Title: Who’s at the CFTC Table? A Reallocation of America’s Innovation Financial Discourse
Byline: KarenZ, Foresight News
On February 12, 2026, the U.S. Commodity Futures Trading Commission (CFTC) officially issued Notice No. 9182-26, announcing the members of the Innovation Advisory Committee (IAC).
If you thought this was just a routine list of external advisors for a regulatory agency, you’re mistaken.
This list, which includes traditional financial giants, leading crypto platforms, DeFi infrastructure providers, top venture capital firms, and academic representatives, is not merely a standard industry advisory group. It marks a key step in implementing the CFTC’s innovative financial market regulatory framework under the Federal Advisory Committee Act.
Led by CFTC Chair Michael S. Selig, the Innovation Advisory Committee (IAC), formerly known as the Technology Advisory Committee (TAC), signals a clear message: U.S. regulators are actively embracing crypto and fintech innovation, shifting from “passive regulation” to “collaborative governance.”
Unlike previous instances where regulators invited one or two crypto representatives for show, this time the CFTC’s IAC roster is an “all-star lineup,” comprising 35 members from traditional finance, crypto exchanges, DeFi protocols, blockchain infrastructure, investment firms, and academia.
Professors Harry Crane and Carla Reyes
FIA CEO Walt Lukken
The CFTC explicitly states that the core responsibility of the IAC is to provide expert advice on cutting-edge innovations in derivatives and commodities markets, focusing on how AI, blockchain, and other technologies are reshaping markets, helping regulators craft “adaptive rules” to maintain effective oversight.
The IAC is not a temporary body but a long-term strategic initiative by the CFTC to support the golden era of U.S. financial markets, offering professional guidance on technological innovation.
According to Notice No. 9167-26 issued on January 12, 2026, Michael S. Selig clarified the IAC’s positioning a month earlier:
This signifies a break from the past “distant dialogue” between industry and regulators. DeFi representatives, CEXs, traditional exchanges, clearinghouses, and venture capitalists are now “at the same table,” enabling the CFTC to directly access frontline market insights and advice, avoiding rules that are disconnected from reality.
The implementation of the IAC list has at least the following clear implications for the crypto industry:
The most notable inclusion is Polymarket CEO Shayne Coplan and Kalshi CEO Tarek Mansour.
After a prolonged regulatory tug-of-war over whether “election prediction” markets constitute gambling, the CFTC’s move effectively recognizes prediction markets as a legitimate financial instrument under the category of “event contracts.” Interestingly, the list also includes the presidents of DraftKings and FanDuel—blurring the lines between sports betting, financial derivatives, and on-chain prediction markets.
This shift is especially evident in the regulation of prediction markets. In February 2026, the CFTC announced it would withdraw its proposed rules for “event contracts” issued in 2024. At the time, Chair Selig stated: “The 2024 proposal on event contracts reflected the reckless regulation of political contracts by the previous administration ahead of the 2024 presidential election.” The CFTC will now pursue new rules aligned with the Commodity Exchange Act, consistent with Congress’s intent, to promote responsible innovation in derivatives markets.
The inclusion of DeFi and blockchain infrastructure projects like Uniswap, Solana, Chainlink, and Etherealize (a startup promoting Ethereum) signifies recognition of DeFi’s foundational role. It also indicates that the CFTC is beginning to acknowledge that code itself constitutes market structure—shifting the debate from “do DeFi protocols need licenses?” to “how can protocols comply?”
The participation of Coinbase, Kraken, Gemini, and other established compliant platforms in the core advisory group suggests that future rulemaking will be more aligned with their operational realities. This will further strengthen the regulatory advantage of compliant players, intensify the industry’s “Matthew Effect,” and push smaller platforms to accelerate compliance efforts, upgrading the entire industry’s regulatory standards.
The CFTC’s core regulatory focus remains on derivatives and commodities markets, with crypto derivatives, digital asset futures, blockchain clearing, and prediction markets becoming central areas of development.
The establishment of the IAC marks an upgrade in the CFTC’s regulatory paradigm—shifting toward “forward-looking, early-stage rule design” and “market-based adaptive regulation.”
At its core, this evolution reflects a rethinking of the relationship between regulation and innovation: fintech innovation is not opposed to regulation but is a key driver of market modernization. The regulator’s role is not to hinder innovation but to define boundaries and manage risks, enabling innovation to flourish within a compliant framework.
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