CIRO Approves Webull Canada Crypto as Dealer Member, Grants Insurance Relief

Friday, 19/06/2026 | 17:52 GMT by Tareq Sikder
  • Insurance coverage must meet minimum capital standards, with deductibles reflected in risk-adjusted capital.
  • The firm previously operated in Canada under CIRO supervision as part of Webull’s international expansion.
Webull

Webull Canada Crypto Limited has been admitted as a Dealer Member of the Canadian Investment Regulatory Organization, allowing it to operate as an investment dealer in Canada under CIRO oversight.

The firm previously established operations in Canada under CIRO supervision as part of Webull’s international expansion. It provides access to listed securities and exchange-traded products under the Canadian regulatory framework, separate from its crypto-related services.

Webull Gains CIRO Crypto Exemptions

Alongside the membership approval, CIRO granted Webull exemptive relief from certain insurance-related regulatory requirements. The relief applies to rules covering financial institution bond insurance and mail insurance obligations for dealer members.

CIRO said the exemptions are limited in scope and apply only to Webull’s crypto-related business, including its platform for buying, selling, and holding crypto assets.

Under the conditions, Webull must maintain insurance coverage for crypto assets held in custody, including both internal custody systems and external custodians such as Coinbase Custody Trust Company LLC once engaged. The firm is also expected to seek additional coverage for assets held in cold storage where possible.

Read More: Webull Canada Expands Trading Day With 24/5 Access to US Stocks, ETFs.

The insurance arrangements must meet CIRO’s minimum capital and coverage standards. Any deductible must be reflected in the firm’s risk-adjusted capital calculations.

CIRO Retains Power to Revoke Relief

Webull is also required to maintain a dedicated trust account at an approved financial institution. If a coverage shortfall is identified, the account must be funded accordingly, but client cash balances cannot be used for this purpose.

CIRO also requires the firm to regularly review independent SOC 2 Type 2 audit reports from its custodians to ensure custody controls remain effective.

The regulator said such exemptions are granted only in exceptional cases where firms demonstrate adequate safeguards. CIRO retains the right to revoke the relief if conditions are breached or if relevant rules change.

Webull Canada Crypto Limited has been admitted as a Dealer Member of the Canadian Investment Regulatory Organization, allowing it to operate as an investment dealer in Canada under CIRO oversight.

The firm previously established operations in Canada under CIRO supervision as part of Webull’s international expansion. It provides access to listed securities and exchange-traded products under the Canadian regulatory framework, separate from its crypto-related services.

Webull Gains CIRO Crypto Exemptions

Alongside the membership approval, CIRO granted Webull exemptive relief from certain insurance-related regulatory requirements. The relief applies to rules covering financial institution bond insurance and mail insurance obligations for dealer members.

CIRO said the exemptions are limited in scope and apply only to Webull’s crypto-related business, including its platform for buying, selling, and holding crypto assets.

Under the conditions, Webull must maintain insurance coverage for crypto assets held in custody, including both internal custody systems and external custodians such as Coinbase Custody Trust Company LLC once engaged. The firm is also expected to seek additional coverage for assets held in cold storage where possible.

Read More: Webull Canada Expands Trading Day With 24/5 Access to US Stocks, ETFs.

The insurance arrangements must meet CIRO’s minimum capital and coverage standards. Any deductible must be reflected in the firm’s risk-adjusted capital calculations.

CIRO Retains Power to Revoke Relief

Webull is also required to maintain a dedicated trust account at an approved financial institution. If a coverage shortfall is identified, the account must be funded accordingly, but client cash balances cannot be used for this purpose.

CIRO also requires the firm to regularly review independent SOC 2 Type 2 audit reports from its custodians to ensure custody controls remain effective.

The regulator said such exemptions are granted only in exceptional cases where firms demonstrate adequate safeguards. CIRO retains the right to revoke the relief if conditions are breached or if relevant rules change.

About the Author: Tareq Sikder
Tareq Sikder
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About the Author: Tareq Sikder
Tareq is a financial writer with 15 years of experience covering global markets. His work spans technical analysis, forex broker reviews, and market sentiment, with a focus on topics relevant to retail traders. He joined Finance Magnates in 2023. At Finance Magnates, he serves as News Editor, covering retail forex and CFD brokers, cryptocurrency exchanges, fintech firms, and regulatory developments shaping the trading industry. He holds an Honours degree in Information Technology from Anfell College, London. Education: Honours degree Information Technology, Anfell College, London
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