bitcoin futures contract.\41\ On 
March 5, 2025, CME Mar 25 Bitcoin Futures settled at $90,935. A 
position of 2,000 CME Bitcoin futures, therefore, would have a notional 
value of $909,350,000. The following table shows the share price of the 
VanEck Bitcoin Trust on March 5, 2025, and the approximate number of 
option contracts that equates to that notional value:
---------------------------------------------------------------------------

    \41\ See CME Rulebook Chapter 350 (description of CME Bitcoin 
Futures) and Chapter 5, Position Limit, Position Accountability and 
Reportable Level Table in the Interpretations & Special Notices. 
Each CME Bitcoin futures contract is valued at five Bitcoins as 
defined by the CME CF Bitcoin Reference Rate (``BRR''). See CME Rule 
35001.

------------------------------------------------------------------------
                                     March 5, 2025     Number of option
          Bitcoin fund              share price ($)        contracts
------------------------------------------------------------------------
VanEck Bitcoin Trust............              25.60             355,214
------------------------------------------------------------------------

    The approximate number of option contracts for the VanEck Bitcoin 
Trust that equate to the notional value of CME Bitcoin futures is 
significantly higher than the proposed limit of 25,000 options contract 
for the VanEck Bitcoin Trust option. The fact that many options 
ultimately expire out-of-the-money and thus are not exercised for 
shares of the underlying, while the delta of a Bitcoin Future is 1, 
further demonstrates how conservative the proposed limits of 25,000 
options contracts are for the VanEck Bitcoin Trust options.
    The Exchange notes, unlike options contracts, CME position limits 
are calculated on a net futures-equivalent basis by contract and 
include contracts that aggregate into one or more base contracts 
according to an aggregation ratio(s).\42\ Therefore, if a portfolio 
includes positions in options on futures, CME would aggregate those 
positions into the underlying futures contracts in accordance with a 
table published by CME on a delta equivalent value for the relevant 
spot month, subsequent spot month, single month and all month position 
limits.\43\ If a position exceeds position limits because of an option

[[Page 14677]]

assignment, CME permits market participants to liquidate the excess 
position within one business day without being considered in violation 
of its rules. Additionally, if at the close of trading, a position that 
includes options exceeds position limits for futures contracts, when 
evaluated using the delta factors as of that day's close of trading but 
does not exceed the limits when evaluated using the previous day's 
delta factors, then the position shall not constitute a position limit 
violation. Considering CME's position limits on futures for Bitcoin, 
the Exchange believes that the proposed same side position limits are 
more than appropriate for the VanEck Bitcoin Trust options.
---------------------------------------------------------------------------

    \42\ See CME Rulebook Chapter 5, Position Limit, Position 
Accountability and Reportable Level Table in the Interpretations & 
Special Notices.
    \43\ Id.
---------------------------------------------------------------------------

    The Exchange believes the proposed position and exercise limits in 
this proposal will have no material impact to the supply of Bitcoin. 
For example, consider again the proposed position limit of 25,000 
option contracts for the VanEck Bitcoin Trust option. As noted above, a 
position limit of 25,000 same side contracts effectively restricts a 
market participant from holding positions that could result in the 
receipt of no more than 2,500,000 shares of the applicable VanEck 
Bitcoin Trust (if that market participant exercised all its options). 
As of March 5, 2025, the VanEck Bitcoin Trust had the number of shares 
outstanding set forth in the table below. The table below also sets 
forth the approximate number of market participants that could hold the 
maximum of 25,000 same side positions in the VanEck Bitcoin Trust that 
would equate to the number of shares outstanding of the VanEck Bitcoin:

------------------------------------------------------------------------
                                                       Number of market
                                                       participants with
          Bitcoin fund            Shares outstanding   25,000 same side
                                                           positions
------------------------------------------------------------------------
VanEck Bitcoin Trust............         49,900,000                  20
------------------------------------------------------------------------

    This means if 20 market participants had 25,000 same side positions 
in VanEck Bitcoin Trust options, each of them would have to 
simultaneously exercise all of those options to create a scenario that 
may put the underlying security under stress. The Exchange believes it 
is highly unlikely for either such event to occur; however, even if 
either such event did occur, the Exchange would not expect the VanEck 
Bitcoin Trust to be under stress because such an event would merely 
induce the creation of more shares through the trust's creation and 
redemption process.
    As of March 5, 2025, the global supply of Bitcoin was approximately 
19,832,309.\44\ Based on the $25.60 price of VanEck Bitcoin Trust share 
on March 5, 2025, a market participant could have redeemed one Bitcoin 
for approximately 3,539 VanEck Bitcoin Trust shares. Another 
70,194,417,201 VanEck Bitcoin Trust shares could be created before the 
supply of Bitcoin was exhausted. As a result, 28,078 market 
participants would have to simultaneously exercise 25,000 same side 
positions in VanEck Bitcoin Trust options to receive shares of the 
VanEck Bitcoin Trust holding the entire global supply of Bitcoin. 
Unlike the VanEck Bitcoin Trust, the number of shares that corporations 
may issue is limited. However, like corporations, which authorize 
additional shares, repurchase shares, or split their shares, the VanEck 
Bitcoin Trust may create, redeem, or split shares in response to 
demand. While the supply of Bitcoin is limited to 21,000,000, it is 
believed that it will take more than 100 years to fully mine the 
remaining Bitcoin. The supply of Bitcoin is larger than the available 
supply of most securities.\45\ Given the significant unlikelihood of 
any of these events ever occurring, the Exchange does not believe 
options on the VanEck Bitcoin Trust should be subject to position and 
exercise limits even lower than those proposed (which are already equal 
to the lowest available limit for equity options in the industry) to 
protect the supply of Bitcoin.\46\
---------------------------------------------------------------------------

    \44\ See Blockchain.com [verbar] Charts--Total Circulating 
Bitcoin (which also shows the price of one Bitcoin equal to 
$90,608.57).
    \45\ The market capitalization of Bitcoin would rank in the top 
10 among securities. See https://companiesmarketcap.com/usa/largest-companies-in-the-usa-by-market-cap/.
    \46\ This would be even more unlikely with respect to the VanEck 
Bitcoin Trust for which the Exchange proposes lower position limits.
---------------------------------------------------------------------------

    The Exchange believes the available supply of Bitcoin is not 
relevant to the determination of position and exercise limits for 
options overlying the VanEck Bitcoin Trust. Position and exercise 
limits are not a tool that should be used to address a potential 
limited supply of the underlying of an underlying. Position and 
exercise limits do not limit the total number of options that may be 
held, but rather they limit the number of positions a single customer 
may hold or exercise at one time.\47\ ``Since the inception of 
standardized options trading, the options exchanges have had rules 
imposing limits on the aggregate number of options contracts that a 
member or customer could hold or exercise.'' \48\ Position and exercise 
limit rules are intended ``to prevent the establishment of options 
positions that can be used or might create incentives to manipulate or 
disrupt the underlying market so as to benefit the options position. In 
particular, position and exercise limits are designed to minimize the 
potential for mini-manipulations and for corners or squeezes of the 
underlying market. In addition, such limits serve to reduce the 
possibility for disruption of the options market itself, especially in 
illiquid options classes.'' \49\
---------------------------------------------------------------------------

    \47\ For example, suppose an option has a position limit of 
25,000 option contracts and there are a total of 10 investors 
trading that option. If all 10 investors max out their positions, 
that would result in 250,000 option contracts outstanding at that 
time. However, suppose 10 more investors decide to begin trading 
that option and also max out their positions. This would result in 
500,000 option contracts outstanding at that time. An increase in 
the number of investors could cause an increase in outstanding 
options even if position limits remain unchanged.
    \48\ See Securities Exchange Act Release No. 39489 (Dec. 24, 
1997), 63 FR 276 (Jan. 5, 1998) (SR-CBOE-1997-11).
    \49\ See id.
---------------------------------------------------------------------------

    The Exchange notes that a Registration Statement on Form S-1 was 
filed with the Commission for the VanEck Bitcoin Trust, each of which 
described the supply of Bitcoin as being limited to 21,000,000 (of 
which approximately 90% had already been mined), and that the limit 
would be reached around the year 2140.\50\ The Registration Statement 
permits an unlimited number of shares of the applicable VanEck Bitcoin 
Trust to be created. Further, the Commission approved proposed rule 
changes that permitted the listing and trading of shares of the VanEck 
Bitcoin Trust, which approval did not comment on the sufficient supply 
of Bitcoin or address whether there was a risk that permitting an 
unlimited number of shares for the VanEck Bitcoin Trust would impact 
the supply of Bitcoin.\51\ Therefore, the Exchange believes the 
Commission had ample time and opportunity to consider

[[Page 14678]]

whether the supply of Bitcoin was sufficient to permit the creation of 
unlimited VanEck Bitcoin Trust shares, and does not believe considering 
this supply with respect to the establishment of position and exercise 
limits is appropriate given its lack of relevance to the purpose of 
position and exercise limits. However, given the significant size of 
the Bitcoin supply, the proposed positions limits are more than 
sufficient to protect investors and the market.
---------------------------------------------------------------------------

    \50\ See Amendment No. 8 to Form S-1 Registration Statement No. 
333-251808, filed Jan. 9, 2024.
    \51\ See Bitcoin ETP Approval Order.
---------------------------------------------------------------------------

    Based on the above information demonstrating, among other things, 
that the VanEck Bitcoin Trust is characterized by a substantial number 
of outstanding shares that are actively traded and widely held, the 
Exchange believes the proposed position and exercise limits are 
extremely conservative compared to those of ETF options with similar 
market characteristics. The proposed position and exercise limits 
reasonably and appropriately balance the liquidity provisioning in the 
market against the prevention of manipulation. The Exchange believes 
these proposed limits are effectively designed to prevent an individual 
customer or entity from establishing options positions that could be 
used to manipulate the market of the underlying as well as the Bitcoin 
market.\52\
---------------------------------------------------------------------------

    \52\ See Securities Exchange Act Release No. 39489 (Dec. 24, 
1997), 63 FR 276 (Jan. 5, 1998) (SR-CBOE-1997-11).
---------------------------------------------------------------------------

    The Exchange represents that it has the necessary systems capacity 
to support VanEck Bitcoin Trust options. As discussed above, the 
Exchange believes that its existing surveillance and reporting 
safeguards are designed to deter and detect possible manipulative 
behavior which might arise from listing and trading Unit options, 
including VanEck Bitcoin Trust options.

B. Self-Regulatory Organization's Statement on Burden on Competition

    The Exchange does not believe that the proposed rule change will 
impose any burden on competition that is not necessary or appropriate 
in furtherance of the purposes of the Act. The Exchange does not 
believe that the proposed rule change will impose any burden on 
intramarket competition that is not necessary or appropriate in 
furtherance of the purposes of the Act as the VanEck Bitcoin Trust will 
be equally available to all market participants who wish to trade such 
options and will trade generally in the same manner as other options. 
The Exchange Rules that currently apply to the listing and trading of 
all Unit options on the Exchange, including, for example, Rules that 
govern listing criteria, expirations, exercise prices, minimum 
increments, margin requirements, customer accounts, and trading halt 
procedures will apply to the listing and trading of the VanEck Bitcoin 
Trust options on the Exchange in the same manner as they apply to other 
options on all other Units that are listed and traded on the Exchange. 
Also, and as stated above, the Exchange already lists options on other 
commodity-based Units.\53\ Further, the VanEck Bitcoin Trust would need 
to satisfy the maintenance listing standards set forth in the Exchange 
Rules in the same manner as any other Unit for the Exchange to continue 
listing options on them.
---------------------------------------------------------------------------

    \53\ See Rule 4.3, Interpretation and Policy .06(a)(4).
---------------------------------------------------------------------------

    The Exchange does not believe that the proposal to list and trade 
options on the VanEck Bitcoin Trust will impose any burden on 
intermarket competition that is not necessary or appropriate in 
furtherance of the purposes of the Act. To the extent that the advent 
of the VanEck Bitcoin Trust options trading on the Exchange may make 
the Exchange a more attractive marketplace to market participants at 
other exchanges, such market participants are free to elect to become 
market participants on the Exchange. Additionally, other options 
exchanges are free to amend their listing rules, as applicable, to 
permit them to list and trade options on the VanEck Bitcoin Trust. The 
Exchange notes that listing and trading VanEck Bitcoin Trust options on 
the Exchange will subject such options to transparent exchange-based 
rules as well as price discovery and liquidity, as opposed to 
alternatively trading such options in the OTC market.
    The Exchange believes that the proposed rule change may relieve any 
burden on, or otherwise promote, competition, as it is designed to 
increase competition for order flow on the Exchange in a manner that is 
beneficial to investors by providing them with a lower-cost option to 
hedge their investment portfolios. The Exchange notes that it operates 
in a highly competitive market in which market participants can readily 
direct order flow to competing venues that offer similar products. 
Ultimately, the Exchange believes that offering VanEck Bitcoin Trust 
options for trading on the Exchange will promote competition by 
providing investors with an additional, relatively low-cost means to 
hedge their portfolios and meet their investment needs in connection 
with Bitcoin prices and Bitcoin-related products and positions on a 
listed options exchange.

C. Self-Regulatory Organization's Statement on Comments on the Proposed 
Rule Change Received From Members, Participants, or Others

    The Exchange neither solicited nor received written comments on the 
proposed rule change.

III. Date of Effectiveness of the Proposed Rule Change and Timing for 
Commission Action

    Within 45 days of the date of publication of this notice in the 
Federal Register or within such longer period up to 90 days (i) as the 
Commission may designate if it finds such longer period to be 
appropriate and publishes its reasons for so finding or (ii) as to 
which the Exchange consents, the Commission will:
    A. by order approve or disapprove such proposed rule change, or
    B. institute proceedings to determine whether the proposed rule 
change should be disapproved.

IV. Solicitation of Comments

    Interested persons are invited to submit written data, views and 
arguments concerning the foregoing, including whether the proposed rule 
change is consistent with the Act. Comments may be submitted by any of 
the following methods:

Electronic Comments

     Use the Commission's internet comment form (https://www.sec.gov/rules/sro.shtml); or
     Send an email to [email protected]. Please include 
file number SR-CBOE-2025-017 on the subject line.

Paper Comments

     Send paper comments in triplicate to Secretary, Securities 
and Exchange Commission, 100 F Street NE, Washington, DC 20549-1090.

All submissions should refer to file number SR-CBOE-2025-017. This file 
number should be included on the subject line if email is used. To help 
the Commission process and review your comments more efficiently, 
please use only one method. The Commission will post all comments on 
the Commission's internet website (https://www.sec.gov/rules/sro.shtml). Copies of the submission, all subsequent amendments, all 
written statements with respect to the proposed rule change that are 
filed with the Commission, and all written communications relating to 
the proposed rule change between the Commission and any person, other 
than

[[Page 14679]]

those that may be withheld from the public in accordance with the 
provisions of 5 U.S.C. 552, will be available for website viewing and 
printing in the Commission's Public Reference Room, 100 F Street NE, 
Washington, DC 20549, on official business days between the hours of 10 
a.m. and 3 p.m. Copies of the filing also will be available for 
inspection and copying at the principal office of the Exchange. Do not 
include personal identifiable information in submissions; you should 
submit only information that you wish to make available publicly. We 
may redact in part or withhold entirely from publication submitted 
material that is obscene or subject to copyright protection. All 
submissions should refer to file number SR-CBOE-2025-017 and should be 
submitted on or before April 24, 2025.

    For the Commission, by the Division of Trading and Markets, 
pursuant to delegated authority.\54\
---------------------------------------------------------------------------

    \54\ 17 CFR 200.30-3(a)(12).
---------------------------------------------------------------------------

Sherry R. Haywood,
Assistant Secretary.
[FR Doc. 2025-05699 Filed 4-2-25; 8:45 am]
BILLING CODE 8011-01-P