Title: Payments in the Americas: Comparing Experiences: PEACH
1Payments in the Americas Comparing Experiences
PE-ACH Norbert Bielefeld Deputy
Director Atlanta 8 Oct. 2004
2Foreword
- Purpose of Panel 2
- focus on the experiences of building
cross-border exchanges in Asia and Europe, with
particular emphasis on their lessons for the
Americas. - Europe
- The experience goes beyond remittances , and
is broader and deeper than PE-ACH
3Agenda
- A vision
- Defining SEPA
- How it is being built
- Baseline
- Dimensions, constraints
- Interim status
- Lessons for the Americas
- Remittances, more specifically
4Imagine
- A geographical area
- where any customer could step onto any plane,
paying the same price, getting the same service,
regardless of the destination, - Or make and receive any phone call, regardless
of the distance, with the same convenience, and
at the same price, - Or
- make and receive any payment with the same
convenience, and at the same price
5For payments
- Such an area will exist by 2010 at the latest
- In the Single Euro Payments Area (SEPA)
- Customers will be able to make and receive
retail and commercial payments in euro with the
same level of security, ease and convenience,
than they do in their hometown - Note precise perimeter of SEPA is function
of payment instrument considered (credit
transfer, direct debit, cards, cash) - Can be eurozone, EU, EU EEA, CH
6 How banks build SEPA
- A phased programme,
- First to deliver pan-European instruments and
schemes, - To be subsequently adopted by national systems,
- At a pace determined by communities and supported
by regulators, - This reflects customer demand rather than a pure
push approach - EPC (European Payments Council) schemes to be
attractive to operators, other market actors and
their communities market forces dictate the
evolving landscape
7The banks focus
- Continuation of plans to establish a genuine
euro-cash area - During next 2 years, formulation of 3
pan-European schemes (rule books with data
formats, rules, liabilities,) for pan-European - Credit transfers
- Direct debits
- Debit and credit cards
- For voluntary adoption by market operators, and
migration of national solution as decided by
national communities, and required by customers - Delivery 2008 - 2010
8The baseline
Retail payment transactions in the EU 25 (2002
data) Euro non-Euro Year 2002
(millions) EU12 EU13 EU25 Population
308 147 455 Credit Transfers 12.517
4.198 16.715 Direct Debits 10.200
2.833 13.033 57.8 Cheques 5.919 2.477
8.396 Debitcards 9.423 4.398 13.821 Credit
cards 2.045 2.184
4.229 E-money 285 11
296 42.2 ATM 6.147 3.301
9.448 Total 46.536 19.402 65.938 Payment
market-share 70.6 29.4 100
9is complex
10very complex
11And Cross-Border 1,2 (EU15, 2001)
12 Dimensions, constraints
- Multi-payment instrument approach credit
transfers, direct debits, debit/credit cards - Highly efficient, existing non-cash payment
systems - cross-border solutions in operation for over
15 years - Any new solution to be full STP, end-to-end from
the beginning - Profound re-engineering of payment systems to
ensue - Standardization (different levels) significant
work item - Technology is not a barrier
- There is no obvious business case!
13E.g. current structure for cards
Proceeds
- Emerging M-V, TV commerce
Country 1
International Switch
Country 2
International Switch
Country 3
14Cards medium term structure
Proceeds
Country 1
Country 2
Country 3
15Credit transfers PE-ACH framework
-owner /or user -direct participant
settlement bank
BANKs L,M,N
BANK I
ACH
Tech. Facilitators
BANKs O,P,Q
NCB
-non-settlement banks -direct participants
-settlement bank -direct participant -user
PE-ACH
BANK A
- -settlement bank
- -direct participant
- -owner
- -user
BANK C
-settlement bank -direct participant -owner -user
BANK B or F.I. Grouping (with banking licence)
BANK D
BANK E
16Credit transfers going forward Concentric
Model
17An essential component
- Pan-European settlement systems
- TARGET1 interlinking of national RTGS systems
- EBA Euro1 Lamfalussy-compliant net settlement
system (settling in TARGET) - General Functional Specifications of TARGET2
debated and agreed (although this goes beyond
retail and commercial payments) - Planned deployment of TARGET2 as Single Shared
Platform 2007
18Interim status
- Conventions for basic credit transfers (Credeuro)
and their interbank handling (ICP) implemented,
architecture for clearing defined (PE-ACH), 1st
operator active (STEP2) - Cards conditions for SEPA- wide issuing and
acquiring,and dissociation of branding and
processing, spelled out. Under implementation
with schemes - Significant work underway in Card Fraud
Prevention - A high level description of a pan European Direct
Debit agreed - Conditions for re-engineering of cash handling
and distribution spelled out
19Lessons for the Americas?
- (this is a quote from the programme!)
- What is comparable, and less so
- Scope, approach priority to self-regulation?
- Going forward need for catalyst, dialogue
20What is comparable, and less so
- Multi-country requirement
- Multi-currency
- Heterogeneous payment systems
- Political, society-level vision, ambition?
- Multi-country implementation legislative,
regulatory, self-regulatory capabilities? - Multi-payment instrument?
- End-to-end, full STP initiation and delivery?
- Cohabitation, or migration of national schemes?
21Scope, approach
- Pre-condition remove any ambiguity about scope,
objectives - Who are the drivers? Who are the stakeholders?
- Originators and beneficiaries should be equal
partners - Identifying and removing obstacles
- Making the most of existing systems
- Technology an enabler, yet not a constraint
22Going forward
- Public , private what balance?
- Regulation can have perverse effects lessons
from Regulation 2560/2001 - There are business cases and business cases
- Structured dialogue a necessity
23Remittances key hurdles
- For customers
- Access to market information
- Access to banking services
- Access to transaction information
- Access to redress procedures
- The macro-economic questions
- Untapped lever for economic development
- Potential feeder for criminal activities
- Unrecognized opportunity for social integration
24Remittances challenging regulators
- Should the remittance business be regulated?
- Who should bear that burden (related costs)?
- What balance of public and private initiatives to
enhance conditions in the market? - How to foster competition, motivate financial
institutions to play a more active role? - Should public intervention foster the
infrastructure? - How to move away from cash (without putting the
burden on remitters and their recipients)? - How to move beyond remittances?
25The WSBI action plan in remittances
- Contributing to formulation and implementation of
policy overseeing market structure evolution and
monitoring performance, enhancing the legal and
regulatory framework, setting standards and
defining infrastructure, encouraging and
facilitating - Motivating players working closely with Members
to identify and qualify opportunities, creating
partnerships, setting best practice - Delivering the value establishing a SLA
framework as the benchmark, facilitating redress
and dispute resolution, developing a toolkit for
Members
26For further information www.savings-banks.com
e-mail info_at_savings-banks.com