---
title: Tokenized Issuances Management Software
url: "https://www.unknowngravity.com/en/servicios/software-gestion-emisiones-tokenizadas"
site: Unknown Gravity
published: "2026-01-15T14:44:51+00:00"
modified: "2026-07-15T10:51:34+00:00"
language: en-US
description: "Tokenized issuances management software is the operational base needed by an entity that issues and manages tokenized instruments (and, especially, a future one ERIR) to control the entire life cycle…"
section: "Home > Tokenized Issuances Management Software"
---

# Tokenized Issuances Management Software

> Tokenized issuance management software is the tool an issuer uses to run the lifecycle of its tokens: investor onboarding, ownership control, corporate actions and traceability. Unknown Gravity builds it for issuers subject to the Spanish and European framework for securities and cryptoassets.

END-TO-END LIFECYCLE REGISTRATION, CONTROL AND AUDITING ADVANCED RULES AND PERMISSIONS

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Tokenized issuance management software is the tool an issuer uses to run the lifecycle of its tokens: investor onboarding, ownership control, corporate actions and traceability. Unknown Gravity builds it for issuers subject to the Spanish and European framework for securities and cryptoassets.

**Tokenized issuances management software** is the operational base needed by an entity that issues and manages tokenized instruments (and, especially, a future one **ERIR** (the entity responsible for registering and recording securities represented by distributed ledger technology, Arts. 7 and 8 of Law 6/2023)) to control the entire life cycle of an issue: from the registration of the asset and the configuration of the issue, to the registration of ownership, transfers, events (payments, amortizations, blocks) and reporting.

Unlike a “DApp” or a set of isolated smart contracts, this type of software is a **complete platform**: embeds **workflows, permissions, auditing, traceability, eligibility rules, integrations** (KYC/KYB, payments, accounting, custody) and security layers. The objective is straightforward: the issuance must run **securely, under control, auditable and able to scale**, in line with the applicable regulatory framework.

At Unknown Gravity, we design and develop tokenized issuance platforms with a focus **Legal-First**: we started by defining the law and the operating model, and we built the technology to support it without contradictions.

## 01 / What is tokenized issuances management software?

It is a platform designed to **operate tokenized issuances in production**, ensuring control, traceability and compliance. Centralize the operating layer that connects:

- The **asset/right** (documentation and terms),
- the **Issuance logic** (parameters, rules, calendars),
- The **Registration and movements** (holders, transfers),
- And the **automation** (economic and corporate events).

In practical terms: it is the “back-office” + “registration” + “control panel” of the issue, with the safeguards required to operate under a regulated regime, whether that of tokenised securities under Law 6/2023 or that of MiCA for other crypto-assets.

### Difference between smart contracts and platform

Smart contracts execute chain rules, but they don't cover real operations on their own: permissions, internal flows, reviews, evidence, reporting, integrations and incident management. The platform provides that “nervous system” that makes the issuance manageable.

### Who is this software for

- Prospective ERIRs and entities aiming to keep the securities registry on distributed ledger technology (DLT). Only entities authorised to provide safekeeping and administration of financial instruments may act as an ERIR (Arts. 8.4 and 126.a of Law 6/2023, LMVSI)
- Issuers of tokenized assets (financial or RWA)
- Investment platforms or marketplaces with their own issues
- Entities that need strict control of transfers and eligibility

## 02 / Key system features

Serious software for tokenized issuances is designed in modules, to scale without redoing everything when volume increases or requirements change.

### Issuance settings

- Registration of the issuer, vehicle and documentation
- Parameters: supply, divisibility, schedules, conditions, classes/series
- Operating Rules: Allowed Transfers, Validations, Limits, Trading Windows

Here the “operating contract” of the issue is defined: what is allowed, what is not, and under what conditions.

### Registration of holders and positions

- Book of holders/forks
- Position history by date
- Evidences of changes, origin of operations, full traceability

Ownership and its changes must be reconstructable and verifiable at any time, without relying on manual interpretations.

### Transfer and validation engine

- Onchain/off-chain transfers (depending on model)
- Eligibility Rules and Whitelists
- Locks, freezes, recovery, reverses under predefined rules

In regulated environments, the transfer cannot be “free” by default: the system must apply previous controls and record each decision.

### Economic and corporate events

- Income/coupons/dividend distribution (if applicable)
- Amortizations, burns, redeems, conversions
- Changes to conditions and communications to owners

Real value appears when events are managed in a repeatable and automated way, reducing operational risk.

### Reporting, auditing and evidence

- Exportables and reports by issue, investor, period
- Action traceability (who did what, when and why)
- Evidence for internal/external auditing

## 03 / Control, Governance and Operational Security

This type of software must be prepared for highly demanding scenarios: access control, segregation of functions and incident management.

### Advanced roles and permissions

- Operator, Supervisor, Compliance, Auditor, Management
- Two-step approvals (four-eyes principle)
- Critical actions with reinforced authorization

### Activity log and traceability

- Immutable action log
- Versioning configurations
- Evidences associated with critical changes

### Incident and continuity management

- Controlled retries and event queues
- Monitoring and alerts
- Recovery and Fallback Procedures

## 04 / How we developed the software at Unknown Gravity

We don't build “generic platforms”. We build software that supports a **specific operating model**, with evolution and scalability.

### Phase 1 — Discovery and Operating Model

- Definition of the type of issue and the right represented
- Transferability Rules, Events, Governance
- Auditing and reporting requirements

Here, the typical mistake is avoided: designing technology without defining what is being represented and how it should operate.

### Phase 2 — System Architecture and Design

- Modules, flows, permissions, integrations
- Data design and traceability
- On-chain/off-chain strategy and risk control

The goal is to make the platform scalable: new issues, new assets, new rules.

### Phase 3 — Development, Testing and Hardening

- Backend development, panels, APIs, smart contracts (if applicable)
- QA, Security Testing, and Integration Testing
- Observability (logs, metrics, alerts)

Quality here is not “nice to have”: it's a condition for operation.

### Phase 4 — Start-up and support

- Deployment, Monitoring, Operational Support
- Evolution plan: new features, new issues
- Technical and operational documentation

The system is designed for reality: changes, audits and scaling.

FAQ

## Frequently asked questions

**Is this software only for ERIR?**

No. It is especially valuable for future ERIRs, but so do issuers and platforms that manage tokenized issuances with control, auditing and reporting requirements.

**Can it be adapted to different types of assets (financial, RWA, energy, etc.)?**

Yes. The software is designed by modules and rules: what changes between assets is the legal-operational structure, restrictions and events. The platform adapts to that logic.

**Does it include public, private blockchain, or both?**

It depends on the case. We can design architectures on public, permissioned or hybrid blockchain, prioritizing control, traceability, operating costs and compliance requirements.

This page is informative. It is not legal, tax or investment advice, and it does not replace a case-by-case review. The rules cited change: check the current version on [BOE](https://www.boe.es) and [EUR-Lex](https://eur-lex.europa.eu).
