Private Treasury

Asset Fortress Protocol (AFP): Client Private Treasury Architecture

Under the Asset Fortress Protocol (AFP), each 98-Series Foreign Grantor Trust operates as the Client’s Private Treasury. Ecclesia Trustees clients act directly as Grantors and Trustees, retaining legal title, total treasury control, and multi-currency debit card access over their estate. Ecclesia Trustees (MLITR Research LLC) operates strictly as the Appointed Attorney-in-Fact Agent under Wyoming Statute § 3-9-101, managing the Master FBO DDA and Virtual International Bank Account Number (vIBAN) sub-ledger array without assuming trustee status or public trust liabilities.

NODE 01

Client Grantor-Trustee

Non-U.S. Citizen / Foreign Principal acting directly as Trustee over their private treasury estate.

NODE 02

Client Private Treasury

98-Series Foreign Grantor Trust governed under IRC § 672(f) revocable grantor rules.

Statutory: IRC § 672(f)

Foreign FEIN

ATTORNEY-IN-FACT HUB

MLITR Research LLC

Wyoming Series LLC (W.S. § 17-29-211) appointed as Agent under W.S. § 3-9-101 POA.

Capacity: Administrative Agent

Single Master KYB

NODE 04

vIBAN Sub-Account Array

Virtual IBAN sub-ledgers mapped to client private treasury FEINs via OpenAPI pointers for worldwide spending.

Multi-Currency: USD / EUR / GBP

ISO 20022

NODE 05

Sponsor Bank & vIBAN Treasury Cards

Fedwire/SWIFT clearing into Master FBO. Direct international debit card spending & multi-currency execution.

Settlement: ISO 20022 / SWIFT

Global Active

Node Inspector

Node 01
Client Grantor-Trustee

Under the Asset Fortress Protocol (AFP), the non-U.S. citizen client acts as the direct Trustee over their own 98-Series Foreign Grantor Trust (Client Private Treasury). They retain legal control, international vIBAN debit card access, and full fiduciary authority over their estate.

Chassis / Legal:

Foreign Individual Principal

Mandate Basis:

Private Grantor Trust Indenture

Signatory:

Grantor-Trustee (Client)

Tax / Compliance:

Non-U.S. Tax Resident
Operational Principles:
  • Acts as direct Trustee of their private 98-Series foreign trust.
  • Appoints MLITR Research LLC strictly as Attorney-in-Fact Agent.
  • Controls private treasury spend, multi-currency assets, and card accounts.

The Straight-Line Private Treasury vIBAN Deployment Plan (A to Z)

Synchronized 7-step administrative sequence from private agency mandate execution to autonomous multi-currency treasury control under the Asset Fortress Protocol.

STEP 01

Closed-Class KYB/KYC Onboarding

Sponsor bank executes single corporate KYB/KYC onboarding on MLITR Research LLC and vetted primary signatory William Kimball, avoiding retail-tier vetting friction on individual trust grantors.

STEP 02

Private Treasury Agency Execution

Client executes private Grantor Trust Indenture and appoints MLITR Research LLC as Attorney-in-Fact Agent under W.S. § 3-9-101 POA to manage administrative vIBAN integration.

STEP 03

OpenAPI vIBAN Sub-Ledger Provisioning

Unique virtual international account numbers (vIBANs) supporting USD, EUR, and GBP are dynamically generated under MLITR’s Master FBO chassis, mapping the client trust’s 98-series FEIN directly via metadata.

STEP 04

31 CFR Part 210 & ISO 20022 Clearing Setup

Routing endpoints display uniform corporate legal title MLITR Research LLC to satisfy international ISO 20022 and 31 CFR Part 210 clearing checks, allowing global electronic transfers to clear seamlessly.

STEP 05

Master FBO Inflow & Automated Splits

Sponsor bank executes single corporate KYB/KYC onboarding on MLITR Research LLC and vetted primary signatory William Kimball, avoiding retail-tier vetting friction on individual trust grantors.

STEP 06

Private Treasury Card & Multi-Currency Allocation

Sponsor bank executes single corporate KYB/KYC onboarding on MLITR Research LLC and vetted primary signatory William Kimball, avoiding retail-tier vetting friction on individual trust grantors.

STEP 07 — AUTONOMOUS INTERNATIONAL TREASURY CONTROL

Asset Fortress Protocol Autonomous Operations

Assets reside securely in the client’s private domain under IRC § 672(f) grantor rules. Multi-currency transfers move via Fedwire, SWIFT, or SEPA sweeps using memo: “Asset Fortress Protocol – Private Treasury Disbursement”.

Private Treasury vIBAN Operations & Digital ID Safeguard

How Ecclesia Trustees clients operate Private Treasuries using International Grantor Trust bank accounts while remaining completely untethered from compulsory Digital ID schemes.

The Digital Cage (Retail Banking)

CAPTURED SYSTEM

The Private Treasury Freedom

ASSET FORTRESS PROTOCOL

How Clients Operate Their Private Treasury vIBAN Accounts

01

Account Titled in Trust Name

Accounts are opened under the foreign trust’s name with an IRS 98-series EIN, completely isolating the client’s private domain from domestic statutory registers.

02

vIBAN Card & Global Access

Physical and virtual payment cards tied to international vIBANs are issued to the Client Grantor-Trustee, allowing frictionless point-of-sale spending and multi-currency execution.

03

International Capital Mobility

Client trust entities hold fee-simple legal title over land, digital assets, business holdings, and capital, managing operations globally outside statutory encumbrances.

04

Correspondent Clearing Rails

Managed via curated private banks operating within correspondent channels for seamless USD/EUR/GBP settlement, high-value Fedwire/SWIFT sweeps, and confidential global capital movement.

Personal Statutory Account vs. Asset Fortress Private Treasury vIBAN

Dimension Personal Retail Account (Digital ID Captured) Private Treasury vIBAN Account (Grantor Trust)
Digital ID Requirement Mandatory biometric registration to open, hold, or access funds. None — Held by foreign trust entity (EIN), not registered statutory person.
Jurisdiction Domestic statutory codes — total state regulatory reach. Foreign Trust-Nation Status — outside domestic statutory codes.
Surveillance & Reporting All transactions tracked; automated KYC/AML surveillance. Confidential by design; no domestic personal income reporting.
Account Control Freezable, flaggable, programmable by central algorithms. Absolute — Client Grantor-Trustee controls under private contract law.
Asset Title & Ownership Equitable title user status; state holds legal title. Fee-Simple legal title held securely by Private Trust Estate.

Asset Fortress Protocol (AFP) Private Treasury vIBAN Simulator

Simulate client private treasury allocations, Attorney-in-Fact administrative fee reserves, dynamic international vIBAN sub-ledger routing, and debit card balances.

Treasury Parameters

Total Portfolio Treasury Volume: $10,000,000
Active Client Private Treasuries: 10
Attorney-in-Fact Agency Reserve: 1.0%

Legal Mandate:

W.S. § 3-9-101 POA

Sub-Ledger Standard:

vIBAN OpenAPI Pointer

Total Monthly vIBAN Inflow

$640,000

Collected via MLITR Master FBO

Fiduciary Administrative Reserve

$16,000

Compliance & Platform Maintenance

Net Ministry Treasury Payout

$624,000

Disbursed to Auxiliary Ministries

BaaS Clearing & Ministry Treasury

vIBAN Sub-Account ID Foreign FEIN Grantor-Trustee Status Allocated Inflow Net Treasury Balance

Statutory, Legal & Regulatory Framework

Detailed breakdown of the legal foundations governing Wyoming Series LLCs, Attorney-in-Fact Agency Mandates, Foreign Grantor Trust tax codes, and international vIBAN settlement.

Uniform Power of Attorney (W.S. § 3-9-101)

Under Wyoming Statute § 3-9-101 et seq., MLITR Research LLC is appointed as an administrative agent under a narrow Power of Attorney mandate. This agency capacity allows MLITR to manage banking sub-ledgers without assuming direct legal title or trustee status, bypassing public trust company regulations.

Mandate Type: Attorney-in-Fact Administrative Agency
Statutory Exemption: Bypasses § 13-5-701 kinship limits & PTC reclassification.

Wyoming Series LLC (W.S. § 17-29-211)

Provides an internal statutory liability shield where the liabilities of an individual sub-series are enforceable exclusively against that specific series’ assets. Master hub and peer sub-entities remain entirely insulated from external claims.

Statutory Authority: W.S. § 17-29-211(a) & (e)
Firewall: Complete liability segregation per sub-ledger.

IRC § 672(f) Foreign Grantor Trust Status

Governs 98-Series trusts created by non-U.S. citizens. So long as the trust remains revocable by the foreign grantor or distributions during lifetime are restricted to the grantor, the entity is treated as a foreign grantor trust with distinct FEIN assignment.

Federal Tax Code: 26 U.S.C. § 672(f)(2)
Trustee Assignment: Client acts directly as Trustee under private indenture.

31 CFR Part 210 & ISO 20022 International Clearing

Federal and international regulations governing vIBAN, ACH, SWIFT, and Fedwire clearings specify that receiving financial institutions may rely on numeric account identifiers in entry records to post multi-currency transactions smoothly.

Clearing Standard: 31 CFR Part 210 / ISO 20022 / SWIFT
FBO Master Titled: MLITR Research LLC (Uniform Banking Interface).

ECCLESIA LAW — Trading style of MLITR Research LLC, Wyoming, USA. Operates exclusively under Attorney-in-Fact mandates granted through private powers of attorney (W.S. § 3-9-101).