Phishing-resistant authentication and post-quantum, court-admissible evidence are not a banking feature. They are the foundation of any transaction where it matters who acted, what they consented to, and whether you can prove it later. Banking is where the law moved first. It is not where this stops.
AFASA Circulars 1213–1215 and their citations are built into every response. For BSP-supervised institutions under the June 30, 2026 mandate (Circular 1213).
The same engine, the same cryptography, localized to your regulator. Insurance, securities, health, government and any app, under their own rules.
Phishing-resistant passkeys, fund-hold safeguards, and a signed, court-admissible audit trail for every BSP-supervised institution, banks and non-banks alike, under the AFASA circulars 1213–1215.
BSP 1213–1215 · RA 12010Authenticate policyholders without phishable OTP, and seal every claim, endorsement and consent with a signature that holds up when a payout is contested or a fraud is alleged.
IC · RA 10173Bind an investor to their actions and chain every order and disclosure into tamper-evident evidence no counterparty can edit after the fact.
SEC · RA 8799Prove who agreed to what, and when. A contested loan, assignment or collection carries a signed record behind it, not a screenshot.
RA 10173 · RA 8792Purpose-bound consent for health data and a signed log of every access, so a Data Privacy Act inquiry is answered with evidence, not assurances.
RA 10173Post-quantum signatures on official records and phishing-resistant sign-in for public services, admissible under the E-Commerce Act.
RA 8792 · RA 10173BSP-supervised VASPs get the same passkey and signed-audit layer, with records built to stand up to AML scrutiny.
BSP · AMLANon-regulated apps adopt the Secured SSO Pack through a chartered Provider and get phishing-resistant SSO plus a signed audit trail with one integration.
Secured SSO PackA 30-day sandbox pilot connects the engine to your real flow so you can watch the signed evidence accrue before you commit.