Title: Developments in the European Payment Landscape
1Developments in the European Payment Landscape
- BAFT Conference
- Singapore March 2007
Marcus Sehr
2Some say
- European payment landscape is still fragmented
- and will remain complex
- and its all about IBAN
- The EURO success story is impressive
- Trade between Asia and Europe is steadily growing
- There are (too) many parties involved
- There are (too) many payment projects going on
3Some say
- European payment landscape is still fragmented
- and will remain complex
- and its all about IBAN
- The EURO success story is impressive
- Trade between Asia and Europe is steadily growing
- There are (too) many players
- There are (too) many payment projects going on
4Involved and interested parties in respect to
Payments
5Some saythere are (too) many projects ongoing
PSD
SEPA
FATF SR VII
TARGET2
IBAN Usage EPC Regulation
EC 2560/2001
(Selected examples)
6many projects but different focus and
importance
PSD
SEPA
FATF SR VII
TARGET2
IBAN Usage EPC Regulation
EC 2560/2001
Asian Banks
EU Banks
7SEPA demystifying a buzzword
Intra EU/EEA tomorrow
Intra EU/EEA today
8 migration from national preferences to SEPA
formats
Status quo Diversity Non-cash payments in the
EU(bn transactions, 2004)
The future SEPA schemes
- SEPA credit transfer
- SEPA direct debit
- SEPA card framework
- domestic schemes the exception
Customers will increasingly be able and willing
to use foreign payment services providers
Sources ECB, DB Research
9Number of payment providers will decrease
- Status quo
- Large number of payment services providers
- catering for domestic customers
- and for domestic payments transactions (gt 95
of all transactions) - will give way to ...
- Small number of payment service providers and
clearing systems - outsourcing by other banks
- and more SEPA payments
Number of payment service providers 2004
Source ECB DB Research
10driven by the logic of (payment) markets
High investments
Commoditization
Economies of scale
Client
Sales/ Service
Distribution Bank
Clearing Services SEPA
Distribution- and Transaction- bank
Client
Sales/ Service
Product Management
Processing
Clearing
EU Commission 02/ 06 ..All Payment Service
Provider have to define their position and to
develop new Business models.
11EPC Resolution on IBAN and BIC
- IBAN became popular with the EU regulation
2560/2001 - European Payments Council (EPC) resolution
- Interim measures in advance of a future SEPA
Electronic Credit Transfer scheme - For intra EU/EEA Payments
- Major impact on the repair charging behavior of
European Banks - Often cited but also misinterpreted - purpose or
lack of knowledge ?
UK Bank in accordance with Regulation
2560/2001EC of the European Payments Council.
UK Bank ALL COMMERCIAL (MT103) WILL ATTRACT AN
ADDITIONALFEE OF EUR 10.00 ....
Italian Bank will reserve itself the right to
reject .. instructions from Banks whose policy
will be not to settle the related claims of
charges
12EPC Resolution on IBAN and BIC IBAN Usage
- IBAN is not required BIC should be preferred
MT 202
1
- IBAN in F59 mandatory
- However, processing without IBAN as Value
Added Service possible - Potential threat of
rejects by some banks
MT103 EuroSender EU/EEA Bank F57 EU/EEA Bank
2
- Not in scope of the EPC Resolution, i.e. neither
handling as Value Added Service nor reject - IBAN in F59 recommended, but not mandatory
- Potential charging becomes business decision
MT103 EuroSender Out-EU Bank F57 EU/EEA Bank
3
MT103 Other currencySender Any Bank F57
EU/EEA Bank
4
- Not in scope of the EPC Resolution, i.e. neither
handling as Value Added Service nor reject - IBAN in F59 may be used if supported by the bank
of the beneficiary - Potential charging becomes business decision
- Not in scope of the EPC Resolution. IBAN is not
used unless the bank of the beneficiary use
the IBAN standard gt unlikely for e.g. US banks - Some originator banks still insist wrongly on
IBAN although the IBAN does not exist. Any use
of Nostro IBANs instead is not recommended as it
may lead to rejects/returns, delays, reporting
reconciliation issues
MT103 All CurrencySender Any Bank IBK EU/EEA
Bank F57 US Bank
5
13From TARGET1 to TARGET2
- 15 1 National RTGS Systems
- Domestic Cross-Border Traffic
- Interlinked Not Integrated
From TARGET1 To TARGET2
- Single Shared Platform
- Complete Retirement of national RTGS systems
14its also about access to Central Bank Money
15TARGET2 Migration Groups and Timeframe
) Bank of England decided to exit.
16EU Regulation1781/2006 (FATF SR VII)
- EU Regulation to implement FATF Special
Recommendation VII, live since Jan 2007 - Ordering Banks to ensure valid and complete data
on ordering party - Intermediary Banks to ensure full delivery of
ordering party details - Beneficiary Banks to ask Ordering Bank for
ordering party details if not provided by the
ordering bank sufficiently - Requirements on Ordering Party details differs
for intra EU payments and payments from/to
non-EU-countries - Impact for banks from the Asia Pacific region
- Scope includes all payments to EU (EUR and CCY)
- Investigation fees expected from beneficiary
banks if ordering party details are incomplete - FATF and SWIFT field 50f
- Part of the SWIFT release 2007 (October)
- New structured option to fill the ordering party
field in a SWIFT message - Should be the best solution to fulfill FATF SR
VII requirements on ordering party information - Might become an STP criterion in medium term (in
the same way like A-format is for bank parties)
17Conclusion
- Imperative for European Banks to focus on EU
domestic topics - Candidness for smart solutions
- Low investment appetite for International
Payments - Increased desire to establish side charges
- Only prepared and committed providers are not
captured in that vicious circle - Pressure for low volume providers to exit
business before next Investment cycle
PSD
SEPA
FATF SR VII
TARGET2
IBAN
Usage
EC 2560/2001
Asian Banks
EU Banks
Driven by the logic of markets Consolidation of
Service Provider
18Developments in the European Payment Landscape
- BAFT Conference
- Singapore March 2007
Marcus Sehr
19Backup
20EPC Resolution on IBAN and BIC - Quotes
- Commencing on 1 January 2006, IBAN and BIC will
be recognized as the only beneficiary customer
account identifier and bank routing designation
accepted by banks domiciled in EU/EEA for any
intra EU/EEA Euro cross-border customer credit
transfers exchanged between customer accounts
domiciled in the EU/EEA irrespective of the
amount of such credit transfers. - To allow for the complete adaptation of the
market to these rules, there will be a transition
period to the end of 2006 during which banks will
handle credit transfers where the beneficiary
customer account is identified in a different way
than by IBAN on an exceptional basis, as a value
added service. - Following the transition period referred to
above, banks sending euro intra-EU/EEA cross
border customer credit transfers will exclusively
use IBAN and BIC as beneficiarys account
identifier and bank routing designation. Banks
receiving euro intra-EU/EEA cross border customer
credit transfers with other identification are
entitled to reject or return them as a matter of
normal practice. The latter does not apply to
banks receiving such payments through their
national clearing system.