BitShares’ BitUSD. Others point out that Bitcoin volatility is less than some fiat
currency’s volatility and inflation
(making Bitcoin a better relative value
choice), and that many operations of
Bitcoin are immediate transfers in and
out of other currencies for which the
volatility does not matter as much in
these spot rate (i.e., immediate)
transactions.
Bitcoin’s market capitalization as of
November 2014 is $5.3 billion (see
as the current price ($399.40) multiplied
by the available supply (13,492,000
Bitcoin). This is already on the order of
a small country’s GDP (Bitcoin would
rank as the 150th largest world economy
on a list of 200). Unlike fiat currencies
for which governments can print more
money, the money supply of Bitcoin
grows at a predetermined (and capped)
rate. New currency (in blocks) is being
issued at a regular and known pace, with
about 13.5 million units currently
outstanding, growing to a capped amount
of 21 million units in 2040. At a price of
roughly $400 Bitcoin per dollar, Bitcoin
is infeasible to use directly for daily
purchases, and prices and exchanges for
practical use are typically denominated
in subunits of
of a Bitcoin; 1 mBTC = ~$0.40) and
Satoshi = ~$0.000004).
Regulatory Status
Government regulation is possibly one
of the most significant factors as to
whether the blockchain industry will
develop into a full-fledged financial-
services industry. As of October 2013, a
handful of countries have completely
banned Bitcoin: Bangladesh, Bolivia,
Ecuador, Iceland (possibly related to
using Auroracoin, instead), Kyrgyzstan,
and Vietnam. China, as mentioned,
banned financial institutions from
dealing in the virtual currency as of
December 2013, although trading
volume in Chinese Yuan persists. 26
Germany, France, Korea, and Thailand
have all looked unfavorably on
Bitcoin.27 The European Banking
Authority, Switzerland, Poland, Canada,
and the United States continue to
deliberate about different Bitcoin-
related issues. 28 Countries try to match
up Bitcoin (and the concept of digital
currencies) to their existing regulatory
structures, often finding that
cryptocurrencies do not quite fit and
ultimately concluding that
cryptocurrencies are sufficiently
different that new legislation might be
required. At present, some countries,
like the UK, have classified Bitcoin as a
currency (and therefore not subject to
VAT), whereas other countries, like
Australia, were not able to classify
Bitcoin as a currency due to laws about
nationalized issuance (and Bitcoin
therefore is subject to VAT or GST—the
goods and services tax).29
In the United States, the Internal Revenue
Service treats Bitcoin as property (like
stock) and not as money, meaning that
users of Bitcoin are liable for capital
gains taxes on transactions.30 For
taxation, virtual currencies are property,
not currency. However, nearly every
other US government agency—including
FinCEN (financial crimes enforcement
network), banking regulators, and the
CFPB, SEC, CFTC, and DOJ—regulate
Bitcoin as a currency. 31
Chapter 2. Blockchain 2.0:
Contracts
From its very beginning, complexity
beyond currency and payments was
envisioned for Bitcoin; the possibilities
for programmable money and contracts
were baked into the protocol at its
invention. A 2010 communication from
Satoshi Nakamoto indicates that “the
design supports a tremendous variety of
possible transaction types that I designed
years ago. Escrow transactions, bonded
contracts, third-party arbitration,
multiparty signature, etc. If Bitcoin
catches on in a big way, these are things
we’ll want to explore in the future, but
they all had to be designed at the
beginning to make sure they would be
possible later.” 32 As we’ll see in
Chapter 3, these structures could be
applied beyond financial transactions, to
any kind of transaction—even
“figurative” ones. This is because the
concepts and structure developed for
Bitcoin are extremely portable and
extensible.
Blockchain 2.0 is the next big tier in the
development of the blockchain industry,
an area of prodigious activity as of the
fall of 2014.33 Because the Blockchain
2.0 space is in development, there are
many different categories, distinctions,
and understandings of it, and standard
classifications and definitions are still
emerging. Some of the terminology that
broadly refers to the Blockchain 2.0
space can include Bitcoin 2.0, Bitcoin
2.0 protocols, smart contracts, smart
property, Dapps (decentralized
applications), DAOs (decentralized
autonomous organizations), and DACs
(decentralized autonomous
corporations).
Whereas Blockchain 1.0 is for the
decentralization of money and payments,
Blockchain 2.0 is for the
decentralization of markets more
generally, and contemplates the transfer
of many other kinds of assets beyond
currency using the blockchain, from the
creation of a unit of value through every
time it is transferred or divided.
An approximate technological metaphor
for Bitcoin is that it is analogous to the