January 23, 2026

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Re: [ANN] TokenInvestor – Centralized Information in a Decentralized Market.

Re: [ANN] TokenInvestor – Centralized Information in a Decentralized Market.

TokenInvestor

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How does it differ than other ICO services?

We took the strengths of other ICO services and applied that here. After using a few other ICO services, I noticed that each one had their strengths but all lacked something key. We want to be the most complete listing service out there and on top of that, we don’t charge for listings unlike some of our competitors, therefore you can always be sure that the data you see from us is objective. Regulations are far and few in between these days, so doing your own due diligence is important. That becomes so much easier when you can trust the data.

With all of that being said, the data we provide is only going to get more robust which will definitely give us an edge.

Re: [ann] tokeninvestor - centralized information in a decentralized market.
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TokenInvestor

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this is token or ICO rating/listing site?

This is a listing site for all tokens and ICOs. We are not launching a token or an ICO based off this.

Re: [ann] tokeninvestor - centralized information in a decentralized market.

1524mash

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Nice looking website, lightweight and easy to browse. Congratulations!

Re: [ann] tokeninvestor - centralized information in a decentralized market.

coinporch

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very good service and nice looking site,,

it will give information about good project in crypto world

Re: [ann] tokeninvestor - centralized information in a decentralized market.

TokenInvestor

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very good service and nice looking site,,

it will give information about good project in crypto world

That’s the objective for sure. Thanks for the support!

Re: [ann] tokeninvestor - centralized information in a decentralized market.

sircy

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Any bounty campaign like signcam, social network etc?
thanks

Re: [ann] tokeninvestor - centralized information in a decentralized market.

PiCoin – get in now, signature campaign – No ICO!

TokenInvestor

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Any bounty campaign like signcam, social network etc?
thanks

Hey, we aren’t actually launching an ICO so we don’t have any bounty campaigns right now. With that being said though, we will be looking to translate our site into as many languages as possible due to the global nature of cryptocurrency. If you think you could be of help then definitely reach out.

Re: [ann] tokeninvestor - centralized information in a decentralized market.

(Why?)

Published at Mon, 13 Mar 2017 22:06:20 +0000

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Op Ed: Launching an ICO? Follow This Advice from the SEC

Op Ed: Launching an ICO? Follow This Advice from the SEC

Lost in the headlines over the SEC’s recent pronouncements on cryptocurrency was important practical advice for both promoters of and participants in initial coin offerings (ICOs).

Most coverage was rightfully garnered from the Report by the SEC’s enforcement division which deemed that DAO Tokens are securities, after subjecting the offering to the Howey test. However, the simultaneously issued Investor Bulletin should also be closely read by issuers of ICOs and their counsel.

Advice for Issuers and Counsel

Even though the bulletin was prepared as a cautionary statement to investors, it contains at least one disclaimer (in boldface type) that attorneys advising ICOs should add the following language to any offering document or white paper:

Investing in an ICO may limit your recovery in the event of fraud or theft. While you may have rights under the federal securities laws, your ability to recover may be significantly limited.

We have previously discussed the importance of these disclaimers and risk factors. By discussing the vulnerabilities of cryptocurrency exchanges and the potential difficulties associated with any recovery of invested or stolen funds, the SEC signals at least some of the risk factors counsel should consider adding to ICO offering materials.  

In fact, prudent attorneys advising their ICO clients would be wise to employ the cut-and-paste function, adding the above caveat to all their documents.

This additional wording is significant in that it spells out three key characteristics of ICOs:

(i) the difficulty of tracing or securing virtual currency;

(ii) the international scope of ICOs; and

(iii) the fact that lack of any central authority may limit an investor’s remedies against an issuer.

Practical Advice for Investors

Besides the usual bromides about being wary of any offer that sounds “too good to be true,” the SEC demonstrated an appreciation for the unique due diligence required in carefully evaluating an ICO.

According to the bulletin, investors should “ask whether the blockchain is open and public, whether the code has been published, and whether there has been an independent cybersecurity audit.” The SEC is communicating that those factors are indicative of companies whose products are verifiably real and secure.

Given the importance the SEC placed on these three items, rather than await questions, such points should be clearly addressed by an issuer in its ICO materials distributed to potential investors. Issuers of ICOs should include those factors and other “good facts” that can help to demonstrate their product’s value, security and legitimacy.

While the recent flurry of documents emanating from the SEC likely has given issuers of ICOs and their counsel pause (and caused them to walk each token through the Howey test), it does not appear to have stifled these transactions.

However, where the report reiterates the conceptual framework under which any potential token offering be evaluated to determine whether it constitutes a securities offering, the bulletin provides practical advice, and investors should expect to see some of the SEC’s language repeated in ICO offering documents going forward.

This is a guest post by Gray Sasser and Joshua Rosenblatt. The views expressed do not necessarily reflect those of bitcoin Magazine or BTC Media.

The post Op Ed: Launching an ICO? Follow This Advice from the SEC appeared first on Bitcoin Magazine.