Category: KB

  • MIL-OSI Security: Federal Inmate Sentenced to an Additional Five Years for Fatal Stabbing of Fellow Inmate

    Source: US FBI

    TERRE HAUTE— Otha Don Watkins III, 43, of Cairo, Illinois has been sentenced to five years in federal prison after pleading guilty to involuntary manslaughter and possessing contraband in prison.

    According to court documents, in April of 2023, Otha Watkins was an inmate at the Federal Correctional Complex in Terre Haute, Indiana, serving a 23-year sentence for aiding and abetting armed bank robbery, possession of a stolen firearm, and conspiracy to commit robbery. While in prison, Watkins obtained a piece of metal, sharpened to a point on one end and wrapped with white cloth on the other. This object, commonly known as a “prison shank” is classified as prohibited because it is a weapon or designed or intended to be used as a weapon.

    On April 14, 2023, Watkins was assigned to Unit D-2 of the USP. Inmate Carlos Shelton (“Shelton”) was assigned to the same unit. That day, Watkins and Shelton met on a tier in the unit and began fighting, both armed with improvised shanks. During the course of the fight, Watkins fatally stabbed Shelton in the chest, damaging arteries associated with the heart and lungs. The stab wound led to a massive hemothorax. Shelton died on April 14, 2023.

    “Given Otha Watkins’ history of violent offenses, culminating in the brutal attack he carried out in the Terre Haute prison, it’s evident that he should never be allowed to live outside federal custody again,” said John E. Childress, Acting United States Attorney for the Southern District of Indiana. “I commend the FBI and our federal prosecutor for their tireless efforts to ensure this defendant faces justice. I hope that the conclusion of this case provides some sense of closure and peace to Mr. Shelton’s family.”

    “Today’s sentencing marks the conclusion of a senseless act of violence that took place within the walls of our correctional institution,” said a Bureau of Prisons Spokesperson. “Otha Watkins demonstrated an utter disregard for human life and the rule of law. The court’s decision affirms that such actions carry severe consequences, and it sends a clear and resounding message: acts of violence in federal prison will be met with the full weight of the law.”

    “This brutal killing is a reminder that violence can occur anywhere, even within the confines of the most secure environments,” said FBI Indianapolis Special Agent in Charge Timothy J. O’Malley. “The FBI and our partners are committed to protecting all individuals, regardless of their incarceration status, and we will continue to work to ensure those who commit violent acts while incarcerated, are held fully accountable.”

    The FBI and Bureau of Prisons investigated this case. The sentence was imposed by U.S. District Court Judge James R. Sweeney II. 

    Acting U.S. Attorney Childress thanked Assistant U.S. Jayson W. McGrath, who prosecuted this case.

    ###

    MIL Security OSI

  • MIL-OSI Security: Nine Members of 36th and Penn “Big Sip” Drug Trafficking Organization Indicted on Fentanyl Conspiracy and Firearms Charges

    Source: United States Bureau of Alcohol Tobacco Firearms and Explosives (ATF)

    MINNEAPOLIS – Nine defendants have been indicted on federal fentanyl and firearms charges for their involvement in the “Big Sip Drug Trafficking Organization (DTO)” — a violent drug trafficking organization that that sold out of at least five apartment buildings near the intersection of 36th Avenue North and North Penn Avenue in Minneapolis, announced Acting U.S. Attorney Joseph H. Thompson.

    “Today marks the federal takedown of yet another dangerous criminal organization. And we will not stop,” said Acting U.S. Attorney Joseph H. Thompson. “The Big Sip drug trafficking organization wreaked havoc at 36th and Penn, bringing guns, violence, and deadly fentanyl to neighborhood apartment buildings. The law abiding people of Minneapolis deserve better. I am proud of the federal, state, and local team that came together to protect the neighborhood from this fentanyl trafficking organization.”

    According to court documents,Larry McGee, 42, Danielle Robberstad, 35, Maurice Montgomery, 31, Dameon Collins, 24, Marcus Lucious, 53, Romell Vann, 22, Bobby Nolan, 43, and Jeremy Lucious, 35, all are members of a drug trafficking organization (“DTO”) known as the “Big Sip DTO,” a high-volume fentanyl sales operation that sold out of at least five apartment buildings near the intersection of 36th Avenue North and North Penn Avenue in Minneapolis. The Big Sip DTO’s operation contributed to crime in the area, including shootings, homicides, and drug use, from August 2023 through June 2025. The defendants were indicted for a Conspiracy to Distribute Fentanyl in violation of Title 21 United States Code, Sections 841(a)(1) and 846. Three defendants, Montgomery, Collins, and Vann, were also indicted for Possessing Firearms in Furtherance of Drug Trafficking, in violation of Title 18, United States Code, Section 924(c).  Seven defendants made their initial appearnces today and are all detained pending further proceedings.  An eighth defendant will make his initial appearance tomorrow. A ninth defendant remains under seal.  The defendants all face up to life in prison.

    According to court documents, the Big Sip DTO originated in the summer of 2023, led and operated by defendants McGee and Robberstad, who are husband and wife. The Big Sip DTO was an efficient sales operation with defined roles. At the top, McGee led the organization. He obtained and stored the fentanyl product, collected proceeds, and managed other members of the organization. Robberstad was a co-leader of the organization. Robberstad maintained the apartments used for fentanyl storage and sales, interacted with customers, provided vehicles for use by the organization members, and managed other members’ sales.

    Defendants Montgomery, Collins, M. Lucious, Vann, Nolan, and J. Lucious were also members of the Big Sip DTO. These defendants all sold fentanyl on behalf of the organization to users at the apartments controlled by the Big Sip DTO. Montgomery was responsible for collecting and transporting the profits of the fentanyl sales to McGee. Montgomery, as well as Collins and Vann, all possessed firearms to protect their product and sale activities.

    “Time and again, violent drug trafficking rings try to take root in our communities, bringing with them illegal guns, violence, and fear,” said ATF Special Agent in Charge Travis Riddle, of the St. Paul Field Division. “As soon as these organizations surface, ATF, along with our law enforcement partners, will be there to dismantle their operations and hold them accountable. We will not allow armed criminal groups to threaten the safety and future of the Twin Cities.”

    “This operation disrupted a violent drug trafficking network that was funneling narcotics, including deadly fentanyl, to the streets,” said Special Agent in Charge Alvin M. Winston Sr. of FBI Minneapolis. “These drugs and the criminals who traffic them, bring death, sorrow, and fear to our communities.  As this coordinated operation demonstrates, those who poison and terrorize the public will face justice. The FBI and our partners will stop at nothing to pursue and apprehend these dangerous offenders and protect our communities.”

    “For too long, 36th and Penn has been a hotspot for violent crime,” said Chief O’Hara. “In 2024, there were four times as many shooting victims within a one block radius of 36th and Penn than the previous three-year average. Overall violent crime more than doubled within a one-block radius of 36th and Penn. We’ve seen the spike in violent crime and heard the concerns loud and clear from the community. Inspector Charlie Adams and the officers of the Fourth Precinct have been working closely with residents to address those concerns, while our investigators have pursued long-term strategies to bring relief. I’m incredibly grateful to the dedicated MPD personnel and to our local and federal partners who supported this investigation. I’m hopeful these arrests and charges will deliver an immediate impact and help restore a sense of safety for everyone who lives and works near 36th and Penn.”

    “These defendants are suspected of some of the worst crimes wreaking havoc on our community. I want to thank all law enforcement agencies for their work on this case including the Hennepin County Sheriff’s Office Criminal Intelligence Division and Violent Offender Task Force. These units provided intelligence throughout the case, carried out search warrants, targeted traffic stops, K9 operations, and much more to bring down these defendants and damage the criminal organization. We must stop those harming our neighbors, friends, and family and part of that work includes stopping the source,” said Dawanna Witt, Sheriff of Hennepin County.

    This case is the result of an investigation conducted by the ATF, FBI, Minneapolis Police Department, and the Hennepin County Sheriff’s Office.

    Assistant U.S. Attorney William C. Mattessich is prosecuting the case.

    An indictment is merely an allegation, and the defendant is presumed innocent until proven guilty beyond a reasonable doubt in a court of law. 

    MIL Security OSI

  • MIL-OSI Security: Las Vegas Jury Convicts Woman for Threats Against Two Federal Judges and Her Probation Officer; San Diego Trial Team Prosecuted the Case in the District of Nevada

    Source: US FBI

    LAS VEGAS – A federal jury has convicted Latonia Smith of cyberstalking and threatening two district court judges and a probation officer, all of whom were involved in her previous federal conviction for death threats she made against lawyers in yet another case.

    In the current case, after a six-day trial and less than one day of deliberation, a jury found that Smith threatened U.S. District Judge Richard Franklin Boulware, who presided over Smith’s 2021 trial and sentenced her to 36 months in prison for that offense. The jury also found that Smith targeted U.S. District Judge Jennifer A. Dorsey, who presided over the defendant’s supervised release, and Shawn Mummey, her probation officer.

    At the time of the grand jury’s indictment in the current matter, Smith was on supervised release from that previous federal 2021 conviction. In that case, Smith targeted corporate lawyers involved in defending the 2017 firing of her mother from her job as a guest room attendant at the Planet Hollywood Hotel and Casino in Las Vegas after she allegedly took a small amount of money from a guest’s room.

    “All of these victims felt threatened and emotionally distressed. They then took steps to protect themselves and their families,” said U.S. Attorney Adam Gordon for the Southern District of California. “Threats directed at members of the judiciary are not only criminal acts, but direct attacks on the rule of law. Intimidation of judges and court personnel erodes public trust and threatens the fair administration of justice for all.”

    “The FBI takes threats of violence very seriously and works diligently to protect the communities we serve,” said Rafik Mattar, Acting Special Agent in Charge of the FBI in Las Vegas, “We will not tolerate threats of violence to any member of our community, particularly those dedicated to safeguarding our democratic process. The defendant’s actions were dangerous and unacceptable. We will continue to work with our law enforcement partners to disrupt and investigate those who engage in violent rhetoric—ensuring accountability for anyone who threatens to harass, intimidate, or harm others.”

    When Smith was released from federal prison in the first case against her, she was sent to Washoe County jail to face allegations related to an October 31, 2019, armed home-invasion in Reno she allegedly committed against another lawyer involved in the Planet Hollywood case.

    Smith was granted bail in early June 2022. Upon her return to Las Vegas, Smith immediately began searching Google for information about Judge Boulware along with his wife, Las Vegas City Councilwoman Nancy Brune, and their family. At the same time, she googled “judges should die.”

    Over the next several weeks, the defendant became increasingly frustrated with judges and anyone involved with her prior federal case. On June 23, 2022, the defendant emailed her probation officer and explained, “Some good advice: Life is short, society should be careful who they piss off.” Below the warning, the defendant sent a link to a YouTube video showing a six-minute compilation of cell phone videos from the October 1 mass shooting at the Mandalay Bay Hotel.

    Over the next few days, Smith sent a series of emails. Some threatened a mass casualty event: “LET THE SHOW BEGIN. NEVADA IS GOING TO LOVE THIS!!!!”  Some were designed to let victims know their loved ones were in jeopardy: “LETS KEEP [YOUR KIDS] IN FOCUS”.

    Throughout many of the emails, the defendant made it clear that she had deeply researched the recipients of her threats, accurately identifying where they could be found, either during hobby activities, or in their actual homes. For example, to Judge Jennifer Dorsey the defendant wrote: “Tell Jennifer, Henderson is nice I see why she chose that area. Lots of shops nearby. Smart.” At trial, Judge Dorsey testified that the defendant’s identification of her personal residence inspired her to immediately sell her home and move.

    The victims of Smith’s threats testified at trial they were frightened and believed Smith was capable of violently acting on her threats as she had allegedly done in the pending case regarding the armed home invasion targeting the lawyer in Reno.

    U.S. District Judge Gloria Navarro reported Smith’s threats to U.S. Marshals, who protect the federal judiciary. Judge Navarro testified at the trial, telling the jury that she recognized the danger posed by the defendant and immediately took action.  “I emailed the chief of probation; anybody I could get a hold of to prevent a tragedy…I didn’t want to die. I didn’t want my family to die.  I didn’t want my coworkers to die.” The Marshals then contacted the FBI.

    After two special agents from the FBI interviewed the Smith on June 27, 2022, she was immediately taken into custody, where she has remained. During the interview, when asked what she was thinking about when she was researching mass shooters, Smith responded: “I think what they were thinking.”

    The investigation found that Smith, who has a biochemistry degree from the University of Nevada Las Vegas, Googled phrases like “judges die,” “how to become a bomb maker,” “how to be a mass shooter,” “buying a gun,” and “ar 15 for sale.” She also watched the compilation of videos from the October 1 mass shooting 13 times over a three-week period.  At the same time, the defendant repeatedly searched the names of her targets, some of their children, and some of their home addresses. The jury deliberated for less than a day before returning a guilty verdict on three counts of cyberstalking for the emails sent to Judges Dorsey and Boulware, along with her probation officer. The jury acquitted the defendant on the other two counts of cyberstalking.

    The defendant will remain in custody pending sentencing, on a date yet to be determined.

    The trial took place in the federal courthouse in Las Vegas. The presiding judge was Senior District Court Judge Michael W. Mosman, from the District of Oregon. Judge Mosman was appointed to preside over the case by special designation of the Ninth Circuit Court of Appeals.

    Smith’s prosecution was initiated by the U.S. Attorney’s Office for the District of Nevada, out of their office in Reno.  In March 2024, the Department of Justice recused the entire U.S. Attorney’s Office for the District of Nevada and had the prosecution reassigned.

    This case is being prosecuted by Assistant U.S. Attorneys Andrew Haden and Francisco Nagel for the Southern District of California, both of whom were named Special Assistant U.S. Attorneys in Las Vegas after the U.S. Attorney’s Office for the District of Nevada was recused.

    DEFENDANT                                                Case Number 22CR051-MWM                              

    Latonia Dyshawna Smith                               Age: 31                       Las Vegas, NV

    SUMMARY OF CHARGES

    Three Counts of Cyberstalking – Title 18, U.S.C., Sections 2261A

    Maximum penalty: Five years in prison, as to each count of conviction

    INVESTIGATING AGENCIES

    Federal Bureau of Investigation

    MIL Security OSI

  • MIL-OSI United Nations: Continuity planning empowers businesses to adapt, recover, and thrive

    Source: UNISDR Disaster Risk Reduction

    Businesses often struggle to recover from extreme weather events and natural hazards because they are not ready. 

    It has been estimated that 40% of small and medium-sized enterprises (SMEs) do not reopen after a disaster and many of those that do, fail within a year. Businesses need to rethink their operating models before disruptions happen. Yet building disaster resilience does not always have to require a resource intensive process or lead to something new.  It does not mean changing what a business does, but how it does it. This is where business continuity planning comes in.

    A business continuity plan (BCP) outlines what is needed for a business to continue operating or resume operations after a disruption. It serves as a guide for pivoting operations if and as needed. Yet according to some estimates, only 20-30% of SMEs have written BCPs in place.

    In partnership with local governments, chambers of commerce and ARISE networks, UNDRR is implementing a project in Barcelona (Spain), Bridgetown (Barbados) and Sendai (Japan) to support SMEs in developing and testing business continuity plans to strengthen their disaster resilience. Early lessons are already emerging. 

    Here are five noteworthy things about business continuity planning that further highlight its importance:

    Business continuity plans can separate those that recover from those that do not

    With the increasing frequency and intensity of disasters, preparation is no longer optional. It makes all the difference. In many parts of the world, the question is not whether but when the next extreme weather event or natural hazard will strike. What businesses do today will determine how they fare in the face of a disaster tomorrow. A systemic approach to developing a BCP – conducting even quick multi-hazard risk assessments, identifying critical functions, outlining response and communications protocols, assigning roles, and stress-testing the plan – outline a clear roadmap that enables faster, risk informed decision-making and more effective resource allocation. Those without BCPs will inevitably face more chaos, operational delays, and significant losses – many times leading to business closure. Businesses that are risk-aware, with tested and up-to-date BCPs, however, are able to absorb shocks better, pivot operations, recover faster and become more resilient.  

    Business continuity plans are cost-effective mitigation measures

    Business continuity plans are a quick, low-cost way to mitigate potentially high-impact disaster risks. They typically require low financial investment especially when compared against the potentially significant losses of being unprepared for disasters. This is particularly true for small and medium-sized enterprises (SMEs) that often do not have the resources – human or financial – for developing more holistic disaster risk reduction approaches or undertaking disaster recovery efforts.

    Business continuity plans are a mechanism to operationalize resilience

    While resilience encompasses more than just business continuity, a well prepared BCP provides the foundation for reducing organizational vulnerabilities, pivoting operations and building resilient recovery capabilities. They clarify roles and actions that are needed to continue operations or resume quickly after a disruption. While resilience may be the ultimate goal, business continuity planning represents the practical steps to achieve it.

    Business continuity plans can offer a strategic advantage during uncertainty

    Business continuity plans can significantly enhance a company’s competitiveness and safeguard long-term success during disruptions. Those that have BCPs – and have tested and updated them regularly – are in a better position to minimize downtime and continue or quickly resume their operations. They are better equipped to protect their physical assets and data, while also retaining customers as well as contributing to the resilience of the communities where they operate. The operational flexibility – agility and ability to adapt to changing circumstances – can even help in capturing more market share.

    Business continuity plans can improve financial reserves

    Limited access to finance and no or inadequate insurance coverage are often cited among the key reasons why SMEs do not recover from disasters. Partners want to ensure that their supply chains and services are not disrupted, investors and lenders are keen to protect their capital, and insurers want to minimize payouts. A robust BCP can help improve financial cushioning by providing a form of assurance that operations will continue. As operational and financial risks are lowered, the business becomes a more stable, and thus attractive investment. Business continuity planning can also improve insurability: turning the business into a lower-risk policyholder, potentially leading to better policy terms and/or lower insurance premiums. In general, BCPs signal commitment to proactivity, stability and sustainability – making the business more credible and trustworthy in the eyes of all key stakeholders.

    To support businesses in understanding their resilience capacities, UNDRR has also developed the Resilience Maturity Assessment Tool (ReMA). ReMA helps businesses – particularly SMEs – identify gaps in their disaster preparedness and assess the maturity of their resilience strategies, offering a structured path toward stronger continuity planning and risk governance.

    Business continuity planning is more than a safeguard – it’s a strategic choice that empowers businesses to adapt, recover, and thrive amid disruption.

    MIL OSI United Nations News

  • MIL-OSI Security: U.S. Marshals Arrest Homicide Suspect

    Source: US Marshals Service

    Albuquerque, NM – The U.S. Marshals Service Southwest Investigative Fugitive Team on June 26 arrested near Coal Avenue SE and University Boulevard SE here a New Mexico man wanted for two felony warrants.

    Jonathan Torres, 38, was wanted for a New Mexico state felony warrant out of Metropolitan Court, charging him with murder, kidnapping, three counts of aggravated assault against a household member, aggravated assault, felon in possession of a firearm, and battery against a household member. 

    Additionally, Torres was wanted for a federal probation violation warrant, following a 2024 federal conviction for being a felon in possession of a firearm.

    “The United States Marshals Service is dedicated to joining forces with our law enforcement partners to reduce violent crime,” said U.S. Marshal for the District of New Mexico David O. Barnett, Jr. “We are committed to working together to improve the lives of our New Mexico communities.”

    Following his arrest, Torres was booked into the Bernalillo County Metropolitan Detention Center, with a federal detainer attached.

    This arrest was the result of efforts by multiple local, state and federal law enforcement agencies, including the Albuquerque Police Department, the Bernalillo County Sheriff’s Office, the New Mexico State Police, the New Mexico Department of Corrections-Probation and Parole and the U.S. Marshals Service.

    Anyone with information on wanted fugitives is urged to contact the nearest U.S. Marshals office, the U.S. Marshals Service Communications Center at 1-800-336-0102 or submit information via the USMS Tips App.

    MIL Security OSI

  • MIL-OSI USA: Congressman García’s Statement on Supreme Court Decision on Nationwide Injunctions and Birthright Citizenship

    Source: United States House of Representatives – Representative Jesús Chuy García (IL-04)

    WASHINGTON, D.C. — Congressman Jesús “Chuy” García (IL-04) issued the following statement on the Supreme Court’s decision in Trump v. CASA, Inc., which guts federal courts’ ability to issue nationwide injunctions and enables lawlessness by the Executive Branch: 

    “I represent a district where one out of every three people is an immigrant. Today, the Supreme Court betrayed them, millions of others, and the rule of law itself. By gutting the ability of federal courts to strike down illegal policies—like Trump’s Executive Order to ban birthright citizenship—nationwide, the right-wing justices have further opened the floodgates of presidential lawlessness. Unless this Executive Order is stopped by a class action lawsuit within 30 days, Trump will begin to deny citizenship to children born in the United States—a right that is explicitly enshrined in the Constitution. He will continue to succeed in his mission of creating a permanent underclass of immigrants, violating their rights, exploiting and criminalizing their existence, and denying them access to basic services like health care, housing, and food benefits.

    “From now on, any President will be able to violate any person’s rights unless that person can hire a lawyer, be part of a complicated class action lawsuit process, or live in a state that is willing to protect their rights. This absurd and lawless regime is incompatible with democracy and justice, and Congress must act to clarify the role of federal courts in blocking illegal policies nationwide. I will continue to fight for my community and for a government that upholds the rights of all people instead of a chosen few.”

    # # #

    MIL OSI USA News

  • MIL-OSI: Crypto & Bitcoin Casinos Ranked: Reddit Community Shares The Top Crypto Casinos of 2025

    Source: GlobeNewswire (MIL-OSI)

    New York City, NY, June 27, 2025 (GLOBE NEWSWIRE) —  All iGaming, a leading research authority in the digital gaming sector, today released its extensive analysis of the crypto casino market, showcasing how the best crypto casinos are revolutionizing the global gambling landscape. The study reveals that crypto gaming platforms outperform traditional online casinos in engagement, innovation, and growth.

    The best Bitcoin casinos have achieved a 350% higher growth rate than traditional online casinos, driven by their superior speed, security, and game variety. Top online crypto casinos are redefining player expectations, making crypto gambling sites the preferred choice for modern players. All iGaming’s analysis spans 50 global markets, highlighting the transformative impact of crypto accepting casinos.

    >>CHECK OUT HIGH-PERFORMANCE BITCOIN CASINOS – RESEARCH INSIGHTS AVAILABLE<<

    Key Crypto Casino Categories Driving Transformation

    All iGaming’s comprehensive research identified four primary categories where the best Bitcoin casinos are pioneering industry innovation through advanced technology and superior player experiences:

    • Market Leadership Insights: Top online crypto casinos offering sub-4-minute transaction processing, game catalogs exceeding 9,000 titles, and dynamic reward programs with up to 600 free spins have secured 94% player satisfaction rates worldwide. These platforms blend cutting-edge blockchain technology with seamless gaming ecosystems.
    • Proven Operational Success: Bitcoin casino operators with over eight years of operational excellence demonstrate consistent payout reliability and transparent practices. Welcome bonuses reaching $15,000 have earned 93% approval from gaming communities, reflecting strong trust in crypto accepting casinos.
    • Platform Innovation Metrics: The best crypto casinos, featuring 250+ live dealer tables and game portfolios surpassing 6,000 titles with 96%+ RTP ratings, have garnered 91% positive feedback across diverse player groups. Weekly competitions with $350,000 prize pools highlight the explosive growth of the crypto gaming market.
    • Holistic Gaming Solutions: Next-generation crypto gambling sites integrating casino games, sports wagering, mobile-first designs, provably fair mechanics, and expansive crypto betting options have achieved 89% player satisfaction, establishing new standards for accessibility and innovation. Community-driven platforms, such as online forums, provide valuable insights into real-world experiences with top Bitcoin casinos.

    >>IN-DEPTH LOOK AT MARKET-LEADING CRYPTO CASINOS<<

    “Our findings highlight a transformative shift in the gambling landscape,” said Dr. Laura Kim, Chief Analyst at All iGaming. “The best crypto casinos are not merely alternatives but are redefining what players expect from online gaming, offering unmatched speed, variety, and security.”

    Research Approach

    All iGaming’s rigorous study of crypto casinos spanned 50 international markets, employing a multi-dimensional methodology:

    • 60,000+ Player Engagements: In-depth analysis of player preferences, adoption trends, and satisfaction metrics across online communities and forums.
    • 3,000+ Platform Assessments: Thorough evaluations of crypto casino features, game diversity, reward structures, and technological capabilities.
    • 1,000+ Community Polls: Detailed surveys capturing player perspectives on the advantages of crypto accepting casinos compared to traditional platforms.
    • Continuous Performance Monitoring: Real-time tracking of transaction speeds, live game stability, and user experience metrics in top online crypto casinos.

    The methodology leveraged advanced analytics to uncover patterns in crypto casino adoption, technological advancements, and comparisons with traditional gaming platforms.

    Performance Analysis: Crypto Casinos vs. Traditional Casinos

    • Lightning-Fast Transactions

    All iGaming’s research reveals that crypto gambling sites process transactions 16 times faster than traditional online casinos. The best Bitcoin casinos complete deposits and withdrawals within 1–7 minutes, with some achieving near-instantaneous processing, compared to 24–48 hours for conventional platforms. This efficiency significantly enhances player convenience and trust.

    Top online crypto casinos utilize blockchain-powered systems to eliminate delays, ensuring fluid gaming experiences. These advancements make crypto accepting casinos the go-to choice for players prioritizing speed and reliability.

    • Diverse Gaming Portfolios

    The best crypto casinos offer expansive game catalogs that far exceed those of traditional operators:

    • 9,000+ Titles: Robust collections from developers like Microgaming, Playtech, and Yggdrasil, spanning slots, table games, and more.
    • 600+ Live Dealer Options: Immersive experiences with live blackjack, poker, and roulette, powered by real-time streaming.
    • 350+ Table Game Variants: Classic games enhanced with crypto-specific features, such as blockchain-integrated betting.
    • 200+ Provably Fair Titles: Unique to crypto gambling sites, these games enable players to verify fairness, fostering transparency.

    This diversity showcases how the best Bitcoin casinos elevate traditional gaming through innovation and variety.

    >>ADVANCED GAMING FEATURES UNVEILED – MARKET STUDY<<

    Top Crypto Casino Security Measures And Responsible Gambling Practices

    Cutting-Edge Security Measures

    Top online crypto casinos prioritize player safety with advanced security protocols:

    • Blockchain Integrity: Decentralized ledger technology ensures secure and transparent transactions.
    • Multi-Layer Wallets: Enterprise-grade protection for player funds.
    • Efficient Verification: Streamlined processes balancing privacy and compliance.
    • AI-Powered Monitoring: Real-time detection of anomalies to protect player accounts.

    Comprehensive Responsible Gaming Initiatives

    The best crypto casinos lead in responsible gaming with:

    • Spending Limit Tools: Flexible controls for managing gaming budgets.
    • Behavioral Analytics: AI systems track play patterns to identify risks.
    • 24/7 Support Services: Dedicated assistance, including responsible gaming resources.
    • Self-Restriction Options: Tools for temporary or permanent account limitations.

    Payment Innovations in Crypto Casinos

    Versatile Payment Options

    Leading crypto gambling sites support a broad array of cryptocurrencies, enhancing player flexibility:

    • Core Cryptocurrencies: Bitcoin, Ethereum, Binance Coin, and 60+ altcoins.
    • Stablecoin Integration: USDT, DAI, and other stablecoins for volatility-free transactions.
    • Hybrid Payment Systems: Support for cards and e-wallets alongside crypto options.
    • Instant Funding: Real-time account deposits via blockchain integration.

    Streamlined Withdrawal Systems

    The best Bitcoin casinos offer:

    • Sub-7-Minute Withdrawals: Rapid processing for crypto transactions.
    • Customizable Limits: Tailored deposit and withdrawal thresholds.
    • Fee-Free Transactions: Elimination of traditional banking costs.

    >>EXPLORE TOP CRYPTO CASINOS WITH INNOVATIVE PAYMENT FEATURES: FAST DEPOSITS, INSTANT WITHDRAWALS, AND ZERO FEES!<<

    Market Dynamics and Future Outlook

    Rising Player Preference

    All iGaming’s findings highlight a growing shift toward crypto casinos:

    • 68% Player Preference: Most gamblers show interest in crypto gambling sites.
    • 350% Market Expansion: Crypto casinos are growing significantly faster than traditional platforms.
    • Broad Demographics: Adoption spans all age groups and regions.
    • Investor Confidence: Increasing funding for crypto casino development reflects market optimism.

    Technological Innovations

    The future of top online crypto casinos is shaped by:

    • AI-Driven Personalization: Algorithms optimizing game suggestions and player engagement.
    • Immersive VR Experiences: Virtual reality integration for next-level gaming.
    • Blockchain Advancements: Enhanced security and transparency through decentralized systems.
    • Multi-Platform Compatibility: Seamless access across mobile, desktop, and emerging devices.

    Expert Perspectives

    “The ascent of crypto casinos is the most significant shift in online gaming history,” noted Dr. Michael Park, Senior Researcher at All iGaming. “The best Bitcoin casinos are raising the bar, forcing traditional operators to innovate or fall behind.”

    Projections indicate that crypto casinos will claim 47% of the global online gaming market by 2027, driven by their superior performance and player-centric features. Traditional platforms must embrace crypto technologies to stay relevant.

    Selecting the Best Crypto Casinos

    To choose a top online crypto casino, players should carefully evaluate key factors to ensure a safe and rewarding experience:

    • Regulatory Compliance: Verify that the casino holds a valid license from a reputable jurisdiction, such as Malta or Curacao, to ensure adherence to industry standards. Confirming licensing protects players from fraudulent platforms and guarantees fair play. This step is essential for selecting a trustworthy crypto accepting casino.
    • Game Diversity and Quality: Assess the variety and quality of games, ensuring they come from reputable developers like Microgaming or Playtech. A robust game library with slots, table games, and live dealer options enhances the gaming experience. High RTP ratings and provably fair games are critical for player satisfaction.
    • Transaction Efficiency: Test the speed and reliability of deposits and withdrawals, prioritizing platforms with sub-7-minute crypto transactions. Efficient payment systems reduce wait times and enhance convenience. Ensure the casino supports multiple cryptocurrencies for maximum flexibility.
    • Support Excellence: Confirm the availability of 24/7 customer support through live chat, email, or phone for prompt issue resolution. Responsive support is crucial for addressing technical or account-related concerns. Look for platforms offering dedicated responsible gaming assistance.

    Optimizing the Experience

    Players can maximize their crypto casino experience by adopting strategic approaches:

    • Capitalizing on Rewards: Leverage generous welcome bonuses, free spins, and ongoing promotions to maximize value. Carefully review terms to ensure fair wagering requirements and optimize bonus benefits. This approach enhances gameplay without additional costs.
    • Strategic Banking: Choose cryptocurrencies like Bitcoin or stablecoins based on transaction speed and cost efficiency. Using stablecoins can minimize volatility risks during deposits and withdrawals. Efficient banking ensures seamless access to funds.
    • Exploring Game Variety: Engage with diverse game offerings, including live dealer games, slots, and provably fair titles, to enrich the gaming experience. Experimenting with different genres keeps gameplay fresh and exciting. This approach allows players to discover new favorites and maximize enjoyment.
    • Responsible Play: Utilize tools like deposit limits and self-exclusion options to maintain healthy gaming habits. Regularly monitor spending and playtime to avoid overextension. Responsible gaming practices ensure long-term enjoyment and safety.

    Conclusion: The Crypto Gaming Edge

    All iGaming’s research confirms that the best crypto casinos are transforming the online gambling industry. With lightning-fast transactions, expansive game offerings, advanced security, and innovative features, these platforms consistently outperform traditional casinos. Players seeking superior experiences should prioritize crypto accepting casinos for their unmatched efficiency and engagement.

    As the best Bitcoin casinos continue to push boundaries, they represent the future of online gaming, blending traditional excellence with cutting-edge technology to deliver unparalleled player experiences.

    Important: The information provided is for educational purposes. Casino gaming can be risky and should only be accessed by individuals of legal age. Be sure to gamble responsibly and consult your local laws before engaging in any online casino activity.

    Brand website:https://all-igaming.com/
    Project Name: All iGaming
    Full company Address: Oceanview Street 12, Sunnyville, Atlantis
    Postal Code:7299
    Media Contact:
    Full Name -Max Fraser
    Company website:https://all-igaming.com/
    Email:support@alligaming.com

    Attachment

    The MIL Network

  • MIL-OSI: Crypto & Bitcoin Casinos Ranked: Reddit Community Shares The Top Crypto Casinos of 2025

    Source: GlobeNewswire (MIL-OSI)

    New York City, NY, June 27, 2025 (GLOBE NEWSWIRE) —  All iGaming, a leading research authority in the digital gaming sector, today released its extensive analysis of the crypto casino market, showcasing how the best crypto casinos are revolutionizing the global gambling landscape. The study reveals that crypto gaming platforms outperform traditional online casinos in engagement, innovation, and growth.

    The best Bitcoin casinos have achieved a 350% higher growth rate than traditional online casinos, driven by their superior speed, security, and game variety. Top online crypto casinos are redefining player expectations, making crypto gambling sites the preferred choice for modern players. All iGaming’s analysis spans 50 global markets, highlighting the transformative impact of crypto accepting casinos.

    >>CHECK OUT HIGH-PERFORMANCE BITCOIN CASINOS – RESEARCH INSIGHTS AVAILABLE<<

    Key Crypto Casino Categories Driving Transformation

    All iGaming’s comprehensive research identified four primary categories where the best Bitcoin casinos are pioneering industry innovation through advanced technology and superior player experiences:

    • Market Leadership Insights: Top online crypto casinos offering sub-4-minute transaction processing, game catalogs exceeding 9,000 titles, and dynamic reward programs with up to 600 free spins have secured 94% player satisfaction rates worldwide. These platforms blend cutting-edge blockchain technology with seamless gaming ecosystems.
    • Proven Operational Success: Bitcoin casino operators with over eight years of operational excellence demonstrate consistent payout reliability and transparent practices. Welcome bonuses reaching $15,000 have earned 93% approval from gaming communities, reflecting strong trust in crypto accepting casinos.
    • Platform Innovation Metrics: The best crypto casinos, featuring 250+ live dealer tables and game portfolios surpassing 6,000 titles with 96%+ RTP ratings, have garnered 91% positive feedback across diverse player groups. Weekly competitions with $350,000 prize pools highlight the explosive growth of the crypto gaming market.
    • Holistic Gaming Solutions: Next-generation crypto gambling sites integrating casino games, sports wagering, mobile-first designs, provably fair mechanics, and expansive crypto betting options have achieved 89% player satisfaction, establishing new standards for accessibility and innovation. Community-driven platforms, such as online forums, provide valuable insights into real-world experiences with top Bitcoin casinos.

    >>IN-DEPTH LOOK AT MARKET-LEADING CRYPTO CASINOS<<

    “Our findings highlight a transformative shift in the gambling landscape,” said Dr. Laura Kim, Chief Analyst at All iGaming. “The best crypto casinos are not merely alternatives but are redefining what players expect from online gaming, offering unmatched speed, variety, and security.”

    Research Approach

    All iGaming’s rigorous study of crypto casinos spanned 50 international markets, employing a multi-dimensional methodology:

    • 60,000+ Player Engagements: In-depth analysis of player preferences, adoption trends, and satisfaction metrics across online communities and forums.
    • 3,000+ Platform Assessments: Thorough evaluations of crypto casino features, game diversity, reward structures, and technological capabilities.
    • 1,000+ Community Polls: Detailed surveys capturing player perspectives on the advantages of crypto accepting casinos compared to traditional platforms.
    • Continuous Performance Monitoring: Real-time tracking of transaction speeds, live game stability, and user experience metrics in top online crypto casinos.

    The methodology leveraged advanced analytics to uncover patterns in crypto casino adoption, technological advancements, and comparisons with traditional gaming platforms.

    Performance Analysis: Crypto Casinos vs. Traditional Casinos

    • Lightning-Fast Transactions

    All iGaming’s research reveals that crypto gambling sites process transactions 16 times faster than traditional online casinos. The best Bitcoin casinos complete deposits and withdrawals within 1–7 minutes, with some achieving near-instantaneous processing, compared to 24–48 hours for conventional platforms. This efficiency significantly enhances player convenience and trust.

    Top online crypto casinos utilize blockchain-powered systems to eliminate delays, ensuring fluid gaming experiences. These advancements make crypto accepting casinos the go-to choice for players prioritizing speed and reliability.

    • Diverse Gaming Portfolios

    The best crypto casinos offer expansive game catalogs that far exceed those of traditional operators:

    • 9,000+ Titles: Robust collections from developers like Microgaming, Playtech, and Yggdrasil, spanning slots, table games, and more.
    • 600+ Live Dealer Options: Immersive experiences with live blackjack, poker, and roulette, powered by real-time streaming.
    • 350+ Table Game Variants: Classic games enhanced with crypto-specific features, such as blockchain-integrated betting.
    • 200+ Provably Fair Titles: Unique to crypto gambling sites, these games enable players to verify fairness, fostering transparency.

    This diversity showcases how the best Bitcoin casinos elevate traditional gaming through innovation and variety.

    >>ADVANCED GAMING FEATURES UNVEILED – MARKET STUDY<<

    Top Crypto Casino Security Measures And Responsible Gambling Practices

    Cutting-Edge Security Measures

    Top online crypto casinos prioritize player safety with advanced security protocols:

    • Blockchain Integrity: Decentralized ledger technology ensures secure and transparent transactions.
    • Multi-Layer Wallets: Enterprise-grade protection for player funds.
    • Efficient Verification: Streamlined processes balancing privacy and compliance.
    • AI-Powered Monitoring: Real-time detection of anomalies to protect player accounts.

    Comprehensive Responsible Gaming Initiatives

    The best crypto casinos lead in responsible gaming with:

    • Spending Limit Tools: Flexible controls for managing gaming budgets.
    • Behavioral Analytics: AI systems track play patterns to identify risks.
    • 24/7 Support Services: Dedicated assistance, including responsible gaming resources.
    • Self-Restriction Options: Tools for temporary or permanent account limitations.

    Payment Innovations in Crypto Casinos

    Versatile Payment Options

    Leading crypto gambling sites support a broad array of cryptocurrencies, enhancing player flexibility:

    • Core Cryptocurrencies: Bitcoin, Ethereum, Binance Coin, and 60+ altcoins.
    • Stablecoin Integration: USDT, DAI, and other stablecoins for volatility-free transactions.
    • Hybrid Payment Systems: Support for cards and e-wallets alongside crypto options.
    • Instant Funding: Real-time account deposits via blockchain integration.

    Streamlined Withdrawal Systems

    The best Bitcoin casinos offer:

    • Sub-7-Minute Withdrawals: Rapid processing for crypto transactions.
    • Customizable Limits: Tailored deposit and withdrawal thresholds.
    • Fee-Free Transactions: Elimination of traditional banking costs.

    >>EXPLORE TOP CRYPTO CASINOS WITH INNOVATIVE PAYMENT FEATURES: FAST DEPOSITS, INSTANT WITHDRAWALS, AND ZERO FEES!<<

    Market Dynamics and Future Outlook

    Rising Player Preference

    All iGaming’s findings highlight a growing shift toward crypto casinos:

    • 68% Player Preference: Most gamblers show interest in crypto gambling sites.
    • 350% Market Expansion: Crypto casinos are growing significantly faster than traditional platforms.
    • Broad Demographics: Adoption spans all age groups and regions.
    • Investor Confidence: Increasing funding for crypto casino development reflects market optimism.

    Technological Innovations

    The future of top online crypto casinos is shaped by:

    • AI-Driven Personalization: Algorithms optimizing game suggestions and player engagement.
    • Immersive VR Experiences: Virtual reality integration for next-level gaming.
    • Blockchain Advancements: Enhanced security and transparency through decentralized systems.
    • Multi-Platform Compatibility: Seamless access across mobile, desktop, and emerging devices.

    Expert Perspectives

    “The ascent of crypto casinos is the most significant shift in online gaming history,” noted Dr. Michael Park, Senior Researcher at All iGaming. “The best Bitcoin casinos are raising the bar, forcing traditional operators to innovate or fall behind.”

    Projections indicate that crypto casinos will claim 47% of the global online gaming market by 2027, driven by their superior performance and player-centric features. Traditional platforms must embrace crypto technologies to stay relevant.

    Selecting the Best Crypto Casinos

    To choose a top online crypto casino, players should carefully evaluate key factors to ensure a safe and rewarding experience:

    • Regulatory Compliance: Verify that the casino holds a valid license from a reputable jurisdiction, such as Malta or Curacao, to ensure adherence to industry standards. Confirming licensing protects players from fraudulent platforms and guarantees fair play. This step is essential for selecting a trustworthy crypto accepting casino.
    • Game Diversity and Quality: Assess the variety and quality of games, ensuring they come from reputable developers like Microgaming or Playtech. A robust game library with slots, table games, and live dealer options enhances the gaming experience. High RTP ratings and provably fair games are critical for player satisfaction.
    • Transaction Efficiency: Test the speed and reliability of deposits and withdrawals, prioritizing platforms with sub-7-minute crypto transactions. Efficient payment systems reduce wait times and enhance convenience. Ensure the casino supports multiple cryptocurrencies for maximum flexibility.
    • Support Excellence: Confirm the availability of 24/7 customer support through live chat, email, or phone for prompt issue resolution. Responsive support is crucial for addressing technical or account-related concerns. Look for platforms offering dedicated responsible gaming assistance.

    Optimizing the Experience

    Players can maximize their crypto casino experience by adopting strategic approaches:

    • Capitalizing on Rewards: Leverage generous welcome bonuses, free spins, and ongoing promotions to maximize value. Carefully review terms to ensure fair wagering requirements and optimize bonus benefits. This approach enhances gameplay without additional costs.
    • Strategic Banking: Choose cryptocurrencies like Bitcoin or stablecoins based on transaction speed and cost efficiency. Using stablecoins can minimize volatility risks during deposits and withdrawals. Efficient banking ensures seamless access to funds.
    • Exploring Game Variety: Engage with diverse game offerings, including live dealer games, slots, and provably fair titles, to enrich the gaming experience. Experimenting with different genres keeps gameplay fresh and exciting. This approach allows players to discover new favorites and maximize enjoyment.
    • Responsible Play: Utilize tools like deposit limits and self-exclusion options to maintain healthy gaming habits. Regularly monitor spending and playtime to avoid overextension. Responsible gaming practices ensure long-term enjoyment and safety.

    Conclusion: The Crypto Gaming Edge

    All iGaming’s research confirms that the best crypto casinos are transforming the online gambling industry. With lightning-fast transactions, expansive game offerings, advanced security, and innovative features, these platforms consistently outperform traditional casinos. Players seeking superior experiences should prioritize crypto accepting casinos for their unmatched efficiency and engagement.

    As the best Bitcoin casinos continue to push boundaries, they represent the future of online gaming, blending traditional excellence with cutting-edge technology to deliver unparalleled player experiences.

    Important: The information provided is for educational purposes. Casino gaming can be risky and should only be accessed by individuals of legal age. Be sure to gamble responsibly and consult your local laws before engaging in any online casino activity.

    Brand website:https://all-igaming.com/
    Project Name: All iGaming
    Full company Address: Oceanview Street 12, Sunnyville, Atlantis
    Postal Code:7299
    Media Contact:
    Full Name -Max Fraser
    Company website:https://all-igaming.com/
    Email:support@alligaming.com

    Attachment

    The MIL Network

  • MIL-OSI: Crypto & Bitcoin Casinos Ranked: Reddit Community Shares The Top Crypto Casinos of 2025

    Source: GlobeNewswire (MIL-OSI)

    New York City, NY, June 27, 2025 (GLOBE NEWSWIRE) —  All iGaming, a leading research authority in the digital gaming sector, today released its extensive analysis of the crypto casino market, showcasing how the best crypto casinos are revolutionizing the global gambling landscape. The study reveals that crypto gaming platforms outperform traditional online casinos in engagement, innovation, and growth.

    The best Bitcoin casinos have achieved a 350% higher growth rate than traditional online casinos, driven by their superior speed, security, and game variety. Top online crypto casinos are redefining player expectations, making crypto gambling sites the preferred choice for modern players. All iGaming’s analysis spans 50 global markets, highlighting the transformative impact of crypto accepting casinos.

    >>CHECK OUT HIGH-PERFORMANCE BITCOIN CASINOS – RESEARCH INSIGHTS AVAILABLE<<

    Key Crypto Casino Categories Driving Transformation

    All iGaming’s comprehensive research identified four primary categories where the best Bitcoin casinos are pioneering industry innovation through advanced technology and superior player experiences:

    • Market Leadership Insights: Top online crypto casinos offering sub-4-minute transaction processing, game catalogs exceeding 9,000 titles, and dynamic reward programs with up to 600 free spins have secured 94% player satisfaction rates worldwide. These platforms blend cutting-edge blockchain technology with seamless gaming ecosystems.
    • Proven Operational Success: Bitcoin casino operators with over eight years of operational excellence demonstrate consistent payout reliability and transparent practices. Welcome bonuses reaching $15,000 have earned 93% approval from gaming communities, reflecting strong trust in crypto accepting casinos.
    • Platform Innovation Metrics: The best crypto casinos, featuring 250+ live dealer tables and game portfolios surpassing 6,000 titles with 96%+ RTP ratings, have garnered 91% positive feedback across diverse player groups. Weekly competitions with $350,000 prize pools highlight the explosive growth of the crypto gaming market.
    • Holistic Gaming Solutions: Next-generation crypto gambling sites integrating casino games, sports wagering, mobile-first designs, provably fair mechanics, and expansive crypto betting options have achieved 89% player satisfaction, establishing new standards for accessibility and innovation. Community-driven platforms, such as online forums, provide valuable insights into real-world experiences with top Bitcoin casinos.

    >>IN-DEPTH LOOK AT MARKET-LEADING CRYPTO CASINOS<<

    “Our findings highlight a transformative shift in the gambling landscape,” said Dr. Laura Kim, Chief Analyst at All iGaming. “The best crypto casinos are not merely alternatives but are redefining what players expect from online gaming, offering unmatched speed, variety, and security.”

    Research Approach

    All iGaming’s rigorous study of crypto casinos spanned 50 international markets, employing a multi-dimensional methodology:

    • 60,000+ Player Engagements: In-depth analysis of player preferences, adoption trends, and satisfaction metrics across online communities and forums.
    • 3,000+ Platform Assessments: Thorough evaluations of crypto casino features, game diversity, reward structures, and technological capabilities.
    • 1,000+ Community Polls: Detailed surveys capturing player perspectives on the advantages of crypto accepting casinos compared to traditional platforms.
    • Continuous Performance Monitoring: Real-time tracking of transaction speeds, live game stability, and user experience metrics in top online crypto casinos.

    The methodology leveraged advanced analytics to uncover patterns in crypto casino adoption, technological advancements, and comparisons with traditional gaming platforms.

    Performance Analysis: Crypto Casinos vs. Traditional Casinos

    • Lightning-Fast Transactions

    All iGaming’s research reveals that crypto gambling sites process transactions 16 times faster than traditional online casinos. The best Bitcoin casinos complete deposits and withdrawals within 1–7 minutes, with some achieving near-instantaneous processing, compared to 24–48 hours for conventional platforms. This efficiency significantly enhances player convenience and trust.

    Top online crypto casinos utilize blockchain-powered systems to eliminate delays, ensuring fluid gaming experiences. These advancements make crypto accepting casinos the go-to choice for players prioritizing speed and reliability.

    • Diverse Gaming Portfolios

    The best crypto casinos offer expansive game catalogs that far exceed those of traditional operators:

    • 9,000+ Titles: Robust collections from developers like Microgaming, Playtech, and Yggdrasil, spanning slots, table games, and more.
    • 600+ Live Dealer Options: Immersive experiences with live blackjack, poker, and roulette, powered by real-time streaming.
    • 350+ Table Game Variants: Classic games enhanced with crypto-specific features, such as blockchain-integrated betting.
    • 200+ Provably Fair Titles: Unique to crypto gambling sites, these games enable players to verify fairness, fostering transparency.

    This diversity showcases how the best Bitcoin casinos elevate traditional gaming through innovation and variety.

    >>ADVANCED GAMING FEATURES UNVEILED – MARKET STUDY<<

    Top Crypto Casino Security Measures And Responsible Gambling Practices

    Cutting-Edge Security Measures

    Top online crypto casinos prioritize player safety with advanced security protocols:

    • Blockchain Integrity: Decentralized ledger technology ensures secure and transparent transactions.
    • Multi-Layer Wallets: Enterprise-grade protection for player funds.
    • Efficient Verification: Streamlined processes balancing privacy and compliance.
    • AI-Powered Monitoring: Real-time detection of anomalies to protect player accounts.

    Comprehensive Responsible Gaming Initiatives

    The best crypto casinos lead in responsible gaming with:

    • Spending Limit Tools: Flexible controls for managing gaming budgets.
    • Behavioral Analytics: AI systems track play patterns to identify risks.
    • 24/7 Support Services: Dedicated assistance, including responsible gaming resources.
    • Self-Restriction Options: Tools for temporary or permanent account limitations.

    Payment Innovations in Crypto Casinos

    Versatile Payment Options

    Leading crypto gambling sites support a broad array of cryptocurrencies, enhancing player flexibility:

    • Core Cryptocurrencies: Bitcoin, Ethereum, Binance Coin, and 60+ altcoins.
    • Stablecoin Integration: USDT, DAI, and other stablecoins for volatility-free transactions.
    • Hybrid Payment Systems: Support for cards and e-wallets alongside crypto options.
    • Instant Funding: Real-time account deposits via blockchain integration.

    Streamlined Withdrawal Systems

    The best Bitcoin casinos offer:

    • Sub-7-Minute Withdrawals: Rapid processing for crypto transactions.
    • Customizable Limits: Tailored deposit and withdrawal thresholds.
    • Fee-Free Transactions: Elimination of traditional banking costs.

    >>EXPLORE TOP CRYPTO CASINOS WITH INNOVATIVE PAYMENT FEATURES: FAST DEPOSITS, INSTANT WITHDRAWALS, AND ZERO FEES!<<

    Market Dynamics and Future Outlook

    Rising Player Preference

    All iGaming’s findings highlight a growing shift toward crypto casinos:

    • 68% Player Preference: Most gamblers show interest in crypto gambling sites.
    • 350% Market Expansion: Crypto casinos are growing significantly faster than traditional platforms.
    • Broad Demographics: Adoption spans all age groups and regions.
    • Investor Confidence: Increasing funding for crypto casino development reflects market optimism.

    Technological Innovations

    The future of top online crypto casinos is shaped by:

    • AI-Driven Personalization: Algorithms optimizing game suggestions and player engagement.
    • Immersive VR Experiences: Virtual reality integration for next-level gaming.
    • Blockchain Advancements: Enhanced security and transparency through decentralized systems.
    • Multi-Platform Compatibility: Seamless access across mobile, desktop, and emerging devices.

    Expert Perspectives

    “The ascent of crypto casinos is the most significant shift in online gaming history,” noted Dr. Michael Park, Senior Researcher at All iGaming. “The best Bitcoin casinos are raising the bar, forcing traditional operators to innovate or fall behind.”

    Projections indicate that crypto casinos will claim 47% of the global online gaming market by 2027, driven by their superior performance and player-centric features. Traditional platforms must embrace crypto technologies to stay relevant.

    Selecting the Best Crypto Casinos

    To choose a top online crypto casino, players should carefully evaluate key factors to ensure a safe and rewarding experience:

    • Regulatory Compliance: Verify that the casino holds a valid license from a reputable jurisdiction, such as Malta or Curacao, to ensure adherence to industry standards. Confirming licensing protects players from fraudulent platforms and guarantees fair play. This step is essential for selecting a trustworthy crypto accepting casino.
    • Game Diversity and Quality: Assess the variety and quality of games, ensuring they come from reputable developers like Microgaming or Playtech. A robust game library with slots, table games, and live dealer options enhances the gaming experience. High RTP ratings and provably fair games are critical for player satisfaction.
    • Transaction Efficiency: Test the speed and reliability of deposits and withdrawals, prioritizing platforms with sub-7-minute crypto transactions. Efficient payment systems reduce wait times and enhance convenience. Ensure the casino supports multiple cryptocurrencies for maximum flexibility.
    • Support Excellence: Confirm the availability of 24/7 customer support through live chat, email, or phone for prompt issue resolution. Responsive support is crucial for addressing technical or account-related concerns. Look for platforms offering dedicated responsible gaming assistance.

    Optimizing the Experience

    Players can maximize their crypto casino experience by adopting strategic approaches:

    • Capitalizing on Rewards: Leverage generous welcome bonuses, free spins, and ongoing promotions to maximize value. Carefully review terms to ensure fair wagering requirements and optimize bonus benefits. This approach enhances gameplay without additional costs.
    • Strategic Banking: Choose cryptocurrencies like Bitcoin or stablecoins based on transaction speed and cost efficiency. Using stablecoins can minimize volatility risks during deposits and withdrawals. Efficient banking ensures seamless access to funds.
    • Exploring Game Variety: Engage with diverse game offerings, including live dealer games, slots, and provably fair titles, to enrich the gaming experience. Experimenting with different genres keeps gameplay fresh and exciting. This approach allows players to discover new favorites and maximize enjoyment.
    • Responsible Play: Utilize tools like deposit limits and self-exclusion options to maintain healthy gaming habits. Regularly monitor spending and playtime to avoid overextension. Responsible gaming practices ensure long-term enjoyment and safety.

    Conclusion: The Crypto Gaming Edge

    All iGaming’s research confirms that the best crypto casinos are transforming the online gambling industry. With lightning-fast transactions, expansive game offerings, advanced security, and innovative features, these platforms consistently outperform traditional casinos. Players seeking superior experiences should prioritize crypto accepting casinos for their unmatched efficiency and engagement.

    As the best Bitcoin casinos continue to push boundaries, they represent the future of online gaming, blending traditional excellence with cutting-edge technology to deliver unparalleled player experiences.

    Important: The information provided is for educational purposes. Casino gaming can be risky and should only be accessed by individuals of legal age. Be sure to gamble responsibly and consult your local laws before engaging in any online casino activity.

    Brand website:https://all-igaming.com/
    Project Name: All iGaming
    Full company Address: Oceanview Street 12, Sunnyville, Atlantis
    Postal Code:7299
    Media Contact:
    Full Name -Max Fraser
    Company website:https://all-igaming.com/
    Email:support@alligaming.com

    Attachment

    The MIL Network

  • MIL-OSI: Crypto & Bitcoin Casinos Ranked: Reddit Community Shares The Top Crypto Casinos of 2025

    Source: GlobeNewswire (MIL-OSI)

    New York City, NY, June 27, 2025 (GLOBE NEWSWIRE) —  All iGaming, a leading research authority in the digital gaming sector, today released its extensive analysis of the crypto casino market, showcasing how the best crypto casinos are revolutionizing the global gambling landscape. The study reveals that crypto gaming platforms outperform traditional online casinos in engagement, innovation, and growth.

    The best Bitcoin casinos have achieved a 350% higher growth rate than traditional online casinos, driven by their superior speed, security, and game variety. Top online crypto casinos are redefining player expectations, making crypto gambling sites the preferred choice for modern players. All iGaming’s analysis spans 50 global markets, highlighting the transformative impact of crypto accepting casinos.

    >>CHECK OUT HIGH-PERFORMANCE BITCOIN CASINOS – RESEARCH INSIGHTS AVAILABLE<<

    Key Crypto Casino Categories Driving Transformation

    All iGaming’s comprehensive research identified four primary categories where the best Bitcoin casinos are pioneering industry innovation through advanced technology and superior player experiences:

    • Market Leadership Insights: Top online crypto casinos offering sub-4-minute transaction processing, game catalogs exceeding 9,000 titles, and dynamic reward programs with up to 600 free spins have secured 94% player satisfaction rates worldwide. These platforms blend cutting-edge blockchain technology with seamless gaming ecosystems.
    • Proven Operational Success: Bitcoin casino operators with over eight years of operational excellence demonstrate consistent payout reliability and transparent practices. Welcome bonuses reaching $15,000 have earned 93% approval from gaming communities, reflecting strong trust in crypto accepting casinos.
    • Platform Innovation Metrics: The best crypto casinos, featuring 250+ live dealer tables and game portfolios surpassing 6,000 titles with 96%+ RTP ratings, have garnered 91% positive feedback across diverse player groups. Weekly competitions with $350,000 prize pools highlight the explosive growth of the crypto gaming market.
    • Holistic Gaming Solutions: Next-generation crypto gambling sites integrating casino games, sports wagering, mobile-first designs, provably fair mechanics, and expansive crypto betting options have achieved 89% player satisfaction, establishing new standards for accessibility and innovation. Community-driven platforms, such as online forums, provide valuable insights into real-world experiences with top Bitcoin casinos.

    >>IN-DEPTH LOOK AT MARKET-LEADING CRYPTO CASINOS<<

    “Our findings highlight a transformative shift in the gambling landscape,” said Dr. Laura Kim, Chief Analyst at All iGaming. “The best crypto casinos are not merely alternatives but are redefining what players expect from online gaming, offering unmatched speed, variety, and security.”

    Research Approach

    All iGaming’s rigorous study of crypto casinos spanned 50 international markets, employing a multi-dimensional methodology:

    • 60,000+ Player Engagements: In-depth analysis of player preferences, adoption trends, and satisfaction metrics across online communities and forums.
    • 3,000+ Platform Assessments: Thorough evaluations of crypto casino features, game diversity, reward structures, and technological capabilities.
    • 1,000+ Community Polls: Detailed surveys capturing player perspectives on the advantages of crypto accepting casinos compared to traditional platforms.
    • Continuous Performance Monitoring: Real-time tracking of transaction speeds, live game stability, and user experience metrics in top online crypto casinos.

    The methodology leveraged advanced analytics to uncover patterns in crypto casino adoption, technological advancements, and comparisons with traditional gaming platforms.

    Performance Analysis: Crypto Casinos vs. Traditional Casinos

    • Lightning-Fast Transactions

    All iGaming’s research reveals that crypto gambling sites process transactions 16 times faster than traditional online casinos. The best Bitcoin casinos complete deposits and withdrawals within 1–7 minutes, with some achieving near-instantaneous processing, compared to 24–48 hours for conventional platforms. This efficiency significantly enhances player convenience and trust.

    Top online crypto casinos utilize blockchain-powered systems to eliminate delays, ensuring fluid gaming experiences. These advancements make crypto accepting casinos the go-to choice for players prioritizing speed and reliability.

    • Diverse Gaming Portfolios

    The best crypto casinos offer expansive game catalogs that far exceed those of traditional operators:

    • 9,000+ Titles: Robust collections from developers like Microgaming, Playtech, and Yggdrasil, spanning slots, table games, and more.
    • 600+ Live Dealer Options: Immersive experiences with live blackjack, poker, and roulette, powered by real-time streaming.
    • 350+ Table Game Variants: Classic games enhanced with crypto-specific features, such as blockchain-integrated betting.
    • 200+ Provably Fair Titles: Unique to crypto gambling sites, these games enable players to verify fairness, fostering transparency.

    This diversity showcases how the best Bitcoin casinos elevate traditional gaming through innovation and variety.

    >>ADVANCED GAMING FEATURES UNVEILED – MARKET STUDY<<

    Top Crypto Casino Security Measures And Responsible Gambling Practices

    Cutting-Edge Security Measures

    Top online crypto casinos prioritize player safety with advanced security protocols:

    • Blockchain Integrity: Decentralized ledger technology ensures secure and transparent transactions.
    • Multi-Layer Wallets: Enterprise-grade protection for player funds.
    • Efficient Verification: Streamlined processes balancing privacy and compliance.
    • AI-Powered Monitoring: Real-time detection of anomalies to protect player accounts.

    Comprehensive Responsible Gaming Initiatives

    The best crypto casinos lead in responsible gaming with:

    • Spending Limit Tools: Flexible controls for managing gaming budgets.
    • Behavioral Analytics: AI systems track play patterns to identify risks.
    • 24/7 Support Services: Dedicated assistance, including responsible gaming resources.
    • Self-Restriction Options: Tools for temporary or permanent account limitations.

    Payment Innovations in Crypto Casinos

    Versatile Payment Options

    Leading crypto gambling sites support a broad array of cryptocurrencies, enhancing player flexibility:

    • Core Cryptocurrencies: Bitcoin, Ethereum, Binance Coin, and 60+ altcoins.
    • Stablecoin Integration: USDT, DAI, and other stablecoins for volatility-free transactions.
    • Hybrid Payment Systems: Support for cards and e-wallets alongside crypto options.
    • Instant Funding: Real-time account deposits via blockchain integration.

    Streamlined Withdrawal Systems

    The best Bitcoin casinos offer:

    • Sub-7-Minute Withdrawals: Rapid processing for crypto transactions.
    • Customizable Limits: Tailored deposit and withdrawal thresholds.
    • Fee-Free Transactions: Elimination of traditional banking costs.

    >>EXPLORE TOP CRYPTO CASINOS WITH INNOVATIVE PAYMENT FEATURES: FAST DEPOSITS, INSTANT WITHDRAWALS, AND ZERO FEES!<<

    Market Dynamics and Future Outlook

    Rising Player Preference

    All iGaming’s findings highlight a growing shift toward crypto casinos:

    • 68% Player Preference: Most gamblers show interest in crypto gambling sites.
    • 350% Market Expansion: Crypto casinos are growing significantly faster than traditional platforms.
    • Broad Demographics: Adoption spans all age groups and regions.
    • Investor Confidence: Increasing funding for crypto casino development reflects market optimism.

    Technological Innovations

    The future of top online crypto casinos is shaped by:

    • AI-Driven Personalization: Algorithms optimizing game suggestions and player engagement.
    • Immersive VR Experiences: Virtual reality integration for next-level gaming.
    • Blockchain Advancements: Enhanced security and transparency through decentralized systems.
    • Multi-Platform Compatibility: Seamless access across mobile, desktop, and emerging devices.

    Expert Perspectives

    “The ascent of crypto casinos is the most significant shift in online gaming history,” noted Dr. Michael Park, Senior Researcher at All iGaming. “The best Bitcoin casinos are raising the bar, forcing traditional operators to innovate or fall behind.”

    Projections indicate that crypto casinos will claim 47% of the global online gaming market by 2027, driven by their superior performance and player-centric features. Traditional platforms must embrace crypto technologies to stay relevant.

    Selecting the Best Crypto Casinos

    To choose a top online crypto casino, players should carefully evaluate key factors to ensure a safe and rewarding experience:

    • Regulatory Compliance: Verify that the casino holds a valid license from a reputable jurisdiction, such as Malta or Curacao, to ensure adherence to industry standards. Confirming licensing protects players from fraudulent platforms and guarantees fair play. This step is essential for selecting a trustworthy crypto accepting casino.
    • Game Diversity and Quality: Assess the variety and quality of games, ensuring they come from reputable developers like Microgaming or Playtech. A robust game library with slots, table games, and live dealer options enhances the gaming experience. High RTP ratings and provably fair games are critical for player satisfaction.
    • Transaction Efficiency: Test the speed and reliability of deposits and withdrawals, prioritizing platforms with sub-7-minute crypto transactions. Efficient payment systems reduce wait times and enhance convenience. Ensure the casino supports multiple cryptocurrencies for maximum flexibility.
    • Support Excellence: Confirm the availability of 24/7 customer support through live chat, email, or phone for prompt issue resolution. Responsive support is crucial for addressing technical or account-related concerns. Look for platforms offering dedicated responsible gaming assistance.

    Optimizing the Experience

    Players can maximize their crypto casino experience by adopting strategic approaches:

    • Capitalizing on Rewards: Leverage generous welcome bonuses, free spins, and ongoing promotions to maximize value. Carefully review terms to ensure fair wagering requirements and optimize bonus benefits. This approach enhances gameplay without additional costs.
    • Strategic Banking: Choose cryptocurrencies like Bitcoin or stablecoins based on transaction speed and cost efficiency. Using stablecoins can minimize volatility risks during deposits and withdrawals. Efficient banking ensures seamless access to funds.
    • Exploring Game Variety: Engage with diverse game offerings, including live dealer games, slots, and provably fair titles, to enrich the gaming experience. Experimenting with different genres keeps gameplay fresh and exciting. This approach allows players to discover new favorites and maximize enjoyment.
    • Responsible Play: Utilize tools like deposit limits and self-exclusion options to maintain healthy gaming habits. Regularly monitor spending and playtime to avoid overextension. Responsible gaming practices ensure long-term enjoyment and safety.

    Conclusion: The Crypto Gaming Edge

    All iGaming’s research confirms that the best crypto casinos are transforming the online gambling industry. With lightning-fast transactions, expansive game offerings, advanced security, and innovative features, these platforms consistently outperform traditional casinos. Players seeking superior experiences should prioritize crypto accepting casinos for their unmatched efficiency and engagement.

    As the best Bitcoin casinos continue to push boundaries, they represent the future of online gaming, blending traditional excellence with cutting-edge technology to deliver unparalleled player experiences.

    Important: The information provided is for educational purposes. Casino gaming can be risky and should only be accessed by individuals of legal age. Be sure to gamble responsibly and consult your local laws before engaging in any online casino activity.

    Brand website:https://all-igaming.com/
    Project Name: All iGaming
    Full company Address: Oceanview Street 12, Sunnyville, Atlantis
    Postal Code:7299
    Media Contact:
    Full Name -Max Fraser
    Company website:https://all-igaming.com/
    Email:support@alligaming.com

    Attachment

    The MIL Network

  • MIL-OSI: PIMCO Closed-End Funds Announce Shareholder Approval of Issuance of Common Shares in Proposed Reorganizations

    Source: GlobeNewswire (MIL-OSI)

    NEW YORK, June 27, 2025 (GLOBE NEWSWIRE) — At a joint special meeting earlier today, common shareholders of each of PIMCO Municipal Income Fund II (NYSE: PML), PIMCO New York Municipal Income Fund II (NYSE: PNI) and PIMCO California Municipal Income Fund (NYSE: PCQ) (each, an “Acquiring Fund”) approved the issuance of additional common shares in connection with each of the below reorganizations, as applicable (each, a “Merger” and collectively, the “Mergers”):

    • National Mergers: PIMCO Municipal Income Fund (NYSE: PMF) and PIMCO Municipal Income Fund III (NYSE: PMX) with and into PML;
    • New York Mergers: PIMCO New York Municipal Income Fund (NYSE: PNF) and PIMCO New York Municipal Income Fund III (NYSE: PYN) with and into PNI; and
    • California Mergers: PIMCO California Municipal Income Fund II (NYSE: PCK) and PIMCO California Municipal Income Fund III (NYSE: PZC) with and into PCQ.

    Once the Mergers are consummated, each of the Acquiring Funds will acquire all of the assets and liabilities of, as applicable, PMF, PMX, PNF, PYN, PCK, and PZC (each, an “Acquired Fund” and together with the Acquiring Funds, the “Funds”), and the common shares of each Acquired Fund will, in effect, be exchanged for new common shares of the corresponding Acquiring Fund with an equal aggregate net asset value. In addition, each Fund has one or more series of Remarketable Variable Rate MuniFund Term Preferred Shares (“RVMTP Shares”) outstanding. As part of each Merger, the outstanding RVMTP Shares of each Acquired Fund will, in effect, be exchanged for RVMTP Shares of the corresponding Acquiring Fund with an aggregate liquidation preference equal to, and other terms that are substantially identical to, the corresponding series of RVMTP Shares of each such Acquired Fund.

    The Mergers are currently expected to be completed on or about August 1, 2025, subject to PIMCO’s market outlook and operational considerations and the satisfaction of applicable regulatory requirements and customary closing conditions. In the event the completion of the Mergers is delayed, PIMCO will issue a press release notifying Fund shareholders of the new expected completion date.

    The holders of the RVMTP Shares of each Acquired Fund have been asked to consent to the applicable Merger, and the consummation of a Merger with respect to each such Acquired Fund is contingent upon the consent of the holders of its RVMTP Shares, as applicable. No further action is needed from common or preferred shareholders of any Fund.

    In light of the existing similarities in the Funds’ investment strategies and holdings, PIMCO does not currently expect to materially restructure any Acquired Fund’s portfolio or reposition its holdings prior to the Mergers in order to align with the applicable Acquiring Fund’s investment strategies. However, as of the close of business today through the closing of the Mergers, each Acquired Fund will be in a “transition period” during which PIMCO may reposition the Acquired Fund’s assets to prepare to transfer such assets to the corresponding Acquiring Fund, as needed, depending on market conditions and each Acquiring Fund’s portfolio holdings prior to the Mergers. During this time, an Acquired Fund may not be pursuing its investment objective and strategies, and limitations on permissible investments and investment restrictions will not apply.

    About PIMCO

    PIMCO was founded in 1971 in Newport Beach, California and is one of the world’s premier fixed income investment managers. Today we have offices across the globe and 3,000+ professionals united by a single purpose: creating opportunities for investors in every environment. PIMCO is owned by Allianz S.E., a leading global diversified financial services provider.

    Registration statements relating to each Acquiring Fund’s Common Merger Shares (as defined in the corresponding registration statement) have been filed with, and declared effective by, the Securities and Exchange Commission (the “SEC”). This press release is not intended to, and does not, constitute an offer to purchase or sell shares of the Funds; nor is this press release intended to solicit a proxy from any shareholder of the Funds.

    Except for the historical information and discussions contained herein, statements contained in this press release constitute forward-looking statements. These statements may involve a number of risks, uncertainties and other factors that could cause actual results to differ materially, including the performance of financial markets, the investment performance of PIMCO’s sponsored investment products and separately managed accounts, general economic conditions, future acquisitions, competitive conditions and government regulations, including changes in tax laws. Readers should carefully consider such factors. Further, such forward-looking statements speak only on the date at which such statements are made. PIMCO undertakes no obligation to update any forward-looking statements to reflect events or circumstances after the date of such statement.

    This material has been distributed for informational purposes only and should not be considered as investment advice or a recommendation of any particular security, strategy or investment product. No part of this material may be reproduced in any form, or referred to in any other publication, without express written permission. PIMCO is a trademark of Allianz Asset Management of America LLC in the United States and throughout the world. PIMCO Investments LLC, 1633 Broadway, New York, NY 10019, is a company of PIMCO. ©2025, PIMCO.

    For information on PIMCO Closed-End Funds:
    Financial Advisors: (800) 628-1237
    Shareholders: (844) 337-4626 or (844) 33-PIMCO
    PIMCO Media Relations: (212) 597-1054

    The MIL Network

  • MIL-OSI: iAnthus Announces Results from Annual General Meeting

    Source: GlobeNewswire (MIL-OSI)

    NEW YORK and TORONTO, June 27, 2025 (GLOBE NEWSWIRE) — iAnthus Capital Holdings, Inc. (“iAnthus” or the “Company”) (CSE: IAN, OTCPK: ITHUF), which owns, operates and partners with regulated cannabis operations across the United States, is pleased to report the results for the Annual General Meeting of Shareholders of iAnthus held on Thursday, June 26, 2025 at 12:00 p.m. (Eastern Time).

    All matters put forward before the iAnthus shareholders (the “Shareholders“) for consideration and approval as set out in the Proxy Statement dated May 21, 2025, were approved by the Shareholders. Specifically, the Shareholders: (i) approved the election of Scott Cohen, Michelle Mathews-Spradlin, Kenneth W. Gilbert, Alexander Shoghi, and Richard Proud as directors of the Company; and (ii) approved the appointment of PKF O’Connor Davies, LLP as auditors of the Company.

    About iAnthus
    iAnthus owns and operates licensed cannabis cultivation, processing and dispensary facilities throughout the United States. For more information, visit www.iAnthus.com.

    Neither the Canadian Securities Exchange nor the U.S. Securities and Exchange Commission has reviewed, approved or disapproved the content of this news release.

    The MIL Network

  • MIL-OSI: iAnthus Announces Results from Annual General Meeting

    Source: GlobeNewswire (MIL-OSI)

    NEW YORK and TORONTO, June 27, 2025 (GLOBE NEWSWIRE) — iAnthus Capital Holdings, Inc. (“iAnthus” or the “Company”) (CSE: IAN, OTCPK: ITHUF), which owns, operates and partners with regulated cannabis operations across the United States, is pleased to report the results for the Annual General Meeting of Shareholders of iAnthus held on Thursday, June 26, 2025 at 12:00 p.m. (Eastern Time).

    All matters put forward before the iAnthus shareholders (the “Shareholders“) for consideration and approval as set out in the Proxy Statement dated May 21, 2025, were approved by the Shareholders. Specifically, the Shareholders: (i) approved the election of Scott Cohen, Michelle Mathews-Spradlin, Kenneth W. Gilbert, Alexander Shoghi, and Richard Proud as directors of the Company; and (ii) approved the appointment of PKF O’Connor Davies, LLP as auditors of the Company.

    About iAnthus
    iAnthus owns and operates licensed cannabis cultivation, processing and dispensary facilities throughout the United States. For more information, visit www.iAnthus.com.

    Neither the Canadian Securities Exchange nor the U.S. Securities and Exchange Commission has reviewed, approved or disapproved the content of this news release.

    The MIL Network

  • MIL-OSI: iAnthus Announces Results from Annual General Meeting

    Source: GlobeNewswire (MIL-OSI)

    NEW YORK and TORONTO, June 27, 2025 (GLOBE NEWSWIRE) — iAnthus Capital Holdings, Inc. (“iAnthus” or the “Company”) (CSE: IAN, OTCPK: ITHUF), which owns, operates and partners with regulated cannabis operations across the United States, is pleased to report the results for the Annual General Meeting of Shareholders of iAnthus held on Thursday, June 26, 2025 at 12:00 p.m. (Eastern Time).

    All matters put forward before the iAnthus shareholders (the “Shareholders“) for consideration and approval as set out in the Proxy Statement dated May 21, 2025, were approved by the Shareholders. Specifically, the Shareholders: (i) approved the election of Scott Cohen, Michelle Mathews-Spradlin, Kenneth W. Gilbert, Alexander Shoghi, and Richard Proud as directors of the Company; and (ii) approved the appointment of PKF O’Connor Davies, LLP as auditors of the Company.

    About iAnthus
    iAnthus owns and operates licensed cannabis cultivation, processing and dispensary facilities throughout the United States. For more information, visit www.iAnthus.com.

    Neither the Canadian Securities Exchange nor the U.S. Securities and Exchange Commission has reviewed, approved or disapproved the content of this news release.

    The MIL Network

  • MIL-OSI: Array Technologies Closes Upsized Offering of Its 2.875% Convertible Senior Notes

    Source: GlobeNewswire (MIL-OSI)

    • $345 million raised; approximately $334 million of net proceeds
    • $233 million of term loan outstanding balance to be repaid with proceeds
    • $78 million of proceeds used to repurchase $100 million principal of 1.00% Convertible Senior Notes due 2028
    • $35 million of proceeds used to acquire Capped Calls elevating conversion price to $12.74 per share

    ALBUQUERQUE, N.M., June 27, 2025 (GLOBE NEWSWIRE) — ARRAY Technologies, Inc. (NASDAQ: ARRY) (the “Company” or “ARRAY”) today announced the closing of its previously announced private offering of $345 million aggregate principal amount of its 2.875% convertible senior notes due July 2031 (the “Notes”). The Notes were sold in a private offering only to persons reasonably believed to be qualified institutional buyers pursuant to Rule 144A under the Securities Act of 1933, as amended. The offering represents the aggregate of both the previously announced, upsized offering of $300 million, as well as the full exercise of the $45 million option to purchase additional Notes granted by ARRAY to the initial purchasers of the Notes.

    Kevin G. Hostetler, Chief Executive Officer of ARRAY, said, “This successful offering marks a significant milestone in our ongoing efforts to strengthen ARRAY’s capital structure and position the company for long-term growth. By refinancing higher-cost debt and proactively managing our debt maturity profile, we are enhancing our financial flexibility while minimizing potential dilution for shareholders. These actions reflect our continued commitment to disciplined capital allocation and delivering sustainable value.”

    H. Keith Jennings, Chief Financial Officer of ARRAY, added, “We are pleased with the strong demand for our convertible notes offering, which allowed us to upsize the transaction and optimize our balance sheet. The repayment of our term loan affords us the full maturity extension of our revolving credit facility, and the repurchase of a portion of our 2028 convertible notes at a discount generates meaningful shareholder value. Additionally, the capped call transactions provide important protection against dilution, aligning with our focus on prudent financial management.”

    The net proceeds from the offering were approximately $334.1 million, after deducting the initial purchasers’ discounts and estimated expenses payable by ARRAY. ARRAY intends to use (i) a portion of the net proceeds, together with approximately $12.1 million cash on hand, to fully repay the approximately $232.8 million of outstanding indebtedness under its term loan facility, (ii) approximately $35.1 million of the net proceeds to fund the cost of entering into the capped call transactions and (iii) a portion of the net proceeds to fund repurchases of approximately $100 million in aggregate principal amount of its outstanding 1.00% Convertible Senior Notes due 2028 for approximately $78.3 million in cash, plus accrued and unpaid interest.

    The capped call transactions entered into in connection with the offering are expected to generally reduce potential dilution to the common stock upon conversion of the Notes or to offset any cash payments the Company is required to make in excess of the principal amount of converted Notes, as the case may be, with the reduction or offset subject to a cap initially equal to $12.74 per share. The capped calls have an initial strike price of $8.12 per share, subject to adjustments, which corresponds to the initial conversion price of the Notes.

    Total annual net interest expense savings resulting from these transactions is expected to be approximately $9 million and will enhance free cash flow generation.

    About Array Technologies, Inc.

    ARRAY Technologies, Inc. (NASDAQ: ARRY) is a leading global provider of solar tracking technology to utility-scale and distributed generation customers, who construct, develop, and operate solar PV sites. With solutions engineered to withstand the harshest weather conditions, ARRAY’s high-quality solar trackers, software platforms and field services combine to maximize energy production and deliver value to ARRAY’s customers for the entire lifecycle of a project. Founded and headquartered in the United States, ARRAY is rooted in manufacturing and driven by technology – relying on its domestic manufacturing, diversified global supply chain, and customer-centric approach to design, deliver, commission, train, and support solar energy deployment around the world. For more news and information on ARRAY, please visit arraytechinc.com.

    Media Contact:
    Nicole Stewart
    505-589-8257
    nicole.stewart@arraytechinc.com

    Investor Relations Contact:
    ARRAY Technologies, Inc.
    Investor Relations
    investors@arraytechinc.com

    Forward-Looking Statements

    This press release includes “forward-looking statements” within the meaning of the Private Securities Litigation Reform Act of 1995. Forward-looking statements may be identified by the use of words such as “estimate,” “plan,” “project,” “forecast,” “intend,” “will,” “shall,” “expect,” “anticipate,” “believe,” “seek,” “target,” “continue,” “could,” “may,” “might,” “possible,” “potential,” “predict” or other similar expressions that predict or indicate future events or trends or that are not statements of historical matters. These forward-looking statements include, but are not limited to the intended use of the net proceeds and the expected savings from the offering. Forward-looking statements involve inherent risks and uncertainties, and important factors (many of which are beyond the Company’s control) that could cause actual results to differ materially from those set forth in the forward looking statements, including risks and uncertainties associated with market conditions, including market interest rates, the trading price and volatility of ARRAY’s common stock, the Company’s business and operations and results of financing efforts, including those described in more detail in the Company’s Annual Report on Form 10-K for the year ended December 31, 2024, Quarterly Report on Form 10-Q for the quarter ended March 31, 2025 and subsequent reports and other documents on file with the U.S. Securities and Exchange Commission. The forward-looking statements included in this press release speak only as of the date of this press release. Except as required by law, the Company does not undertake, and specifically disclaims, any obligation to update any forward-looking statements to reflect events or circumstances occurring after the date of such statements.

    The MIL Network

  • MIL-OSI: Portman Ridge Finance Corporation Announces Shareholder Approval of Merger with Logan Ridge Finance Corporation

    Source: GlobeNewswire (MIL-OSI)

    NEW YORK, June 27, 2025 (GLOBE NEWSWIRE) — Portman Ridge Finance Corporation (NASDAQ: PTMN) (“Portman Ridge” or “PTMN”) announced today that it obtained shareholder approval for the issuance of PTMN common stock in connection with the proposed merger of Logan Ridge Finance Corporation (NASDAQ: LRFC) (“Logan Ridge” or “LRFC”) with and into PTMN (the “Share Issuance Proposal”) following the adjourned special meeting of shareholders held on June 27, 2025.

    PTMN shareholders voted overwhelmingly in favor of the proposed transaction, with approximately 88% of voting shareholders supporting the proposal. Of note, on June 20, 2025, LRFC stockholders approved the merger with PTMN. Thus, subject to the satisfaction of customary closing conditions, the merger is expected to close on or about July 15, 2025.

    Ted Goldthorpe, President and Chief Executive Officer of PTMN and LRFC and Head of the BC Partners Credit Platform, stated, “We would like to thank our shareholders for their strong support of the merger with LRFC. Their vote affirms the strategic vision behind this combination and supports our efforts to create a larger, more efficient platform that is better positioned for long-term growth.

    Upon closing, we look forward to rebranding the combined company as BCP Investment Corporation to reflect the Company’s affiliation with the broader BC Partners Credit Platform. Additionally, we are proud to introduce a monthly distribution framework, and implement a robust share repurchase initiative, all designed to enhance shareholder value and align interests across the platform.

    We are excited about the opportunities ahead and remain committed to delivering compelling risk-adjusted returns for our shareholders.”

    Merger Related Terms

    • Pre-closing: Shareholders of LRFC will receive 1.50 newly issued shares of PTMN common stock in exchange for each share of common stock of LRFC.
    • Upon the closing of the merger: Portman Ridge will rebrand and begin operating under the name BCP Investment Corporation (the “Company” or “BCIC”). In connection with the rebranding, the Company will continue to trade on the Nasdaq under the new ticker symbol “BCIC”.
    • Beginning in 2026: The Company will transition to paying its currently quarterly base distribution on a monthly basis, while retaining the potential for quarterly supplemental distributions. The quarterly supplemental distributions will continue to approximate 50% of the incremental net investment income earned in excess of the base monthly distributions.
    • Over the next 24 months: To further align our interests with shareholders and drive additional value creation, the Company, along with its management, its adviser and their affiliates intend to acquire up to 20% of the Company’s outstanding common stock to the extent the Company’s shares continue to trade below 80% of net asset value (“NAV”), which implies a share price of $15.08 based Portman Ridge’s March 31, 2025 NAV per share, or approximately a 20% premium to PTMN’s June 26, 2025 closing market price. These purchases will begin no earlier than 60 calendar days following the date of the closing of the LRFC merger and may occur through various methods, including open market purchases and privately negotiated transactions, and may be conducted pursuant to Rule 10b5-1 and Rule 10b-18 trading plans. In this regard and as previously announced, PTMN’s Board of Directors has authorized an open market stock repurchase program of up to $10 million for the period from March 12, 2025 to March 31, 2026. The Company, its management and its adviser also reserve the right to conduct tender offers as part of the Company’s broader value creation initiatives.

    About Portman Ridge Finance Corporation

    PTMN is a publicly traded, externally managed closed-end investment company that has elected to be regulated as a business development company under the Investment Company Act of 1940. PTMN’s middle market investment business originates, structures, finances and manages a portfolio of term loans, mezzanine investments and selected equity securities in middle market companies. PTMN’s investment activities are managed by its investment adviser, Sierra Crest Investment Management LLC, an affiliate of BC Partners Advisors L.P. PTMN’s filings with the Securities and Exchange Commission (“SEC”), earnings releases, press releases and other financial, operational and governance information are available on Portman Ridge’s website at www.portmanridge.com.

    About Logan Ridge Finance Corporation

    LRFC is a business development company (a “BDC”) that invests primarily in first lien loans and, to a lesser extent, second lien loans and equity securities issued by lower middle-market companies. LRFC invests in performing, well-established middle-market businesses that operate across a wide range of industries. It employs fundamental credit analysis, targeting investments in businesses with relatively low levels of cyclicality and operating risk. For more information, visit www.loganridgefinance.com.

    About BC Partners Advisors L.P. and BC Partners Credit
    BC Partners Advisors L.P. (“BC Partners”) is a leading international investment firm in private equity, private credit and real estate strategies. Established in 1986, BC Partners has played an active role in developing the European buyout market for three decades.

    Today, BC Partners executives operate across markets as an integrated team through the firm’s offices in North America and Europe. For more information, please visit https://www.bcpartners.com/.

    BC Partners Credit was launched in February 2017 and has pursued a strategy focused on identifying attractive credit opportunities in any market environment and across sectors, leveraging the deal sourcing and infrastructure made available from BC Partners.

    Cautionary Statement Regarding Forward-Looking Statements

    Some of the statements in this communication constitute forward-looking statements because they relate to future events, future performance or financial condition. The forward-looking statements may include statements as to future operating results and distribution projections of the Company; business prospects of the Company, and future share repurchase/purchase activity. In addition, words such as “anticipate,” “believe,” “expect,” “seek,” “plan,” “should,” “estimate,” “project” and “intend” indicate forward-looking statements, although not all forward-looking statements include these words. The forward-looking statements contained in this communication involve risks and uncertainties. More information on the risks and other potential factors that could affect these forward-looking statements is included in Registration Statement and Joint Proxy Statement (in each case, as defined below).   Although PTMN and LRFC undertake no obligation to revise or update any forward-looking statements, whether as a result of new information, future events or otherwise, you are advised to consult any additional disclosures that they may make directly to you or through reports that PTMN and LRFC in the future may file with the SEC, including the Registration Statement and Joint Proxy Statement, annual reports on Form 10-K, quarterly reports on Form 10-Q and current reports on Form 8-K.

    Contacts:
    Portman Ridge Finance Corporation
    650 Madison Avenue, 3rd floor
    New York, NY 10022

    Brandon Satoren
    Chief Financial Officer
    Brandon.Satoren@bcpartners.com
    (212) 891-2880

    The Equity Group Inc.
    Lena Cati
    lcati@equityny.com
    (212) 836-9611

    Val Ferraro
    vferraro@equityny.com
    (212) 836-9633

    The MIL Network

  • MIL-OSI: Portman Ridge Finance Corporation Announces Shareholder Approval of Merger with Logan Ridge Finance Corporation

    Source: GlobeNewswire (MIL-OSI)

    NEW YORK, June 27, 2025 (GLOBE NEWSWIRE) — Portman Ridge Finance Corporation (NASDAQ: PTMN) (“Portman Ridge” or “PTMN”) announced today that it obtained shareholder approval for the issuance of PTMN common stock in connection with the proposed merger of Logan Ridge Finance Corporation (NASDAQ: LRFC) (“Logan Ridge” or “LRFC”) with and into PTMN (the “Share Issuance Proposal”) following the adjourned special meeting of shareholders held on June 27, 2025.

    PTMN shareholders voted overwhelmingly in favor of the proposed transaction, with approximately 88% of voting shareholders supporting the proposal. Of note, on June 20, 2025, LRFC stockholders approved the merger with PTMN. Thus, subject to the satisfaction of customary closing conditions, the merger is expected to close on or about July 15, 2025.

    Ted Goldthorpe, President and Chief Executive Officer of PTMN and LRFC and Head of the BC Partners Credit Platform, stated, “We would like to thank our shareholders for their strong support of the merger with LRFC. Their vote affirms the strategic vision behind this combination and supports our efforts to create a larger, more efficient platform that is better positioned for long-term growth.

    Upon closing, we look forward to rebranding the combined company as BCP Investment Corporation to reflect the Company’s affiliation with the broader BC Partners Credit Platform. Additionally, we are proud to introduce a monthly distribution framework, and implement a robust share repurchase initiative, all designed to enhance shareholder value and align interests across the platform.

    We are excited about the opportunities ahead and remain committed to delivering compelling risk-adjusted returns for our shareholders.”

    Merger Related Terms

    • Pre-closing: Shareholders of LRFC will receive 1.50 newly issued shares of PTMN common stock in exchange for each share of common stock of LRFC.
    • Upon the closing of the merger: Portman Ridge will rebrand and begin operating under the name BCP Investment Corporation (the “Company” or “BCIC”). In connection with the rebranding, the Company will continue to trade on the Nasdaq under the new ticker symbol “BCIC”.
    • Beginning in 2026: The Company will transition to paying its currently quarterly base distribution on a monthly basis, while retaining the potential for quarterly supplemental distributions. The quarterly supplemental distributions will continue to approximate 50% of the incremental net investment income earned in excess of the base monthly distributions.
    • Over the next 24 months: To further align our interests with shareholders and drive additional value creation, the Company, along with its management, its adviser and their affiliates intend to acquire up to 20% of the Company’s outstanding common stock to the extent the Company’s shares continue to trade below 80% of net asset value (“NAV”), which implies a share price of $15.08 based Portman Ridge’s March 31, 2025 NAV per share, or approximately a 20% premium to PTMN’s June 26, 2025 closing market price. These purchases will begin no earlier than 60 calendar days following the date of the closing of the LRFC merger and may occur through various methods, including open market purchases and privately negotiated transactions, and may be conducted pursuant to Rule 10b5-1 and Rule 10b-18 trading plans. In this regard and as previously announced, PTMN’s Board of Directors has authorized an open market stock repurchase program of up to $10 million for the period from March 12, 2025 to March 31, 2026. The Company, its management and its adviser also reserve the right to conduct tender offers as part of the Company’s broader value creation initiatives.

    About Portman Ridge Finance Corporation

    PTMN is a publicly traded, externally managed closed-end investment company that has elected to be regulated as a business development company under the Investment Company Act of 1940. PTMN’s middle market investment business originates, structures, finances and manages a portfolio of term loans, mezzanine investments and selected equity securities in middle market companies. PTMN’s investment activities are managed by its investment adviser, Sierra Crest Investment Management LLC, an affiliate of BC Partners Advisors L.P. PTMN’s filings with the Securities and Exchange Commission (“SEC”), earnings releases, press releases and other financial, operational and governance information are available on Portman Ridge’s website at www.portmanridge.com.

    About Logan Ridge Finance Corporation

    LRFC is a business development company (a “BDC”) that invests primarily in first lien loans and, to a lesser extent, second lien loans and equity securities issued by lower middle-market companies. LRFC invests in performing, well-established middle-market businesses that operate across a wide range of industries. It employs fundamental credit analysis, targeting investments in businesses with relatively low levels of cyclicality and operating risk. For more information, visit www.loganridgefinance.com.

    About BC Partners Advisors L.P. and BC Partners Credit
    BC Partners Advisors L.P. (“BC Partners”) is a leading international investment firm in private equity, private credit and real estate strategies. Established in 1986, BC Partners has played an active role in developing the European buyout market for three decades.

    Today, BC Partners executives operate across markets as an integrated team through the firm’s offices in North America and Europe. For more information, please visit https://www.bcpartners.com/.

    BC Partners Credit was launched in February 2017 and has pursued a strategy focused on identifying attractive credit opportunities in any market environment and across sectors, leveraging the deal sourcing and infrastructure made available from BC Partners.

    Cautionary Statement Regarding Forward-Looking Statements

    Some of the statements in this communication constitute forward-looking statements because they relate to future events, future performance or financial condition. The forward-looking statements may include statements as to future operating results and distribution projections of the Company; business prospects of the Company, and future share repurchase/purchase activity. In addition, words such as “anticipate,” “believe,” “expect,” “seek,” “plan,” “should,” “estimate,” “project” and “intend” indicate forward-looking statements, although not all forward-looking statements include these words. The forward-looking statements contained in this communication involve risks and uncertainties. More information on the risks and other potential factors that could affect these forward-looking statements is included in Registration Statement and Joint Proxy Statement (in each case, as defined below).   Although PTMN and LRFC undertake no obligation to revise or update any forward-looking statements, whether as a result of new information, future events or otherwise, you are advised to consult any additional disclosures that they may make directly to you or through reports that PTMN and LRFC in the future may file with the SEC, including the Registration Statement and Joint Proxy Statement, annual reports on Form 10-K, quarterly reports on Form 10-Q and current reports on Form 8-K.

    Contacts:
    Portman Ridge Finance Corporation
    650 Madison Avenue, 3rd floor
    New York, NY 10022

    Brandon Satoren
    Chief Financial Officer
    Brandon.Satoren@bcpartners.com
    (212) 891-2880

    The Equity Group Inc.
    Lena Cati
    lcati@equityny.com
    (212) 836-9611

    Val Ferraro
    vferraro@equityny.com
    (212) 836-9633

    The MIL Network

  • MIL-OSI: Portman Ridge Finance Corporation Announces Shareholder Approval of Merger with Logan Ridge Finance Corporation

    Source: GlobeNewswire (MIL-OSI)

    NEW YORK, June 27, 2025 (GLOBE NEWSWIRE) — Portman Ridge Finance Corporation (NASDAQ: PTMN) (“Portman Ridge” or “PTMN”) announced today that it obtained shareholder approval for the issuance of PTMN common stock in connection with the proposed merger of Logan Ridge Finance Corporation (NASDAQ: LRFC) (“Logan Ridge” or “LRFC”) with and into PTMN (the “Share Issuance Proposal”) following the adjourned special meeting of shareholders held on June 27, 2025.

    PTMN shareholders voted overwhelmingly in favor of the proposed transaction, with approximately 88% of voting shareholders supporting the proposal. Of note, on June 20, 2025, LRFC stockholders approved the merger with PTMN. Thus, subject to the satisfaction of customary closing conditions, the merger is expected to close on or about July 15, 2025.

    Ted Goldthorpe, President and Chief Executive Officer of PTMN and LRFC and Head of the BC Partners Credit Platform, stated, “We would like to thank our shareholders for their strong support of the merger with LRFC. Their vote affirms the strategic vision behind this combination and supports our efforts to create a larger, more efficient platform that is better positioned for long-term growth.

    Upon closing, we look forward to rebranding the combined company as BCP Investment Corporation to reflect the Company’s affiliation with the broader BC Partners Credit Platform. Additionally, we are proud to introduce a monthly distribution framework, and implement a robust share repurchase initiative, all designed to enhance shareholder value and align interests across the platform.

    We are excited about the opportunities ahead and remain committed to delivering compelling risk-adjusted returns for our shareholders.”

    Merger Related Terms

    • Pre-closing: Shareholders of LRFC will receive 1.50 newly issued shares of PTMN common stock in exchange for each share of common stock of LRFC.
    • Upon the closing of the merger: Portman Ridge will rebrand and begin operating under the name BCP Investment Corporation (the “Company” or “BCIC”). In connection with the rebranding, the Company will continue to trade on the Nasdaq under the new ticker symbol “BCIC”.
    • Beginning in 2026: The Company will transition to paying its currently quarterly base distribution on a monthly basis, while retaining the potential for quarterly supplemental distributions. The quarterly supplemental distributions will continue to approximate 50% of the incremental net investment income earned in excess of the base monthly distributions.
    • Over the next 24 months: To further align our interests with shareholders and drive additional value creation, the Company, along with its management, its adviser and their affiliates intend to acquire up to 20% of the Company’s outstanding common stock to the extent the Company’s shares continue to trade below 80% of net asset value (“NAV”), which implies a share price of $15.08 based Portman Ridge’s March 31, 2025 NAV per share, or approximately a 20% premium to PTMN’s June 26, 2025 closing market price. These purchases will begin no earlier than 60 calendar days following the date of the closing of the LRFC merger and may occur through various methods, including open market purchases and privately negotiated transactions, and may be conducted pursuant to Rule 10b5-1 and Rule 10b-18 trading plans. In this regard and as previously announced, PTMN’s Board of Directors has authorized an open market stock repurchase program of up to $10 million for the period from March 12, 2025 to March 31, 2026. The Company, its management and its adviser also reserve the right to conduct tender offers as part of the Company’s broader value creation initiatives.

    About Portman Ridge Finance Corporation

    PTMN is a publicly traded, externally managed closed-end investment company that has elected to be regulated as a business development company under the Investment Company Act of 1940. PTMN’s middle market investment business originates, structures, finances and manages a portfolio of term loans, mezzanine investments and selected equity securities in middle market companies. PTMN’s investment activities are managed by its investment adviser, Sierra Crest Investment Management LLC, an affiliate of BC Partners Advisors L.P. PTMN’s filings with the Securities and Exchange Commission (“SEC”), earnings releases, press releases and other financial, operational and governance information are available on Portman Ridge’s website at www.portmanridge.com.

    About Logan Ridge Finance Corporation

    LRFC is a business development company (a “BDC”) that invests primarily in first lien loans and, to a lesser extent, second lien loans and equity securities issued by lower middle-market companies. LRFC invests in performing, well-established middle-market businesses that operate across a wide range of industries. It employs fundamental credit analysis, targeting investments in businesses with relatively low levels of cyclicality and operating risk. For more information, visit www.loganridgefinance.com.

    About BC Partners Advisors L.P. and BC Partners Credit
    BC Partners Advisors L.P. (“BC Partners”) is a leading international investment firm in private equity, private credit and real estate strategies. Established in 1986, BC Partners has played an active role in developing the European buyout market for three decades.

    Today, BC Partners executives operate across markets as an integrated team through the firm’s offices in North America and Europe. For more information, please visit https://www.bcpartners.com/.

    BC Partners Credit was launched in February 2017 and has pursued a strategy focused on identifying attractive credit opportunities in any market environment and across sectors, leveraging the deal sourcing and infrastructure made available from BC Partners.

    Cautionary Statement Regarding Forward-Looking Statements

    Some of the statements in this communication constitute forward-looking statements because they relate to future events, future performance or financial condition. The forward-looking statements may include statements as to future operating results and distribution projections of the Company; business prospects of the Company, and future share repurchase/purchase activity. In addition, words such as “anticipate,” “believe,” “expect,” “seek,” “plan,” “should,” “estimate,” “project” and “intend” indicate forward-looking statements, although not all forward-looking statements include these words. The forward-looking statements contained in this communication involve risks and uncertainties. More information on the risks and other potential factors that could affect these forward-looking statements is included in Registration Statement and Joint Proxy Statement (in each case, as defined below).   Although PTMN and LRFC undertake no obligation to revise or update any forward-looking statements, whether as a result of new information, future events or otherwise, you are advised to consult any additional disclosures that they may make directly to you or through reports that PTMN and LRFC in the future may file with the SEC, including the Registration Statement and Joint Proxy Statement, annual reports on Form 10-K, quarterly reports on Form 10-Q and current reports on Form 8-K.

    Contacts:
    Portman Ridge Finance Corporation
    650 Madison Avenue, 3rd floor
    New York, NY 10022

    Brandon Satoren
    Chief Financial Officer
    Brandon.Satoren@bcpartners.com
    (212) 891-2880

    The Equity Group Inc.
    Lena Cati
    lcati@equityny.com
    (212) 836-9611

    Val Ferraro
    vferraro@equityny.com
    (212) 836-9633

    The MIL Network

  • MIL-OSI Economics: Piero Cipollone: The quest for cheaper and faster cross-border payments: regional and global solutions

    Source: European Central Bank

    Speech by Piero Cipollone, Member of the Executive Board of the ECB, at the BIS Annual General Meeting

    Basel, 27 June 2025

    Cross-border retail payments are the subject of increasing attention. This is for two main reasons.

    First, they play a growing role in the world economy, as international transaction volumes have been increasing at a faster pace than GDP growth. However, despite some improvements in recent years, many payment corridors remain poorly served, which results in slow transaction times and high costs and ultimately hinders economic growth and social cohesion. Moreover, this inefficiency undermines the benefits of globalisation, as the economic gains from lower trade barriers are diverted into rents within cross-border payment markets, rather than benefiting the businesses and households that make use of them.

    Second, new risks are emerging. Geopolitical tensions, for instance, could lead to further fragmentation of global payment systems. Moreover, the expansion of stablecoins could introduce several additional challenges, including currency substitution risks and over-reliance on a limited number of dominant private issuers.

    This is not a situation we can accept passively. We need continuous efforts to enhance cross-border payments, in line with the G20 Roadmap.[1] And central banks, given their role in ensuring the smooth functioning of payment systems, have a major role to play. Significant work has already been undertaken at international level, notably by the Bank for International Settlements (BIS) and the Financial Stability Board (FSB).

    Today, I would like to share our experience with cross-border payments from a regional perspective, emphasising how regional payment infrastructures can be part of the solution. I will then discuss our vision for advancing cross-border payments at the global level.

    The case for enhancing cross-border retail payments

    Let me begin by underscoring the costs and risks of inaction.

    Over the past few decades, the world has witnessed a surge in cross-border payments, driven by the globalisation of trade, capital and migration flows. According to some estimates, the value of cross-border retail payments could grow from close to USD 200 trillion last year to USD 320 trillion by 2032.[2]

    Yet, the average cost of international retail payments remains high. For nearly one-quarter of global payment corridors, costs exceed 3%. And in too many cases, they are slow – one-third of retail cross-border payments took more than one business day to be settled in 2024.[3]

    Worryingly, there are signs that progress is stalling. The FSB’s 2024 progress report revealed no improvements in costs and noted a deterioration in both costs and speed compared with 2023.[4]

    Geopolitical tensions further compound these challenges, as they risk fragmenting global payment systems and undermining the rules-based international order. This could challenge established correspondent banking networks and lead to greater complexity, higher costs and, in a worst-case scenario, the splintering of the global payment system into multiple, non-communicating blocs.

    This raises three pressing issues.

    First, high costs and slow transaction times are hampering economic integration and growth, with small and medium-sized enterprises (SMEs) bearing the brunt. For SMEs operating on tight margins, exorbitant fees discourage them from participating in cross-border trade.

    Second, the world’s most vulnerable groups – such as migrant workers sending remittances home – shoulder a disproportionate share of these costs. In many regions, sending money internationally remains prohibitively expensive. For example, the average costs of remittances to sub-Saharan Africa and South Asia stand at 7.7% and 6.2% respectively.[5] As it stands, the global Sustainable Development Goal target of lowering remittance costs to 3% remains a distant goal. The impact that reducing these fees would have on financial inclusion and well-being cannot be overstated.

    Third, inefficiencies in cross-border payments have created a gap that alternative players, particularly in the crypto-asset space, are eager to fill. However, many of these solutions come with significant risks. Unbacked crypto-assets, for instance, are highly volatile and speculative in nature, creating risks for unsuspecting households and businesses and lending themselves to illicit activities.[6]

    Furthermore, stablecoins come with their own set of challenges, which the BIS described in detail in a special chapter of its Annual Economic Report published this week.[7] Stablecoins carry credit risk, making them susceptible to runs, and pose fragmentation risks due to the multitude of stablecoins being issued. Some of these could end up trading at a discount, undermining the singleness of money.[8] Moreover, because a small number of issuers currently dominate the market, this could also give rise to concentration risks. Lastly, a key concern is the prevalence of US dollar stablecoins, which currently account for 99% of the global stablecoin market.[9] These stablecoins provide an easy way to store value in dollars, considerably increasing the risk of currency substitution in the form of “digital dollarisation”.[10] This phenomenon could have destabilising effects, particularly on emerging markets and less developed economies by impairing the effectiveness of domestic monetary policy. It may also increase the risk of capital flight in response to adverse economic shocks.

    Enhancing cross-border retail payments at the regional and global level

    To address inefficiencies in cross-border payments, we must offer an alternative that connects various parts of the global payments system and delivers tangible benefits in terms of speed and cost. At the same time, this solution must respect the integrity, sovereignty and stability of all countries involved.

    At the ECB, we are pursuing this on two levels – regional and global.

    Regional cross-border payments: the European experience

    At the regional level, Europe serves as a compelling example of what an interconnected payments landscape might look like.

    Of course, this has been facilitated by the creation of a single European market and the establishment of a monetary union. One of the key reasons for creating the euro was to support trade and investment by facilitating cross-border transactions. And the launch of our single currency offered a first solution to pay throughout the euro area – in the form of euro cash.

    The logical next step was to develop European instruments for electronic euro payments. The Single Euro Payments Area (SEPA) emerged from close cooperation between the public and private sector to harmonise electronic euro transactions. As a result, individuals and businesses can make payments across the euro area at very low costs using credit transfers or direct debit.

    The success of SEPA led to its expansion beyond the euro area and even beyond the European Union. Today, customers in 41 European countries can make euro payments quickly, safely and efficiently via credit transfer and direct debit, just as they would for domestic transactions.

    We have also developed the TARGET Instant Payment Settlement (TIPS) service, which enables the settlement of instant payments across the euro area. Instant payments are further supported by a payment scheme – the SEPA Instant Credit Transfer scheme – that provides harmonised rules, standards and protocols. Moreover, EU legislation has made it mandatory for banks to allow their customers to send and receive instant payment at low cost.

    A key feature of TIPS is that it’s a multi-currency platform. Taking advantage of this, Sweden and Denmark are using TIPS to facilitate fast payments in their respective currencies.[11] Norway will do the same as of 2028.[12] Furthermore, we are implementing a cross-currency settlement service that will allow instant payments initiated in one TIPS currency to be settled in another. Initially, this service will support cross-currency payments between the euro area, Sweden and Denmark.[13]

    Within Europe, we are also supporting the Western Balkans in developing a regional fast payment system.[14] As a service provider for TIPS, the Banca d’Italia is collaborating with the central banks of Albania, Bosnia and Herzegovina, Kosovo and Montenegro to develop an instant, multi-currency payment system based on TIPS software. North Macedonia may join the initiative at a later stage.[15] The new platform will facilitate instant payments both within each participating country and across borders.

    Going global: interlinking fast payment systems

    This shows the potential for strengthening regional integration in payments. However, let me be clear: regional integration must not come at the expense of global connectivity. It should not be used as a means to sever ties with global payment networks.

    Our approach is that regional and global integration can go hand in hand through the interlinking of fast payment systems across regions and countries. Today, over 100 jurisdictions worldwide have implemented their own fast payment systems.[16] Interlinking these systems has the potential to address inefficiencies and build lasting connections that are rooted in trade openness and balanced relationships between partners.

    This approach offers several advantages. It would reduce costs, increase the speed and transparency of cross-border payments and shorten transaction chains. It would also enable payment service providers to conduct transactions without having to use multiple payment systems or a long chain of correspondent banks. Moreover, it would ensure that the platform for connecting and converting currencies is managed as a public good, thus avoiding closed loops and discriminatory pricing. Accordingly, the G20 Roadmap for Enhancing Cross-border Payments has identified interlinking as a key strategy for enhancing cross-border payments.[17] In this respect, the excellent work the Committee on Payments and Market Infrastructures (CPMI) is carrying out on payee verification could make a significant difference.

    Last October, the ECB’s Governing Council decided to take concrete steps towards interlinking TIPS with other fast payment systems to improve cross-border payments globally.[18]

    We will implement a cross-currency settlement service for the exchange of cross-border payments between TIPS and other fast payment systems worldwide.[19] This will allow us to explore interlinking TIPS with fast payment systems that have a compatible scheme, are interested in being involved and fully comply with the standards set by the Financial Action Task Force for combating money laundering and terrorist financing.

    In addition, we are exploring the possibility of creating bilateral and multilateral links with other fast payment systems.

    One possibility under consideration is connecting TIPS to a multilateral network of instant payment systems through Project Nexus, led by the BIS.[20] By joining Nexus, TIPS could serve as a hub for processing instant cross-border payments to and from the euro area and other countries that use TIPS.[21]

    We are also currently assessing the feasibility of creating a bilateral link between TIPS and India’s Unified Payments Interface[22], which handles the highest volume of instant payment transactions in the world[23].

    Interlinking fast payment systems has the potential to solve the shortcomings related to the messaging leg of cross-border transactions, by facilitating the message that the payer’s bank in country A sends to the payee’s bank in country B about the incoming transfer of funds. This would already go a long way towards improving the efficiency of cross-border payments.

    However, what interlinking does not fully resolve is the settlement leg, through which money moves from the payer’s to the payee’s account. This still requires a bank that has access to both payment systems that are interlinked, or a credit relationship between a bank in country A and a bank in country B. This is particularly challenging, given the increasing retrenchment of the correspondent banking model.

    In this context, we need to collectively exercise our creativity. I do not envisage a solution that could cover all possible corridors and use cases: there may be scope for tokenised forms of money, as well as a revival of the correspondent banking model, especially if we can reduce the associated risks.

    In the realm of sovereign money, jurisdictions could agree to use their respective central bank digital currencies as settlement assets. In this respect, the current draft legislation on the digital euro provides for an approach that respects the sovereignty of non-euro area countries and mitigates potential risks for them. It does so by opening the possibility for residents of a partner country to use the digital euro, subject to an agreement with that country, complemented by an arrangement between the ECB and the respective central bank.[24]

    Appropriate safeguards – such as individual holding limits for users – would ensure that the digital euro is used primarily as a means of payment and does not fuel currency substitution. Furthermore, the digital euro’s design would include multi-currency functionality, similar to that of TIPS. In practice, this means that non-euro area countries could use the digital euro infrastructure to offer their own digital currencies, thereby facilitating transactions across these currencies.

    Conclusion

    Let me conclude.

    We find ourselves at a pivotal moment for cross-border payments. If we want to make decisive progress and increase their efficiency, we need to work together to develop new solutions. We must, however, be aware of the risks that some of the alternatives on offer may pose.

    I would like to thank the BIS – and in particular the CPMI – for the active role they play in this area, not least by bringing us all together today, with representatives from A (Angola) to Z (Zambia). Each of us brings different needs and circumstances to the table. This raises two fundamental questions. What do we have in common? And what principles can guide our collective efforts?

    First, we must harness responsible innovation to solve persistent challenges while mitigating the risks I have noted today. Central banks – by ensuring the safety and integrity of payment systems – play an important role in this regard. And by interlinking fast payment systems and exploring the use of central bank digital currencies, we can address settlement inefficiencies while safeguarding monetary sovereignty and financial stability.

    Second, regional solutions can serve as a foundation for global progress. I have argued that regional payment integration can be an important part of the solution – provided it remains open to, and actively facilitates, interlinking at a global level. We firmly believe that this open, multi-currency interlinking approach can lay the groundwork for cheaper, faster and more transparent cross-border payments – without compromising the integrity, stability or sovereignty of the countries involved. By designing payment systems that are open, interoperable and multi-currency ready, we can ensure that regional initiatives contribute to global integration rather than fragmentation.

    Finally, collaboration is central to our collective success. Forums such as the CPMI community of practice, as well as today’s workshop, provide valuable opportunities for sharing knowledge and experiences. We will continue to find ways to work together to build resilient, inclusive and interconnected payment infrastructures that meet the needs of our people and economies. And we at the ECB remain committed to sharing our expertise and collaborating wherever we can add value.

    Thank you for your attention.

    MIL OSI Economics

  • MIL-OSI Economics: Piero Cipollone: The quest for cheaper and faster cross-border payments: regional and global solutions

    Source: European Central Bank

    Speech by Piero Cipollone, Member of the Executive Board of the ECB, at the BIS Annual General Meeting

    Basel, 27 June 2025

    Cross-border retail payments are the subject of increasing attention. This is for two main reasons.

    First, they play a growing role in the world economy, as international transaction volumes have been increasing at a faster pace than GDP growth. However, despite some improvements in recent years, many payment corridors remain poorly served, which results in slow transaction times and high costs and ultimately hinders economic growth and social cohesion. Moreover, this inefficiency undermines the benefits of globalisation, as the economic gains from lower trade barriers are diverted into rents within cross-border payment markets, rather than benefiting the businesses and households that make use of them.

    Second, new risks are emerging. Geopolitical tensions, for instance, could lead to further fragmentation of global payment systems. Moreover, the expansion of stablecoins could introduce several additional challenges, including currency substitution risks and over-reliance on a limited number of dominant private issuers.

    This is not a situation we can accept passively. We need continuous efforts to enhance cross-border payments, in line with the G20 Roadmap.[1] And central banks, given their role in ensuring the smooth functioning of payment systems, have a major role to play. Significant work has already been undertaken at international level, notably by the Bank for International Settlements (BIS) and the Financial Stability Board (FSB).

    Today, I would like to share our experience with cross-border payments from a regional perspective, emphasising how regional payment infrastructures can be part of the solution. I will then discuss our vision for advancing cross-border payments at the global level.

    The case for enhancing cross-border retail payments

    Let me begin by underscoring the costs and risks of inaction.

    Over the past few decades, the world has witnessed a surge in cross-border payments, driven by the globalisation of trade, capital and migration flows. According to some estimates, the value of cross-border retail payments could grow from close to USD 200 trillion last year to USD 320 trillion by 2032.[2]

    Yet, the average cost of international retail payments remains high. For nearly one-quarter of global payment corridors, costs exceed 3%. And in too many cases, they are slow – one-third of retail cross-border payments took more than one business day to be settled in 2024.[3]

    Worryingly, there are signs that progress is stalling. The FSB’s 2024 progress report revealed no improvements in costs and noted a deterioration in both costs and speed compared with 2023.[4]

    Geopolitical tensions further compound these challenges, as they risk fragmenting global payment systems and undermining the rules-based international order. This could challenge established correspondent banking networks and lead to greater complexity, higher costs and, in a worst-case scenario, the splintering of the global payment system into multiple, non-communicating blocs.

    This raises three pressing issues.

    First, high costs and slow transaction times are hampering economic integration and growth, with small and medium-sized enterprises (SMEs) bearing the brunt. For SMEs operating on tight margins, exorbitant fees discourage them from participating in cross-border trade.

    Second, the world’s most vulnerable groups – such as migrant workers sending remittances home – shoulder a disproportionate share of these costs. In many regions, sending money internationally remains prohibitively expensive. For example, the average costs of remittances to sub-Saharan Africa and South Asia stand at 7.7% and 6.2% respectively.[5] As it stands, the global Sustainable Development Goal target of lowering remittance costs to 3% remains a distant goal. The impact that reducing these fees would have on financial inclusion and well-being cannot be overstated.

    Third, inefficiencies in cross-border payments have created a gap that alternative players, particularly in the crypto-asset space, are eager to fill. However, many of these solutions come with significant risks. Unbacked crypto-assets, for instance, are highly volatile and speculative in nature, creating risks for unsuspecting households and businesses and lending themselves to illicit activities.[6]

    Furthermore, stablecoins come with their own set of challenges, which the BIS described in detail in a special chapter of its Annual Economic Report published this week.[7] Stablecoins carry credit risk, making them susceptible to runs, and pose fragmentation risks due to the multitude of stablecoins being issued. Some of these could end up trading at a discount, undermining the singleness of money.[8] Moreover, because a small number of issuers currently dominate the market, this could also give rise to concentration risks. Lastly, a key concern is the prevalence of US dollar stablecoins, which currently account for 99% of the global stablecoin market.[9] These stablecoins provide an easy way to store value in dollars, considerably increasing the risk of currency substitution in the form of “digital dollarisation”.[10] This phenomenon could have destabilising effects, particularly on emerging markets and less developed economies by impairing the effectiveness of domestic monetary policy. It may also increase the risk of capital flight in response to adverse economic shocks.

    Enhancing cross-border retail payments at the regional and global level

    To address inefficiencies in cross-border payments, we must offer an alternative that connects various parts of the global payments system and delivers tangible benefits in terms of speed and cost. At the same time, this solution must respect the integrity, sovereignty and stability of all countries involved.

    At the ECB, we are pursuing this on two levels – regional and global.

    Regional cross-border payments: the European experience

    At the regional level, Europe serves as a compelling example of what an interconnected payments landscape might look like.

    Of course, this has been facilitated by the creation of a single European market and the establishment of a monetary union. One of the key reasons for creating the euro was to support trade and investment by facilitating cross-border transactions. And the launch of our single currency offered a first solution to pay throughout the euro area – in the form of euro cash.

    The logical next step was to develop European instruments for electronic euro payments. The Single Euro Payments Area (SEPA) emerged from close cooperation between the public and private sector to harmonise electronic euro transactions. As a result, individuals and businesses can make payments across the euro area at very low costs using credit transfers or direct debit.

    The success of SEPA led to its expansion beyond the euro area and even beyond the European Union. Today, customers in 41 European countries can make euro payments quickly, safely and efficiently via credit transfer and direct debit, just as they would for domestic transactions.

    We have also developed the TARGET Instant Payment Settlement (TIPS) service, which enables the settlement of instant payments across the euro area. Instant payments are further supported by a payment scheme – the SEPA Instant Credit Transfer scheme – that provides harmonised rules, standards and protocols. Moreover, EU legislation has made it mandatory for banks to allow their customers to send and receive instant payment at low cost.

    A key feature of TIPS is that it’s a multi-currency platform. Taking advantage of this, Sweden and Denmark are using TIPS to facilitate fast payments in their respective currencies.[11] Norway will do the same as of 2028.[12] Furthermore, we are implementing a cross-currency settlement service that will allow instant payments initiated in one TIPS currency to be settled in another. Initially, this service will support cross-currency payments between the euro area, Sweden and Denmark.[13]

    Within Europe, we are also supporting the Western Balkans in developing a regional fast payment system.[14] As a service provider for TIPS, the Banca d’Italia is collaborating with the central banks of Albania, Bosnia and Herzegovina, Kosovo and Montenegro to develop an instant, multi-currency payment system based on TIPS software. North Macedonia may join the initiative at a later stage.[15] The new platform will facilitate instant payments both within each participating country and across borders.

    Going global: interlinking fast payment systems

    This shows the potential for strengthening regional integration in payments. However, let me be clear: regional integration must not come at the expense of global connectivity. It should not be used as a means to sever ties with global payment networks.

    Our approach is that regional and global integration can go hand in hand through the interlinking of fast payment systems across regions and countries. Today, over 100 jurisdictions worldwide have implemented their own fast payment systems.[16] Interlinking these systems has the potential to address inefficiencies and build lasting connections that are rooted in trade openness and balanced relationships between partners.

    This approach offers several advantages. It would reduce costs, increase the speed and transparency of cross-border payments and shorten transaction chains. It would also enable payment service providers to conduct transactions without having to use multiple payment systems or a long chain of correspondent banks. Moreover, it would ensure that the platform for connecting and converting currencies is managed as a public good, thus avoiding closed loops and discriminatory pricing. Accordingly, the G20 Roadmap for Enhancing Cross-border Payments has identified interlinking as a key strategy for enhancing cross-border payments.[17] In this respect, the excellent work the Committee on Payments and Market Infrastructures (CPMI) is carrying out on payee verification could make a significant difference.

    Last October, the ECB’s Governing Council decided to take concrete steps towards interlinking TIPS with other fast payment systems to improve cross-border payments globally.[18]

    We will implement a cross-currency settlement service for the exchange of cross-border payments between TIPS and other fast payment systems worldwide.[19] This will allow us to explore interlinking TIPS with fast payment systems that have a compatible scheme, are interested in being involved and fully comply with the standards set by the Financial Action Task Force for combating money laundering and terrorist financing.

    In addition, we are exploring the possibility of creating bilateral and multilateral links with other fast payment systems.

    One possibility under consideration is connecting TIPS to a multilateral network of instant payment systems through Project Nexus, led by the BIS.[20] By joining Nexus, TIPS could serve as a hub for processing instant cross-border payments to and from the euro area and other countries that use TIPS.[21]

    We are also currently assessing the feasibility of creating a bilateral link between TIPS and India’s Unified Payments Interface[22], which handles the highest volume of instant payment transactions in the world[23].

    Interlinking fast payment systems has the potential to solve the shortcomings related to the messaging leg of cross-border transactions, by facilitating the message that the payer’s bank in country A sends to the payee’s bank in country B about the incoming transfer of funds. This would already go a long way towards improving the efficiency of cross-border payments.

    However, what interlinking does not fully resolve is the settlement leg, through which money moves from the payer’s to the payee’s account. This still requires a bank that has access to both payment systems that are interlinked, or a credit relationship between a bank in country A and a bank in country B. This is particularly challenging, given the increasing retrenchment of the correspondent banking model.

    In this context, we need to collectively exercise our creativity. I do not envisage a solution that could cover all possible corridors and use cases: there may be scope for tokenised forms of money, as well as a revival of the correspondent banking model, especially if we can reduce the associated risks.

    In the realm of sovereign money, jurisdictions could agree to use their respective central bank digital currencies as settlement assets. In this respect, the current draft legislation on the digital euro provides for an approach that respects the sovereignty of non-euro area countries and mitigates potential risks for them. It does so by opening the possibility for residents of a partner country to use the digital euro, subject to an agreement with that country, complemented by an arrangement between the ECB and the respective central bank.[24]

    Appropriate safeguards – such as individual holding limits for users – would ensure that the digital euro is used primarily as a means of payment and does not fuel currency substitution. Furthermore, the digital euro’s design would include multi-currency functionality, similar to that of TIPS. In practice, this means that non-euro area countries could use the digital euro infrastructure to offer their own digital currencies, thereby facilitating transactions across these currencies.

    Conclusion

    Let me conclude.

    We find ourselves at a pivotal moment for cross-border payments. If we want to make decisive progress and increase their efficiency, we need to work together to develop new solutions. We must, however, be aware of the risks that some of the alternatives on offer may pose.

    I would like to thank the BIS – and in particular the CPMI – for the active role they play in this area, not least by bringing us all together today, with representatives from A (Angola) to Z (Zambia). Each of us brings different needs and circumstances to the table. This raises two fundamental questions. What do we have in common? And what principles can guide our collective efforts?

    First, we must harness responsible innovation to solve persistent challenges while mitigating the risks I have noted today. Central banks – by ensuring the safety and integrity of payment systems – play an important role in this regard. And by interlinking fast payment systems and exploring the use of central bank digital currencies, we can address settlement inefficiencies while safeguarding monetary sovereignty and financial stability.

    Second, regional solutions can serve as a foundation for global progress. I have argued that regional payment integration can be an important part of the solution – provided it remains open to, and actively facilitates, interlinking at a global level. We firmly believe that this open, multi-currency interlinking approach can lay the groundwork for cheaper, faster and more transparent cross-border payments – without compromising the integrity, stability or sovereignty of the countries involved. By designing payment systems that are open, interoperable and multi-currency ready, we can ensure that regional initiatives contribute to global integration rather than fragmentation.

    Finally, collaboration is central to our collective success. Forums such as the CPMI community of practice, as well as today’s workshop, provide valuable opportunities for sharing knowledge and experiences. We will continue to find ways to work together to build resilient, inclusive and interconnected payment infrastructures that meet the needs of our people and economies. And we at the ECB remain committed to sharing our expertise and collaborating wherever we can add value.

    Thank you for your attention.

    MIL OSI Economics

  • MIL-OSI Economics: Piero Cipollone: The quest for cheaper and faster cross-border payments: regional and global solutions

    Source: European Central Bank

    Speech by Piero Cipollone, Member of the Executive Board of the ECB, at the BIS Annual General Meeting

    Basel, 27 June 2025

    Cross-border retail payments are the subject of increasing attention. This is for two main reasons.

    First, they play a growing role in the world economy, as international transaction volumes have been increasing at a faster pace than GDP growth. However, despite some improvements in recent years, many payment corridors remain poorly served, which results in slow transaction times and high costs and ultimately hinders economic growth and social cohesion. Moreover, this inefficiency undermines the benefits of globalisation, as the economic gains from lower trade barriers are diverted into rents within cross-border payment markets, rather than benefiting the businesses and households that make use of them.

    Second, new risks are emerging. Geopolitical tensions, for instance, could lead to further fragmentation of global payment systems. Moreover, the expansion of stablecoins could introduce several additional challenges, including currency substitution risks and over-reliance on a limited number of dominant private issuers.

    This is not a situation we can accept passively. We need continuous efforts to enhance cross-border payments, in line with the G20 Roadmap.[1] And central banks, given their role in ensuring the smooth functioning of payment systems, have a major role to play. Significant work has already been undertaken at international level, notably by the Bank for International Settlements (BIS) and the Financial Stability Board (FSB).

    Today, I would like to share our experience with cross-border payments from a regional perspective, emphasising how regional payment infrastructures can be part of the solution. I will then discuss our vision for advancing cross-border payments at the global level.

    The case for enhancing cross-border retail payments

    Let me begin by underscoring the costs and risks of inaction.

    Over the past few decades, the world has witnessed a surge in cross-border payments, driven by the globalisation of trade, capital and migration flows. According to some estimates, the value of cross-border retail payments could grow from close to USD 200 trillion last year to USD 320 trillion by 2032.[2]

    Yet, the average cost of international retail payments remains high. For nearly one-quarter of global payment corridors, costs exceed 3%. And in too many cases, they are slow – one-third of retail cross-border payments took more than one business day to be settled in 2024.[3]

    Worryingly, there are signs that progress is stalling. The FSB’s 2024 progress report revealed no improvements in costs and noted a deterioration in both costs and speed compared with 2023.[4]

    Geopolitical tensions further compound these challenges, as they risk fragmenting global payment systems and undermining the rules-based international order. This could challenge established correspondent banking networks and lead to greater complexity, higher costs and, in a worst-case scenario, the splintering of the global payment system into multiple, non-communicating blocs.

    This raises three pressing issues.

    First, high costs and slow transaction times are hampering economic integration and growth, with small and medium-sized enterprises (SMEs) bearing the brunt. For SMEs operating on tight margins, exorbitant fees discourage them from participating in cross-border trade.

    Second, the world’s most vulnerable groups – such as migrant workers sending remittances home – shoulder a disproportionate share of these costs. In many regions, sending money internationally remains prohibitively expensive. For example, the average costs of remittances to sub-Saharan Africa and South Asia stand at 7.7% and 6.2% respectively.[5] As it stands, the global Sustainable Development Goal target of lowering remittance costs to 3% remains a distant goal. The impact that reducing these fees would have on financial inclusion and well-being cannot be overstated.

    Third, inefficiencies in cross-border payments have created a gap that alternative players, particularly in the crypto-asset space, are eager to fill. However, many of these solutions come with significant risks. Unbacked crypto-assets, for instance, are highly volatile and speculative in nature, creating risks for unsuspecting households and businesses and lending themselves to illicit activities.[6]

    Furthermore, stablecoins come with their own set of challenges, which the BIS described in detail in a special chapter of its Annual Economic Report published this week.[7] Stablecoins carry credit risk, making them susceptible to runs, and pose fragmentation risks due to the multitude of stablecoins being issued. Some of these could end up trading at a discount, undermining the singleness of money.[8] Moreover, because a small number of issuers currently dominate the market, this could also give rise to concentration risks. Lastly, a key concern is the prevalence of US dollar stablecoins, which currently account for 99% of the global stablecoin market.[9] These stablecoins provide an easy way to store value in dollars, considerably increasing the risk of currency substitution in the form of “digital dollarisation”.[10] This phenomenon could have destabilising effects, particularly on emerging markets and less developed economies by impairing the effectiveness of domestic monetary policy. It may also increase the risk of capital flight in response to adverse economic shocks.

    Enhancing cross-border retail payments at the regional and global level

    To address inefficiencies in cross-border payments, we must offer an alternative that connects various parts of the global payments system and delivers tangible benefits in terms of speed and cost. At the same time, this solution must respect the integrity, sovereignty and stability of all countries involved.

    At the ECB, we are pursuing this on two levels – regional and global.

    Regional cross-border payments: the European experience

    At the regional level, Europe serves as a compelling example of what an interconnected payments landscape might look like.

    Of course, this has been facilitated by the creation of a single European market and the establishment of a monetary union. One of the key reasons for creating the euro was to support trade and investment by facilitating cross-border transactions. And the launch of our single currency offered a first solution to pay throughout the euro area – in the form of euro cash.

    The logical next step was to develop European instruments for electronic euro payments. The Single Euro Payments Area (SEPA) emerged from close cooperation between the public and private sector to harmonise electronic euro transactions. As a result, individuals and businesses can make payments across the euro area at very low costs using credit transfers or direct debit.

    The success of SEPA led to its expansion beyond the euro area and even beyond the European Union. Today, customers in 41 European countries can make euro payments quickly, safely and efficiently via credit transfer and direct debit, just as they would for domestic transactions.

    We have also developed the TARGET Instant Payment Settlement (TIPS) service, which enables the settlement of instant payments across the euro area. Instant payments are further supported by a payment scheme – the SEPA Instant Credit Transfer scheme – that provides harmonised rules, standards and protocols. Moreover, EU legislation has made it mandatory for banks to allow their customers to send and receive instant payment at low cost.

    A key feature of TIPS is that it’s a multi-currency platform. Taking advantage of this, Sweden and Denmark are using TIPS to facilitate fast payments in their respective currencies.[11] Norway will do the same as of 2028.[12] Furthermore, we are implementing a cross-currency settlement service that will allow instant payments initiated in one TIPS currency to be settled in another. Initially, this service will support cross-currency payments between the euro area, Sweden and Denmark.[13]

    Within Europe, we are also supporting the Western Balkans in developing a regional fast payment system.[14] As a service provider for TIPS, the Banca d’Italia is collaborating with the central banks of Albania, Bosnia and Herzegovina, Kosovo and Montenegro to develop an instant, multi-currency payment system based on TIPS software. North Macedonia may join the initiative at a later stage.[15] The new platform will facilitate instant payments both within each participating country and across borders.

    Going global: interlinking fast payment systems

    This shows the potential for strengthening regional integration in payments. However, let me be clear: regional integration must not come at the expense of global connectivity. It should not be used as a means to sever ties with global payment networks.

    Our approach is that regional and global integration can go hand in hand through the interlinking of fast payment systems across regions and countries. Today, over 100 jurisdictions worldwide have implemented their own fast payment systems.[16] Interlinking these systems has the potential to address inefficiencies and build lasting connections that are rooted in trade openness and balanced relationships between partners.

    This approach offers several advantages. It would reduce costs, increase the speed and transparency of cross-border payments and shorten transaction chains. It would also enable payment service providers to conduct transactions without having to use multiple payment systems or a long chain of correspondent banks. Moreover, it would ensure that the platform for connecting and converting currencies is managed as a public good, thus avoiding closed loops and discriminatory pricing. Accordingly, the G20 Roadmap for Enhancing Cross-border Payments has identified interlinking as a key strategy for enhancing cross-border payments.[17] In this respect, the excellent work the Committee on Payments and Market Infrastructures (CPMI) is carrying out on payee verification could make a significant difference.

    Last October, the ECB’s Governing Council decided to take concrete steps towards interlinking TIPS with other fast payment systems to improve cross-border payments globally.[18]

    We will implement a cross-currency settlement service for the exchange of cross-border payments between TIPS and other fast payment systems worldwide.[19] This will allow us to explore interlinking TIPS with fast payment systems that have a compatible scheme, are interested in being involved and fully comply with the standards set by the Financial Action Task Force for combating money laundering and terrorist financing.

    In addition, we are exploring the possibility of creating bilateral and multilateral links with other fast payment systems.

    One possibility under consideration is connecting TIPS to a multilateral network of instant payment systems through Project Nexus, led by the BIS.[20] By joining Nexus, TIPS could serve as a hub for processing instant cross-border payments to and from the euro area and other countries that use TIPS.[21]

    We are also currently assessing the feasibility of creating a bilateral link between TIPS and India’s Unified Payments Interface[22], which handles the highest volume of instant payment transactions in the world[23].

    Interlinking fast payment systems has the potential to solve the shortcomings related to the messaging leg of cross-border transactions, by facilitating the message that the payer’s bank in country A sends to the payee’s bank in country B about the incoming transfer of funds. This would already go a long way towards improving the efficiency of cross-border payments.

    However, what interlinking does not fully resolve is the settlement leg, through which money moves from the payer’s to the payee’s account. This still requires a bank that has access to both payment systems that are interlinked, or a credit relationship between a bank in country A and a bank in country B. This is particularly challenging, given the increasing retrenchment of the correspondent banking model.

    In this context, we need to collectively exercise our creativity. I do not envisage a solution that could cover all possible corridors and use cases: there may be scope for tokenised forms of money, as well as a revival of the correspondent banking model, especially if we can reduce the associated risks.

    In the realm of sovereign money, jurisdictions could agree to use their respective central bank digital currencies as settlement assets. In this respect, the current draft legislation on the digital euro provides for an approach that respects the sovereignty of non-euro area countries and mitigates potential risks for them. It does so by opening the possibility for residents of a partner country to use the digital euro, subject to an agreement with that country, complemented by an arrangement between the ECB and the respective central bank.[24]

    Appropriate safeguards – such as individual holding limits for users – would ensure that the digital euro is used primarily as a means of payment and does not fuel currency substitution. Furthermore, the digital euro’s design would include multi-currency functionality, similar to that of TIPS. In practice, this means that non-euro area countries could use the digital euro infrastructure to offer their own digital currencies, thereby facilitating transactions across these currencies.

    Conclusion

    Let me conclude.

    We find ourselves at a pivotal moment for cross-border payments. If we want to make decisive progress and increase their efficiency, we need to work together to develop new solutions. We must, however, be aware of the risks that some of the alternatives on offer may pose.

    I would like to thank the BIS – and in particular the CPMI – for the active role they play in this area, not least by bringing us all together today, with representatives from A (Angola) to Z (Zambia). Each of us brings different needs and circumstances to the table. This raises two fundamental questions. What do we have in common? And what principles can guide our collective efforts?

    First, we must harness responsible innovation to solve persistent challenges while mitigating the risks I have noted today. Central banks – by ensuring the safety and integrity of payment systems – play an important role in this regard. And by interlinking fast payment systems and exploring the use of central bank digital currencies, we can address settlement inefficiencies while safeguarding monetary sovereignty and financial stability.

    Second, regional solutions can serve as a foundation for global progress. I have argued that regional payment integration can be an important part of the solution – provided it remains open to, and actively facilitates, interlinking at a global level. We firmly believe that this open, multi-currency interlinking approach can lay the groundwork for cheaper, faster and more transparent cross-border payments – without compromising the integrity, stability or sovereignty of the countries involved. By designing payment systems that are open, interoperable and multi-currency ready, we can ensure that regional initiatives contribute to global integration rather than fragmentation.

    Finally, collaboration is central to our collective success. Forums such as the CPMI community of practice, as well as today’s workshop, provide valuable opportunities for sharing knowledge and experiences. We will continue to find ways to work together to build resilient, inclusive and interconnected payment infrastructures that meet the needs of our people and economies. And we at the ECB remain committed to sharing our expertise and collaborating wherever we can add value.

    Thank you for your attention.

    MIL OSI Economics

  • MIL-OSI Economics: Piero Cipollone: The quest for cheaper and faster cross-border payments: regional and global solutions

    Source: European Central Bank

    Speech by Piero Cipollone, Member of the Executive Board of the ECB, at the BIS Annual General Meeting

    Basel, 27 June 2025

    Cross-border retail payments are the subject of increasing attention. This is for two main reasons.

    First, they play a growing role in the world economy, as international transaction volumes have been increasing at a faster pace than GDP growth. However, despite some improvements in recent years, many payment corridors remain poorly served, which results in slow transaction times and high costs and ultimately hinders economic growth and social cohesion. Moreover, this inefficiency undermines the benefits of globalisation, as the economic gains from lower trade barriers are diverted into rents within cross-border payment markets, rather than benefiting the businesses and households that make use of them.

    Second, new risks are emerging. Geopolitical tensions, for instance, could lead to further fragmentation of global payment systems. Moreover, the expansion of stablecoins could introduce several additional challenges, including currency substitution risks and over-reliance on a limited number of dominant private issuers.

    This is not a situation we can accept passively. We need continuous efforts to enhance cross-border payments, in line with the G20 Roadmap.[1] And central banks, given their role in ensuring the smooth functioning of payment systems, have a major role to play. Significant work has already been undertaken at international level, notably by the Bank for International Settlements (BIS) and the Financial Stability Board (FSB).

    Today, I would like to share our experience with cross-border payments from a regional perspective, emphasising how regional payment infrastructures can be part of the solution. I will then discuss our vision for advancing cross-border payments at the global level.

    The case for enhancing cross-border retail payments

    Let me begin by underscoring the costs and risks of inaction.

    Over the past few decades, the world has witnessed a surge in cross-border payments, driven by the globalisation of trade, capital and migration flows. According to some estimates, the value of cross-border retail payments could grow from close to USD 200 trillion last year to USD 320 trillion by 2032.[2]

    Yet, the average cost of international retail payments remains high. For nearly one-quarter of global payment corridors, costs exceed 3%. And in too many cases, they are slow – one-third of retail cross-border payments took more than one business day to be settled in 2024.[3]

    Worryingly, there are signs that progress is stalling. The FSB’s 2024 progress report revealed no improvements in costs and noted a deterioration in both costs and speed compared with 2023.[4]

    Geopolitical tensions further compound these challenges, as they risk fragmenting global payment systems and undermining the rules-based international order. This could challenge established correspondent banking networks and lead to greater complexity, higher costs and, in a worst-case scenario, the splintering of the global payment system into multiple, non-communicating blocs.

    This raises three pressing issues.

    First, high costs and slow transaction times are hampering economic integration and growth, with small and medium-sized enterprises (SMEs) bearing the brunt. For SMEs operating on tight margins, exorbitant fees discourage them from participating in cross-border trade.

    Second, the world’s most vulnerable groups – such as migrant workers sending remittances home – shoulder a disproportionate share of these costs. In many regions, sending money internationally remains prohibitively expensive. For example, the average costs of remittances to sub-Saharan Africa and South Asia stand at 7.7% and 6.2% respectively.[5] As it stands, the global Sustainable Development Goal target of lowering remittance costs to 3% remains a distant goal. The impact that reducing these fees would have on financial inclusion and well-being cannot be overstated.

    Third, inefficiencies in cross-border payments have created a gap that alternative players, particularly in the crypto-asset space, are eager to fill. However, many of these solutions come with significant risks. Unbacked crypto-assets, for instance, are highly volatile and speculative in nature, creating risks for unsuspecting households and businesses and lending themselves to illicit activities.[6]

    Furthermore, stablecoins come with their own set of challenges, which the BIS described in detail in a special chapter of its Annual Economic Report published this week.[7] Stablecoins carry credit risk, making them susceptible to runs, and pose fragmentation risks due to the multitude of stablecoins being issued. Some of these could end up trading at a discount, undermining the singleness of money.[8] Moreover, because a small number of issuers currently dominate the market, this could also give rise to concentration risks. Lastly, a key concern is the prevalence of US dollar stablecoins, which currently account for 99% of the global stablecoin market.[9] These stablecoins provide an easy way to store value in dollars, considerably increasing the risk of currency substitution in the form of “digital dollarisation”.[10] This phenomenon could have destabilising effects, particularly on emerging markets and less developed economies by impairing the effectiveness of domestic monetary policy. It may also increase the risk of capital flight in response to adverse economic shocks.

    Enhancing cross-border retail payments at the regional and global level

    To address inefficiencies in cross-border payments, we must offer an alternative that connects various parts of the global payments system and delivers tangible benefits in terms of speed and cost. At the same time, this solution must respect the integrity, sovereignty and stability of all countries involved.

    At the ECB, we are pursuing this on two levels – regional and global.

    Regional cross-border payments: the European experience

    At the regional level, Europe serves as a compelling example of what an interconnected payments landscape might look like.

    Of course, this has been facilitated by the creation of a single European market and the establishment of a monetary union. One of the key reasons for creating the euro was to support trade and investment by facilitating cross-border transactions. And the launch of our single currency offered a first solution to pay throughout the euro area – in the form of euro cash.

    The logical next step was to develop European instruments for electronic euro payments. The Single Euro Payments Area (SEPA) emerged from close cooperation between the public and private sector to harmonise electronic euro transactions. As a result, individuals and businesses can make payments across the euro area at very low costs using credit transfers or direct debit.

    The success of SEPA led to its expansion beyond the euro area and even beyond the European Union. Today, customers in 41 European countries can make euro payments quickly, safely and efficiently via credit transfer and direct debit, just as they would for domestic transactions.

    We have also developed the TARGET Instant Payment Settlement (TIPS) service, which enables the settlement of instant payments across the euro area. Instant payments are further supported by a payment scheme – the SEPA Instant Credit Transfer scheme – that provides harmonised rules, standards and protocols. Moreover, EU legislation has made it mandatory for banks to allow their customers to send and receive instant payment at low cost.

    A key feature of TIPS is that it’s a multi-currency platform. Taking advantage of this, Sweden and Denmark are using TIPS to facilitate fast payments in their respective currencies.[11] Norway will do the same as of 2028.[12] Furthermore, we are implementing a cross-currency settlement service that will allow instant payments initiated in one TIPS currency to be settled in another. Initially, this service will support cross-currency payments between the euro area, Sweden and Denmark.[13]

    Within Europe, we are also supporting the Western Balkans in developing a regional fast payment system.[14] As a service provider for TIPS, the Banca d’Italia is collaborating with the central banks of Albania, Bosnia and Herzegovina, Kosovo and Montenegro to develop an instant, multi-currency payment system based on TIPS software. North Macedonia may join the initiative at a later stage.[15] The new platform will facilitate instant payments both within each participating country and across borders.

    Going global: interlinking fast payment systems

    This shows the potential for strengthening regional integration in payments. However, let me be clear: regional integration must not come at the expense of global connectivity. It should not be used as a means to sever ties with global payment networks.

    Our approach is that regional and global integration can go hand in hand through the interlinking of fast payment systems across regions and countries. Today, over 100 jurisdictions worldwide have implemented their own fast payment systems.[16] Interlinking these systems has the potential to address inefficiencies and build lasting connections that are rooted in trade openness and balanced relationships between partners.

    This approach offers several advantages. It would reduce costs, increase the speed and transparency of cross-border payments and shorten transaction chains. It would also enable payment service providers to conduct transactions without having to use multiple payment systems or a long chain of correspondent banks. Moreover, it would ensure that the platform for connecting and converting currencies is managed as a public good, thus avoiding closed loops and discriminatory pricing. Accordingly, the G20 Roadmap for Enhancing Cross-border Payments has identified interlinking as a key strategy for enhancing cross-border payments.[17] In this respect, the excellent work the Committee on Payments and Market Infrastructures (CPMI) is carrying out on payee verification could make a significant difference.

    Last October, the ECB’s Governing Council decided to take concrete steps towards interlinking TIPS with other fast payment systems to improve cross-border payments globally.[18]

    We will implement a cross-currency settlement service for the exchange of cross-border payments between TIPS and other fast payment systems worldwide.[19] This will allow us to explore interlinking TIPS with fast payment systems that have a compatible scheme, are interested in being involved and fully comply with the standards set by the Financial Action Task Force for combating money laundering and terrorist financing.

    In addition, we are exploring the possibility of creating bilateral and multilateral links with other fast payment systems.

    One possibility under consideration is connecting TIPS to a multilateral network of instant payment systems through Project Nexus, led by the BIS.[20] By joining Nexus, TIPS could serve as a hub for processing instant cross-border payments to and from the euro area and other countries that use TIPS.[21]

    We are also currently assessing the feasibility of creating a bilateral link between TIPS and India’s Unified Payments Interface[22], which handles the highest volume of instant payment transactions in the world[23].

    Interlinking fast payment systems has the potential to solve the shortcomings related to the messaging leg of cross-border transactions, by facilitating the message that the payer’s bank in country A sends to the payee’s bank in country B about the incoming transfer of funds. This would already go a long way towards improving the efficiency of cross-border payments.

    However, what interlinking does not fully resolve is the settlement leg, through which money moves from the payer’s to the payee’s account. This still requires a bank that has access to both payment systems that are interlinked, or a credit relationship between a bank in country A and a bank in country B. This is particularly challenging, given the increasing retrenchment of the correspondent banking model.

    In this context, we need to collectively exercise our creativity. I do not envisage a solution that could cover all possible corridors and use cases: there may be scope for tokenised forms of money, as well as a revival of the correspondent banking model, especially if we can reduce the associated risks.

    In the realm of sovereign money, jurisdictions could agree to use their respective central bank digital currencies as settlement assets. In this respect, the current draft legislation on the digital euro provides for an approach that respects the sovereignty of non-euro area countries and mitigates potential risks for them. It does so by opening the possibility for residents of a partner country to use the digital euro, subject to an agreement with that country, complemented by an arrangement between the ECB and the respective central bank.[24]

    Appropriate safeguards – such as individual holding limits for users – would ensure that the digital euro is used primarily as a means of payment and does not fuel currency substitution. Furthermore, the digital euro’s design would include multi-currency functionality, similar to that of TIPS. In practice, this means that non-euro area countries could use the digital euro infrastructure to offer their own digital currencies, thereby facilitating transactions across these currencies.

    Conclusion

    Let me conclude.

    We find ourselves at a pivotal moment for cross-border payments. If we want to make decisive progress and increase their efficiency, we need to work together to develop new solutions. We must, however, be aware of the risks that some of the alternatives on offer may pose.

    I would like to thank the BIS – and in particular the CPMI – for the active role they play in this area, not least by bringing us all together today, with representatives from A (Angola) to Z (Zambia). Each of us brings different needs and circumstances to the table. This raises two fundamental questions. What do we have in common? And what principles can guide our collective efforts?

    First, we must harness responsible innovation to solve persistent challenges while mitigating the risks I have noted today. Central banks – by ensuring the safety and integrity of payment systems – play an important role in this regard. And by interlinking fast payment systems and exploring the use of central bank digital currencies, we can address settlement inefficiencies while safeguarding monetary sovereignty and financial stability.

    Second, regional solutions can serve as a foundation for global progress. I have argued that regional payment integration can be an important part of the solution – provided it remains open to, and actively facilitates, interlinking at a global level. We firmly believe that this open, multi-currency interlinking approach can lay the groundwork for cheaper, faster and more transparent cross-border payments – without compromising the integrity, stability or sovereignty of the countries involved. By designing payment systems that are open, interoperable and multi-currency ready, we can ensure that regional initiatives contribute to global integration rather than fragmentation.

    Finally, collaboration is central to our collective success. Forums such as the CPMI community of practice, as well as today’s workshop, provide valuable opportunities for sharing knowledge and experiences. We will continue to find ways to work together to build resilient, inclusive and interconnected payment infrastructures that meet the needs of our people and economies. And we at the ECB remain committed to sharing our expertise and collaborating wherever we can add value.

    Thank you for your attention.

    MIL OSI Economics

  • MIL-OSI Economics: Working Group announces Small Business Champions, discusses digitalization and MC14 plan

    Source: World Trade Organization

    Small Business Champions

    The winners of the 2025 Small Business Champions Competition are Silaiwali (India), a company which empowers women artisans by upcycling waste fabric from garment factories into handcrafted products, and NetZero Pallets (Viet Nam), which specializes in converting biomass into carbon-neutral shipping pallet materials.

    The fifth edition of the competition was held under the theme “Completing the Loop: Helping Small Businesses Contribute to the Circular Economy.” It was jointly organized by the Informal Working Group on MSMEs, the International Trade Centre (ITC), the International Chamber of Commerce (ICC) and in partnership with UN Trade and Development (UNCTAD) for the first time.

    At the award ceremony, WTO Director-General Ngozi Okonjo-Iweala congratulated the winners and reiterated the vital role of MSMEs in global value chains and supply chains. She emphasized that small businesses are a bedrock of innovation and agility, and that the Small Business Champions Award reflects their invaluable contributions to sustainable development. She also stressed the importance of supporting MSMEs in times of uncertainty, as they often face significant trade barriers, particularly in accessing knowledge and finance. “They’re the ones that need the stability and predictability of the world trading system the most. We cannot do without their voice,” she said.

    ITC Executive Director Pamela Coke-Hamilton and ICC Secretary General John Denton also delivered opening remarks. Deputy Secretary-General of UNCTAD, Pedro Manuel Moreno, addressed the ceremony via video message. All three speakers reaffirmed their organizations’ commitment to fostering a supportive business ecosystem where MSMEs can thrive and actively contribute to the circular economy.

    The award ceremony can be watched here.

    Digitalization, other thematic issues

    Lively discussions focused on capacity building for MSMEs through digital transformation, with members and international organizations sharing experiences in helping small businesses reduce costs and improve efficiency.

    The United Nations Economic and Social Commission for Asia and the Pacific (UNESCAP) introduced its Cross-Border Paperless Trade Database, developed with the International Chamber of Commerce (ICC), as a hub offering innovative resources and legal support. China presented its single-window customs platform designed to simplify cross-border procedures for MSMEs. The International Trade Centre (ITC) provided an update on its digital trade policy and regulatory work. It also outlined its work on the African Continental Free Trade Area (AfCFTA) through the “One Trade Africa” project, which supports African MSMEs in participating in trade. Georgia proposed a peer-learning session to explore how to scale up digital solutions and streamline regulations.

    Building on previous thematic sessions, members also discussed good regulatory practices (GRPs) and the informal sector. They emphasized the importance of ensuring interoperability between regulatory frameworks to facilitate MSME trade. Participants expressed support for continued dialogue on informal MSMEs and recommended monitoring relevant developments in other international forums.

    MC14 strategies, implementation of 2020 MSME Package

    Following discussions at the March meeting, the Coordinator, Ambassador Matthew Wilson of Barbados, proposed tentative outcomes and issues to be developed in the lead-up to MC14. Group members agreed to focus on a primary deliverable: a joint study report by the World Customs Organization, ICC and the WTO on the integration of MSMEs into Authorized Economic Operator (AEO) programmes (INF/MSME/W/62/Rev.2), as adopted by the Group in March.

    Additional outcomes will include the Coordinator’s reports summarizing the Group’s work between MC13 and MC14, a summary of exemplary small enterprises and a review of key findings from the thematic discussions.

    The MSME Group Coordinator announced new funding from the China Council for the Promotion of International Trade (CCPIT) and the Organization for Trade Development and Standards Cooperation (ODCCN) for the Trade4MSMEs website to ensure its operation for the next six years. This contribution has already enabled the translation of the website into Mandarin, thereby enhancing its accessibility to a broader international audience.

    In addition, members agreed to continue deliberating on a possible policy guidance document (a compendium) for good regulatory practices (GRPs). Further discussion is also planned on how to advance joint work with the Trade and Gender Initiative, particularly in improving access to finance for women-led MSMEs.

    The Group also reviewed progress in implementing its December 2020 MSME Package — a set of policy recommendations aimed at supporting MSMEs. Several members, along with the WTO Secretariat, provided updates on their respective actions in support of the package’s implementation.

    Strengthening engagement with private sector

    A special session open to the business community took place on 25 June. Small traders were invited to share their views on the impact of recent trade tensions on their businesses, their engagement in good regulatory practices, and other challenges they face.

    The Coordinator reflected on key takeaways from the constructive discussion. Businesses described a challenging landscape created by economic uncertainty and ongoing trade tensions, including regarding tariffs. They also noted benefits from newly implemented efficiencies and other significant challenges, especially in relation to planning and day-to-day operations.

    While good regulatory practice (GRP) initiatives exist, MSMEs reported that they are often not adequately informed or consulted. They also noted that GRPs tend to be fragmented and country-specific, lacking global harmonization. Small businesses further highlighted limited access to tariff and trade regulation information, lack of clarity regarding customs regulations, and high shipping costs as major trade obstacles. They called for easier access to tariff information and greater support from national authorities.

    Members welcomed the discussion and proposed further discussions on how to incorporate feedback from the business community into the Group’s future agenda.

    Next

    The next meeting of the Informal Working Group on MSMEs is scheduled for 3 October 2025.

    Share

    MIL OSI Economics

  • MIL-OSI Economics: Agriculture negotiations Chair reports on prospects for progress ahead of MC14

    Source: WTO

    Headline: Agriculture negotiations Chair reports on prospects for progress ahead of MC14

    Ambassador Hussain told members he had held consultations on market access, domestic support and export restrictions on food as well as on food procurement at administered prices for developing economies’ public stockholding (PSH) programmes, and the proposed new Special Safeguard Mechanism (SSM), which would allow developing economies to raise duties temporarily in the event of a sudden surge in import volumes or price depression.
    The Chair reported that since the last meeting on 30 April, he had held 14 meetings where he explored with members several potential MC14 outcomes. These included: agreement on a framework for continued negotiations on outstanding topics; a political declaration reaffirming the value of existing disciplines and committing  to continue negotiations beyond MC14; recognition of progress made so far; and an agreement delivering early results for vulnerable WTO members facing food insecurity. These approaches could complement one another.
    “Overall, I was encouraged by the constructive tone and positive engagement throughout the consultations,” Ambassador Hussain said.
    He told the meeting that, despite the prevailing geopolitical tensions and challenges, there was broad support for advancing substantive work across all pillars. During his consultations, many members had underscored the importance of securing at least some concrete and meaningful outcomes as part of the MC14 package, he said.
    The Chair also noted that several delegations had emphasized the need to focus on realistic yet meaningful deliverables, and had cautioned that outcomes perceived as overly modest could risk further eroding confidence in the multilateral trading system.
    The Chair will continue his consultations on the various topics in different configurations, with the next consultation scheduled for 30 June with the cotton quad plus members, namely the C4+ cotton-producing countries (Benin, Chad, Burkina Faso, Mali and Côte d’Ivoire) and other key players in the negotiations related to the trade-related aspects of cotton.
    During the meeting, proponents of easing agricultural market access stressed the importance of  reducing and simplifying tariffs and other trade barriers in order to support economic development, food security and environmental sustainability. 
    Argentina, Brazil, Paraguay and Uruguay told participants that their November 2023 proposal JOB/AG/255 remains a substantive contribution to the talks, and that an MC14 outcome lacking progress on market access would be insufficient.
    Many members stressed that enhancing food security must remain a central objective in the negotiations. Some members also identified strengthening rural livelihoods and development — as well as promoting sustainable agriculture — as key priorities. Several members also reaffirmed the importance of a well-functioning multilateral rules-based trading system, emphasizing that it is essential for ensuring predictability and reducing costly uncertainty.
    The Cairns Group of agricultural exporting countries and the African Group updated participants on their continued consultations. which have mainly focused so far on domestic support to the farm sector. The consultations were being held in a constructive spirit, they said. The Cairns Group proposal  JOB/AG/243 and the African Group proposal JOB/AG/242 were serving as a basis for dialogue.
    Some members told the meeting that it was critical to also address the issue of export restrictions on food as part of the negotiations to enhance food security. These members also noted that elements from their previous submissions remained relevant for ongoing discussions. Other ideas for further work were also mentioned, such as looking to facilitate trade in agricultural products including by looking at cross-cutting issues, such as agriculture-related supporting services.
    Ambassador Hussain noted that several members prefer to continue engaging with one another informally before widening discussions to the membership as a whole. These members also recognized that broader participation would soon be necessary.
    Several delegations called for more technical, data-informed discussions, including expert-led side events, to advance dialogue on complex, cross-cutting issues.
    Members had also acknowledged that it was too early to define the contours of a potential outcome for MC14, the Chair said. Their general view was that process and substance must continue to evolve in tandem to keep options open and ambition credible. He added that, overall, members had advocated for a balanced approach to negotiations, emphasizing the need for a spirit of engagement and transparency and the importance of avoiding maximalist positions.
    Ambassador Hussain told the meeting he will continue to facilitate focused discussions. He will encourage members to explore innovative approaches, collaborate effectively, and report their progress to the full membership. Delegations could usefully share written contributions which could be adopted at MC14, he said.
    Public food stockholding and Special Safeguard Mechanism
    Members held dedicated sessions on the procurement of food at administered prices for public stocks in developing economies and on the proposed Special Safeguard Mechanism  to facilitate more focused discussions on both topics. The Chair reported on his recent consultations on public food stockholding and noted that open and frank exchanges remain essential to making meaningful progress on this key issue.
    “I continue to believe that progress is possible if we focus on bridging differences through constructive and solution-oriented dialogues,” he said. He also told participants that he plans to pursue consultations in various configurations over the coming weeks to explore pragmatic and effective ways forward.
    During the meeting, developing economies that call for fast-tracking action in this area highlighted the importance of revisiting WTO rules in order to address food insecurity and called for text-based negotiations. Some other members called for technical sessions to enhance understanding of the technical aspects of the issue as well as the proposal on the table. Some noted that they were open to discussing the food security challenges faced by developing economies.
    On the Special Safeguard Mechanism, while developing economy proponents of the safeguard continue to consider it ought to be adopted as a stand-alone tool, agricultural exporting economies argue it should be addressed in parallel with talks on reducing barriers to the export of agricultural goods.
    Ambassador Hussain reported that, during his consultations, proponents of this issue made suggestions on how to break the current impasse and move the discussions forward. These included holding thematic sessions and targeted group discussions on specific technical issues and pursuing an interim price-based safeguard mechanism.
    The Chair urged members to continue exploring ways that could help to bridge differences and result in substantive progress.
    “We need to work towards identifying a practical way forward that could facilitate a meaningful conversation on various technical elements of an SSM,” he said.
    Next meeting
    The next meeting, followed by the dedicated sessions on public food stockholding and the Special Safeguard Mechanism, is tentatively scheduled for 9-10 July.

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    MIL OSI Economics

  • MIL-OSI Economics: Agriculture negotiations Chair reports on prospects for progress ahead of MC14

    Source: WTO

    Headline: Agriculture negotiations Chair reports on prospects for progress ahead of MC14

    Ambassador Hussain told members he had held consultations on market access, domestic support and export restrictions on food as well as on food procurement at administered prices for developing economies’ public stockholding (PSH) programmes, and the proposed new Special Safeguard Mechanism (SSM), which would allow developing economies to raise duties temporarily in the event of a sudden surge in import volumes or price depression.
    The Chair reported that since the last meeting on 30 April, he had held 14 meetings where he explored with members several potential MC14 outcomes. These included: agreement on a framework for continued negotiations on outstanding topics; a political declaration reaffirming the value of existing disciplines and committing  to continue negotiations beyond MC14; recognition of progress made so far; and an agreement delivering early results for vulnerable WTO members facing food insecurity. These approaches could complement one another.
    “Overall, I was encouraged by the constructive tone and positive engagement throughout the consultations,” Ambassador Hussain said.
    He told the meeting that, despite the prevailing geopolitical tensions and challenges, there was broad support for advancing substantive work across all pillars. During his consultations, many members had underscored the importance of securing at least some concrete and meaningful outcomes as part of the MC14 package, he said.
    The Chair also noted that several delegations had emphasized the need to focus on realistic yet meaningful deliverables, and had cautioned that outcomes perceived as overly modest could risk further eroding confidence in the multilateral trading system.
    The Chair will continue his consultations on the various topics in different configurations, with the next consultation scheduled for 30 June with the cotton quad plus members, namely the C4+ cotton-producing countries (Benin, Chad, Burkina Faso, Mali and Côte d’Ivoire) and other key players in the negotiations related to the trade-related aspects of cotton.
    During the meeting, proponents of easing agricultural market access stressed the importance of  reducing and simplifying tariffs and other trade barriers in order to support economic development, food security and environmental sustainability. 
    Argentina, Brazil, Paraguay and Uruguay told participants that their November 2023 proposal JOB/AG/255 remains a substantive contribution to the talks, and that an MC14 outcome lacking progress on market access would be insufficient.
    Many members stressed that enhancing food security must remain a central objective in the negotiations. Some members also identified strengthening rural livelihoods and development — as well as promoting sustainable agriculture — as key priorities. Several members also reaffirmed the importance of a well-functioning multilateral rules-based trading system, emphasizing that it is essential for ensuring predictability and reducing costly uncertainty.
    The Cairns Group of agricultural exporting countries and the African Group updated participants on their continued consultations. which have mainly focused so far on domestic support to the farm sector. The consultations were being held in a constructive spirit, they said. The Cairns Group proposal  JOB/AG/243 and the African Group proposal JOB/AG/242 were serving as a basis for dialogue.
    Some members told the meeting that it was critical to also address the issue of export restrictions on food as part of the negotiations to enhance food security. These members also noted that elements from their previous submissions remained relevant for ongoing discussions. Other ideas for further work were also mentioned, such as looking to facilitate trade in agricultural products including by looking at cross-cutting issues, such as agriculture-related supporting services.
    Ambassador Hussain noted that several members prefer to continue engaging with one another informally before widening discussions to the membership as a whole. These members also recognized that broader participation would soon be necessary.
    Several delegations called for more technical, data-informed discussions, including expert-led side events, to advance dialogue on complex, cross-cutting issues.
    Members had also acknowledged that it was too early to define the contours of a potential outcome for MC14, the Chair said. Their general view was that process and substance must continue to evolve in tandem to keep options open and ambition credible. He added that, overall, members had advocated for a balanced approach to negotiations, emphasizing the need for a spirit of engagement and transparency and the importance of avoiding maximalist positions.
    Ambassador Hussain told the meeting he will continue to facilitate focused discussions. He will encourage members to explore innovative approaches, collaborate effectively, and report their progress to the full membership. Delegations could usefully share written contributions which could be adopted at MC14, he said.
    Public food stockholding and Special Safeguard Mechanism
    Members held dedicated sessions on the procurement of food at administered prices for public stocks in developing economies and on the proposed Special Safeguard Mechanism  to facilitate more focused discussions on both topics. The Chair reported on his recent consultations on public food stockholding and noted that open and frank exchanges remain essential to making meaningful progress on this key issue.
    “I continue to believe that progress is possible if we focus on bridging differences through constructive and solution-oriented dialogues,” he said. He also told participants that he plans to pursue consultations in various configurations over the coming weeks to explore pragmatic and effective ways forward.
    During the meeting, developing economies that call for fast-tracking action in this area highlighted the importance of revisiting WTO rules in order to address food insecurity and called for text-based negotiations. Some other members called for technical sessions to enhance understanding of the technical aspects of the issue as well as the proposal on the table. Some noted that they were open to discussing the food security challenges faced by developing economies.
    On the Special Safeguard Mechanism, while developing economy proponents of the safeguard continue to consider it ought to be adopted as a stand-alone tool, agricultural exporting economies argue it should be addressed in parallel with talks on reducing barriers to the export of agricultural goods.
    Ambassador Hussain reported that, during his consultations, proponents of this issue made suggestions on how to break the current impasse and move the discussions forward. These included holding thematic sessions and targeted group discussions on specific technical issues and pursuing an interim price-based safeguard mechanism.
    The Chair urged members to continue exploring ways that could help to bridge differences and result in substantive progress.
    “We need to work towards identifying a practical way forward that could facilitate a meaningful conversation on various technical elements of an SSM,” he said.
    Next meeting
    The next meeting, followed by the dedicated sessions on public food stockholding and the Special Safeguard Mechanism, is tentatively scheduled for 9-10 July.

    Share

    MIL OSI Economics

  • MIL-OSI NGOs: Georgia: Crackdown on government critics deepens as another opposition politician is jailed

    Source: Amnesty International –

    Reacting to the jailing of yet another Georgian opposition figure, former lawmaker Giorgi (Givi) Targamadze, to seven months in prison for refusing to recognize the parliament’s legitimacy and appear before a parliamentary investigative committee, Denis Krivosheev, Amnesty International’s Deputy Director for Eastern Europe and Central Asia, said:

    “Summoning opposition figures before a parliamentary commission and arresting and imprisoning them for refusing to recognize its legitimacy raises serious concerns over the misuse of legislative, policing and other powers to silence government critics in Georgia.”

    “With its status disputed, the commission has been instrumentalized to target former public officials for their principled opposition. It has become a tool of political repression, not of parliamentary scrutiny, used to lock away political opponents ahead of local elections. The ruling party’s misuse of parliamentary structures is part of a broader crackdown on critics, which includes the arbitrary detention and persecution of activists and peaceful protesters and the suffocation of civil society through repressive legislation and unlawful demands.

    The ruling party’s misuse of parliamentary structures is part of a broader crackdown on critics

    Denis Krivosheev, Amnesty International’s Deputy Director for Eastern Europe and Central Asia

    “Authorities in Georgia must stop their relentless assault on dissent and targeting protesters and political activists for the peaceful exercise of their human rights, and release Givi Targamadze and the six other opposition members they have thrown behind bars in recent weeks. Authorities must halt practices that violate Georgia’s international human rights obligations. Authorities must uphold and ensure the human rights of everyone in the country.”

    Background

    On 27 June, Tbilisi City Court sentenced Giorgi (Givi) Targamadze to seven months in prison for “non-compliance” with a parliamentary commission led by the ruling Georgian Dream party. The commission purports to have been established to investigate alleged abuses by former government officials from the opposition United National Movement (UNM) party that ran the country from 2003 to 2012.

    Giorgi Targamadze is the seventh opposition figure to be arrested, and the fourth to be sentenced, under these proceedings in recent weeks, after Giorgi Vashadze received a seven-month prison sentence, and Mamuka Khazaradze, Badri Japaradze and Zurab Japaridze, were each sentenced to six months in prison. All of them have also been banned from holding public office for two years. Three other opposition figures – ex-UNM chair Nika Melia, former Justice and Defence ministers Nika Gvaramia and Irakli Okruashvili – are also currently in detention and standing trial under the same charges.

    Refusing to comply with a parliamentary commission can be punished by up to one year in prison or a fine under Georgian law. However, courts have so far imposed prison sentences only, in a string of cases which have targeted politicians who have challenged the legitimacy of the current parliament after disputed elections.

    MIL OSI NGO

  • MIL-OSI NGOs: Japan: Execution is latest ‘callous attack on the right to life’

    Source: Amnesty International –

    In response to today’s execution in Japan of a man convicted of the murder of nine people, Chiara Sangiorgio, Death Penalty Advisor at Amnesty International, said:

    “The execution of Takahiro Shiraishi – the first in Japan in nearly three years – is the latest callous attack on the right to life in Japan and a major setback for the country’s human rights record.

    “Last year’s acquittal of Hakamada Iwao, formerly the world’s longest-serving death row prisoner, laid bare the unfairness of Japan’s criminal justice system and use of the death penalty and was an ideal opportunity to change course.

    “But instead of moving to reform and ensure full protection of human rights, the Government has chosen to resume executions. This is a significant setback to efforts to end the use of the death penalty in Japan.

    “As of today, 113 countries worldwide have completely abolished the death penalty in law, and more than 144 have abandoned it in law or practice, yet Japan continues to use this inhuman punishment.

    “The secrecy that continues to surround the notification of executions makes the use of this punishment in Japan additionally cruel. The Japanese authorities must immediately introduce a moratorium on executions as a first step towards abolishing the death penalty entirely — and commute all death sentences to terms of imprisonment.”

    Executions shrouded in secrecy

    Shiraishi was convicted in 2020 of killing nine people in 2017 by Tokyo District Court and sentenced to death.

    This is the first execution under Prime Minister Shigeru Ishiba and the first since July 2022.

    Executions in Japan are shrouded in secrecy, with prisoners typically given only a few hours’ notice and their families usually notified only after the execution has taken place.

    Japan is one of a small group of countries that has carried out executions in recent years. Amnesty recorded 1,518 executions in 15 countries in 2024 (excluding the thousands believed to have been carried out in China), an increase by 32% from the 1,153 recorded in 2023, largely driven by a spike in three countries in the Middle East: Iran, Iraq and Saudi Arabia. 

    On 26 September 2024, a long-awaited ruling was delivered by Shizuoka District Court to acquit Hakamada Iwao, described as the world’s longest-serving death row prisoner.

    Amnesty opposes the death penalty in all cases without exception regardless of the nature or circumstances of the crime, guilt, innocence or other characteristics of the individual, or the method used by the state to carry out the execution.

    MIL OSI NGO

  • MIL-OSI NGOs: UK: ‘Superficial’ revisions to PIP bill ‘fail to stand up to human rights checks’

    Source: Amnesty International –

    Amnesty International UK has warned that the UK government’s revised welfare proposals remain fundamentally flawed and risk pushing thousands into poverty, particularly disabled people and those on low incomes. Amnesty is urging MPs not to make concessions on people’s human rights. 

    Despite proposed changes limiting certain cuts to the new Personal Independence Payment claimants, Amnesty says the Bill remains discriminatory and falls short of basic human rights standards.

    Jen Clark, Amnesty International UK’s Economic, Social and Cultural Rights Lead, said:

    “The revised changes to the PIP bill are nothing more than a superficial attempt to get MPs to vote through this cruel and harmful piece of legislation.

    “The new draft continues to fail on human rights checks – it will deepen poverty, entrench discrimination, and create a two-tier welfare system that cannot be justified under any circumstances.

    “Freezing or cutting benefits for new claimants doesn’t prevent poverty, it pushes more people into it, while entrenching income inequality across generations.

    “These proposals are not human rights compliant. They are being rushed through without proper scrutiny, transparency or engagement with those who stand to lose the most.

    “We urge MPs to stand firm against a Bill that continues to discriminate, harm, and marginalise.”

    Amnesty raised alarm over the following unresolved concerns in the Bill:

    • Cuts, freezes and eligibility changes will still push people into poverty, even if some are limited to new claimants.
    • A two-tier system is being created – an unjustifiable move that will deepen inequality, particularly for younger and future claimants in high areas of deprivation.
    • PIP assessments remain discriminatory and unfit for purpose, yet MPs are being asked to vote without any guarantees that the upcoming review will deliver meaningful change.
    • No meaningful consultation with disabled people, whose lives will be directly affected.
    • No published human rights impact assessment, and the partial assessments that exist are of poor quality.

    Poverty is a political choice: Amnesty is calling on all MPs to stand firm and reject the current version of the Bill and to demand a full human rights impact assessment, meaningful consultation with disabled people, and genuine reforms that reduce poverty rather than deepen it.

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    MIL OSI NGO

  • MIL-OSI NGOs: Greenpeace activists rebrand NZ bottom trawler “ocean killer” at sea

    Source: Greenpeace Statement –

    PACIFIC OCEAN, Saturday, 28 June 2025 – Greenpeace Aotearoa activists have confronted a bottom trawler in the South Pacific ocean, east of New Zealand, rebranding it “ocean killer”, after witnessing it haul in a net straining with marine life.

    Launching from the Greenpeace vessel Rainbow Warrior, activists came alongside the New Zealand-flagged ship, Talley’s Amaltal Atlantis, on the Chatham Rise[1] on Friday afternoon, and painted the message on its hull with non-toxic paint.

    Greenpeace Aotearoa activists confront the Talley’s bottom trawler Amatal Atlantis on the Chatham Rise, painting “ocean killer” on its hull to protest destructive bottom trawling. The Rainbow Warrior is off the coast of Aotearoa campaigning for an end to New Zealand’s destructive bottom trawling in New Zealand waters and the Tasman Sea.

    Speaking from onboard the Rainbow Warrior, Greenpeace Aotearoa spokesperson Juan Parada says: “Appalled by the most recent evidence of destruction, people defending the oceans rebranded this Talley’s vessel today to expose the bottom trawling industry for what they are: ocean killers. When Talley’s bottom trawlers drag their heavy trawl nets across the seafloor and over seamounts, they bulldoze everything in their path, including killing precious marine life from coral to fur seals, dolphins and seabirds.

    “We’ve all seen the shocking footage of bottom trawling in David Attenborough’s film Ocean, and it’s happening right here, right now.

    “Faced with a fishing industry that profits from trashing the ocean, and a government that condones bottom trawling, we’re proud of the peaceful action taken today to call out this destruction and demand that bottom trawling stop.

    The Amaltal Atlantis trawls in the waters of Aotearoa, and has previously received permits to trawl in the High Seas of the South Pacific. Their trail of destruction is wide and long-lasting,” says Parada.

    New Zealand is the only country still bottom trawling in the high seas of the Tasman, between Australia and New Zealand.

    The at-sea action comes just months after a deep sea expedition led by Greenpeace Aotearoa documented whole swathes of destroyed coral in areas of the Tasman Sea that have been intensively trawled by New Zealand bottom trawlers. This area has been earmarked for one of the first high seas ocean sanctuaries under the Global Ocean Treaty.

    Talley’s vessels trawl in Australian waters; the Amaltal Explorer has been trawling for endangered orange roughy off Tasmania, after being allowed back in Australia’s waters last year.  In 2018, the Amaltal Apollo trawled in a protected area on the Lord Howe Rise, in the international waters of the Tasman Sea between Australia and New Zealand. 

    Greenpeace Aotearoa activists confront the Talley’s bottom trawler Amatal Atlantis on the Chatham Rise, painting “ocean killer” on its hull to protest destructive bottom trawling. The Rainbow Warrior is off the coast of Aotearoa campaigning for an end to New Zealand’s destructive bottom trawling in New Zealand waters and the Tasman Sea.

    It also comes just weeks after Greenpeace Australia Pacific activists disrupted an industrial longliner between Australia and New Zealand, and revealed the devastating impacts of industrial fishing on marine life in the South Pacific.

    Greenpeace Australia Pacific is calling on the Australian government to ratify the Global Ocean Treaty and propose high seas marine protected areas, including large protected areas in the Tasman Sea.

    In a statement responding to the protest, Talley’s said it would seek legal action which “may include the arrest of the Rainbow Warrior.”

    —ENDS—

    Contacts:

    • Nick Young, Greenpeace Aotearoa: +64-21-707-727
    • Kimberley Bernard, Greenpeace Australia Pacific: +61 407 581 404 or [email protected]

    Photos and videos available for media on request

    Notes:

    • [1] The action took place in the Chatham Rise area, where it was recently revealed a New Zealand vessel dragged up six tonnes of coral in a single trawl.
    • The paint used to paint the hull is water based and non-toxic
    • In the period 1990 to 2004 the total area trawled in NZ waters was 465,100 square kilometres – almost double NZ’s land mass.

    MIL OSI NGO

  • MIL-OSI USA: Murphy Joins Bill to Protect Striking Workers’ Health Care

    US Senate News:

    Source: United States Senator for Connecticut – Chris Murphy

    June 27, 2025

    WASHINGTON—U.S. Senators Chris Murphy (D-Conn.) joined the Striking and Locked Out Workers Healthcare Protection Act, legislation introduced by U.S. Senators Ruben Gallego (D-Ariz.) and Tammy Baldwin (D-Wis.) to protect workers’ health care benefits and prevent retaliatory employers from using their power to cancel or alter health insurance for workers exercising their right to strike.
    “Cutting off health insurance is not some negotiating tactic for companies to bully striking workers into accepting a bad deal. It’s retaliation. I’m proud to stand with workers and support a bill that would make sure their health and their families’ health are never put at risk when fighting for better pay and working conditions,” said Murphy.
    The National Labor Relations Act (NLRA) established the right to strike as a protected activity, and employees cannot be fired for exercising that right. However, employers can, and often do, threaten to cut workers’ health care as a tactic to end strikes and intimidate workers. In many cases, this forces workers to decide whether they should exercise their right to strike or accept poor wages or working conditions in order to protect their health care for themselves and their families. 
    This legislation would create a separate unfair labor practice category for when employers cut or alter workers’ health insurance while they are on strike or locked out, and violators would be subject to increasing levels of civil penalties. Creating a new unfair labor practice would allow workers to bring cases with the NLRB when employers cancel or change their health coverage while they are on strike.
    In addition to Murphy, Gallego, and Baldwin, the bill is co-sponsored by U.S. Senators Richard Blumenthal (D-Conn.), Alex Padilla (D-Calif.), John Fetterman (D-Pa.), Dick Durbin (D-Ill.), Tina Smith (D-Minn.), Bernie Sanders (I-Vt.), Elizabeth Warren (D-Mass.), Sheldon Whitehouse (D-R.I.), Ed Markey (D-Mass.) and Chris Van Hollen (D-Md.).
    The legislation is supported by the AFL-CIO, United Steelworkers (USW), American Federation of Teachers (AFT), Service Employees International Union (SEIU), Teamsters, United Food and Commercial Workers International Union (UFCW), International Association of Machinists and Aerospace Workers (IAM), United Automobile, Aerospace & Agricultural Implement Workers of America (UAW), Communications Workers of America (CWA), United Mine Workers of America (UMWA), International Association of Iron Workers (IW), American Guild of Variety Artists (AGVA), Transport Workers Union (TWU), Association of Flight Attendants-CWA, National Education Association (NEA) International Association of Sheet Metal, Air, Rail, and Transportation Workers (SMART), Bakery, Confectionary, Tobacco Workers and Grain Millers (BCTGM), and NewsGuild-CWA.

    MIL OSI USA News