Skip to content
Baker Capital StrategiesMARKETS. FILINGS. PERSPECTIVE.
Powered by THEMA

Baker Capital Strategies

Free Registration

Register for access to news, tools, alerts and reports.

THEMA Basic included at launch.

Use at least 8 characters.

Company research

Grayscale Avalanche Staking ETF

CIK 2035053Updated Sep 24, 2026

Name history
Grayscale Avalanche Trust (AVAX) · through Mar 6, 2026

GAVA price & chart

Provider market data

Loading TradingView…

NASDAQ:GAVA on TradingView ↗

TradingView · Data may be delayed

About the company

The Trust uses the Index Price to calculate its “NAV,” a non-GAAP metric, which is the aggregate value, expressed in U.S. dollars, of the Trust’s assets (other than U.S. dollars or other fiat currency), less the U.S. dollar value of the Trust’s expenses and other liabilities calculated in the manner set forth under “Business —Valuation of AVAX and Determination of NAV.” “NAV per Share” is calculated by dividing NAV by the number of Shares then outstanding.

S-1/A · 2026-03-06 · 0001193125-26-096950

Company description from the cited filing.

In the news

No coverage from other publishers is available.

SEC disclosures

Recent filings

  1. 10-Q filing

    10-Q · 2026-08-07 · 0002035053-26-000023

  2. 424B3 filing

    424B3 · 2026-08-07 · 0001193125-26-339284

  3. POS EX filing

    POS EX · 2026-08-07 · 0001193125-26-339278

  4. Entry into a Material Definitive Agreement

    Items 1.01, 9.01

    8-K · 2026-08-07 · 0001193125-26-339264

  5. 144 filing

    144 · 2026-08-06 · 0001977454-26-000244

Show 5 more recent filings
  1. 144 filing

    144 · 2026-08-03 · 0001977454-26-000208

  2. 144 filing

    144 · 2026-07-31 · 0001977454-26-000196

  3. 144 filing

    144 · 2026-07-30 · 0001977454-26-000183

  4. 424B3 filing

    424B3 · 2026-07-17 · 0002035053-26-000017

  5. Other Events

    Items 8.01, 9.01

    8-K · 2026-07-17 · 0002035053-26-000016

Offerings

Registration 333-289829

S-1/A · 2026-03-06 · 0001193125-26-096950

Terms from the governing filing for this registration; not a claim that the offering is open today.

Filing attachments

ck0002035053-ex4_1.htm · 8-K · 2026-08-07

EX-4.1 2 ck0002035053-ex4_1.htm EX-4.1 EX-4.1 Exhibit 4.1 AMENDMENT NO. 2 TO THE SECOND AMENDED AND RESTATED DECLARATION OF TRUST AND TRUST AGREEMENT This AMENDMENT NO. 2 (THE “AMENDMENT”) TO THE SECOND AMENDED AND RESTATED DECLARATION OF TRUST AND TRUST AGREEMENT of GRAYSCALE AVALANCHE STAKING ETF is made and entered into as of the 6th day of August, 2026, by and among GRAYSCALE INVESTMENTS SPONSORS, LLC, a Delaware limited liability company, CSC DELAWARE TRUST COMPANY, a Delaware corpor

8-K · 2026-08-07 · 0001193125-26-339264

Read attachment ↗
ck0002035053-ex4_1.htm · 8-K · 2026-07-17

EX-4.1 2 ck0002035053-ex4_1.htm EX-4.1 EX-4.1 Exhibit 4.1 AMENDMENT NO. 2 TO THE SECOND AMENDED AND RESTATED DECLARATION OF TRUST AND TRUST AGREEMENT This AMENDMENT NO. 2 (THE “AMENDMENT”) TO THE SECOND AMENDED AND RESTATED DECLARATION OF TRUST AND TRUST AGREEMENT of GRAYSCALE AVALANCHE STAKING ETF is made and entered into as of the [ ] day of [ ], 2026, by and among GRAYSCALE INVESTMENTS SPONSORS, LLC, a Delaware limited liability company, CSC DELAWARE TRUST COMPANY, a Delaware corporati

8-K · 2026-07-17 · 0002035053-26-000016

Read attachment ↗
ck0002035053-ex99_1.htm · 8-K · 2026-07-17

EX-99.1 3 ck0002035053-ex99_1.htm EX-99.1 EX-99.1 Exhibit 99.1 Material U.S. Federal Income Tax Consequences The following discussion addresses the material U.S. federal income tax consequences of the ownership of Shares. This discussion does not describe all of the tax consequences that may be relevant to a beneficial owner of Shares in light of the beneficial owner’s particular circumstances, including tax consequences applicable to beneficial owners subject to special rules, such as:

8-K · 2026-07-17 · 0002035053-26-000016

Read attachment ↗
ck0002035053-ex99_2.htm · 8-K · 2026-07-17

EX-99.2 4 ck0002035053-ex99_2.htm EX-99.2 EX-99.2 Exhibit 99.2 The treatment of the Trust for U.S. federal income tax purposes is uncertain. The Sponsor intends to take the position that the Trust is properly treated as a grantor trust for U.S. federal income tax purposes. Assuming that the Trust is a grantor trust, the Trust will not be subject to U.S. federal income tax. Rather, if the Trust is a grantor trust, each beneficial owner of Shares will be treated as directly owning its pro r

8-K · 2026-07-17 · 0002035053-26-000016

Read attachment ↗