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Classification of Cryptocurrency Holdings Software Provider (the "Company") supports and sells computer software. The Company accepts cryptocurrencies (e.g., Bitcoin, Ether, Ripple) as payment for the sale of its computer software. The Company holds its cryptocurrencies partially for investment (e.g., expectation that they will appreciate in value) and partially to use in the future to purchase goods or services. Cryptocurrency is a new type of value and payment method that is different from fiat currency (e.g., U.S. dollars and foreign currencies). Presently, cryptocurrencies have no government backing or recognition by a central authority as legal tender. Their value is only supported by supply and demand. Cryptocurrencies do not have a physical form but exist as immutable distributed ledgers (electronic records) maintained on public blockchains. They are different than electronic instances of cash, such as an online bank account, in that they are not linked to a physical currency. Bitcoin and other similar "coins" use cryptography (e.g., use of codes to secure communications) to control the security and creation of these coins, which led to the term "cryptocurrencies." There are other crypto-assets that are not cryptocurrencies, such as tokens and stablecoins. While the Company in this case study does not accept or transact in tokens or stablecoins, it is important to distinguish the three. Cryptocurrency is a unit of value that is native to a blockchain. It is a means of exchange within the blockchain to incentivize the network of participants to use the blockchain. The sole purpose of a cryptocurrency is for exchange of value, and it has limited functionality beyond that.
Problem 1: How should the Company's holdings of cryptocurrency be classified in the statement of financial position under U.S. GAAP and IFRS Standards?
Problem 2: How should the holdings of cryptocurrency be initially and subsequently measured under U.S. GAAP and IFRS Standards?
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