Tokenization Structuring in El Salvador
Tokenization is a legal design problem: rights, obligations, enforcement and controls.
- Legal object: claim/interest/right the token represents (and its limitations).
- Issuer/SPV: who owns the asset/receivables and who takes investor-facing obligations.
- Distribution: offering type, investor eligibility, restricted jurisdictions, onboarding evidence.
- Service perimeter: where DASP/BSP roles attach (custody/exchange/brokerage/payment rails).
Related: DASP • BSP • Jurisdiction overview
- No clear legal object behind token.
- No enforcement / dispute rules.
- Conflicts not disclosed.
- No restricted jurisdictions logic.
- Eligibility not controlled.
- Marketing perimeter not defined.
- Unclear responsibility for assets.
- Vendor “does it” assumptions.
- No audit trail / logs baseline.
- What the token represents: claim, right, interest or access — and what it does not represent.
- Transferability rules, lock-ups, whitelisting and eligibility constraints (if needed).
- Investor rights: information, voting, economics, redemption, events of default (as applicable).
- Disclosure discipline: risks, conflicts, limitations, valuation and servicing assumptions.
Goal: token claims are enforceable and consistent with corporate reality.
- Issuer entity vs SPV: ownership of the asset/receivables and who takes investor-facing obligations.
- Governance and approvals: who signs disclosures, updates them, and approves changes.
- Servicing and cashflow mechanics: who collects, who distributes, and under what rules.
- Vendor/outsourcing boundaries with oversight and evidence requirements.
If your model includes custody/exchange/brokerage functions, we align with DASP / BSP.
- Risk factors and limitations.
- Rights and governance mechanics.
- Offering style: public vs private.
- KYC/AML alignment to distribution.
- Consents and disclosures archive.
- Audit trail baseline (logs).
- Servicing and cashflow rules.
- Custody/exchange interfaces.
- Outsourcing oversight clauses.
Need issuance framing? See El Salvador Digital Asset Issuance.
- Cross-border triggers: solicitation rules, investor type restrictions, and local securities constraints.
- Marketing perimeter: channels, geo-targeting, language targeting and “accidental offering” patterns.
- Consistency: product UX and disclosures must match the same activity narrative.
Outcome: distribution controls that reduce partner and investor friction.
- AML/KYC and sanctions workflows aligned to investor onboarding and the actual token flow.
- Recordkeeping discipline: ability to reproduce what happened (consents, onboarding, decisions, exceptions).
- Outsourcing oversight: vendor DD and ongoing monitoring evidence rules.
If your project includes custody/exchange/brokerage rails, we align the perimeter with DASP / BSP.
- Ownership vs economic participation.
- SPV share vs asset-level model.
- Transfer and governance constraints.
- Assignment mechanics.
- Servicing and collection rules.
- Default and waterfall logic.
- Voting and information rights.
- Cap table logic.
- Transfer restrictions.
- Interest and maturity logic.
- Default triggers.
- Enforcement mechanics.
- Manager responsibilities.
- Valuation rules.
- Conflict disclosures.
- Rights separation logic.
- Economic vs utility components.
- Marketing constraints.
- Simpler narrative.
- Harder enforcement coordination.
- Strong disclosure requirement.
- Clear governance layer.
- Structured liability separation.
- More documentation discipline.
- Professional management narrative.
- Ongoing reporting obligations.
- Higher governance complexity.
The correct model depends on asset type, investor base, distribution geography and service perimeter.
Not automatically. Classification depends on rights granted, distribution method, investor expectations and economic substance.
Distribution must be mapped jurisdiction-by-jurisdiction. Geo-targeting, eligibility and marketing language matter.
If you operate custody, exchange or intermediation functions, DASP positioning may be required in parallel.
Yes — if governance rights are legally anchored and operationally implementable.
- Asset and rights mapping.
- Issuer/SPV model selection.
- Regulatory perimeter confirmation.
- Disclosure drafting.
- Terms and contracts.
- Distribution controls.
- DASP/BSP alignment (if needed).
- Partner/bank documentation support.
- Operational evidence baseline.
We do not optimise for “speed only”. We optimise for coherence and defensibility.
- RWA / asset-backed narratives requiring evidence discipline.
- Tokenized debt / revenue participation instruments.
- Equity-like or governance token models.
- Projects targeting cross-border distribution with restrictions.
Focus: enforceable token rights + issuer/SPV responsibility allocation + distribution controls that match operations.