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Speech
Governor Randall S. Kroszner

At the 2007 Payments Conference Competitive Forces Shaping the Payments Environment:
What's Next?, Federal Reserve Bank of Chicago, Chicago, Illinois
May 10, 2007

The Future of Payments: Challenges and Opportunities
I am pleased to have the opportunity to speak at this conference on competitive forces shaping the
payments environment.1 Spurred by a period of rapid innovation, we are at a crucial juncture in the
evolution of the U.S. payments system. The long-predicted decline of the paper check is
materializing as consumers and businesses continue to embrace alternative ways of making and
clearing payments. A 2004 Federal Reserve study of retail payments revealed that electronic
payments have now surpassed the use of checks as the preferred means of making noncash
payments.2 The use of debit cards has grown strongly, and the number of checks being converted
into ACH payments has grown to nearly 3 billion annually. Electronic check clearing has begun to
grow exponentially in response to changes in check law.
As a consequence of the accelerating pace of change, we participants in the payments system cannot
help but challenge our fundamental assumptions about payment operations, which were based on
long-standing processes for clearing paper. And adjustments are being made. The Federal Reserve
Banks, for example, have cut the number of offices at which they process checks in half since 2003,
and more consolidations are planned for later this year. Check transportation networks, particularly
air transportation networks, are also beginning to shrink.
Our conference organizers are to be applauded for bringing together industry participants,
regulators, and academics at this crucial juncture to consider "what’s next" for the payments
system. After briefly describing the evolution of the payments system, I will discuss how recent
regulatory changes and technological innovation have interacted to affect the payments system--that
is, how regulatory changes have affected the use of technology in the payments system and how
technological innovations have affected how the payments system is regulated. I will then discuss
some key characteristics of successful payments innovations and highlight some challenges and
tradeoffs, such as the tradeoff between convenience and security, that need to be considered as the
payments system continues to evolve. Finally, I will discuss the future of electronic check clearing
and the important and complementary roles the Federal Reserve and the private sector will need to
play in the continued evolution of the payments system.
Evolution in the Structure of the Payments System
The different forces now shaping the evolution of the payments system have been gathering for
decades. From a legal and regulatory perspective, a series of fundamental changes in U.S. banking
laws, especially the laws governing interstate banking, have facilitated a long-term consolidation of
banking across geographic boundaries in this country.3 Banking consolidation, in turn, has fostered
the ongoing consolidation of payments infrastructure both within banks and among the
clearinghouses, networks, and other financial utilities that serve the banking industry. From a
technological perspective, decades of investment by the financial industry, businesses, and more
recently households have broadened and deepened the infrastructure for supplying and accessing
electronic payments. Payment cards and other access devices have proliferated, and the demand for
electronic payments has grown apace. As a result, the use of electronic payments has doubled over
the first half of this decade.

From a historical perspective, it is clear that the Federal Reserve has an important role to play in the
evolution of the payments system. Indeed, the Federal Reserve was founded, in part, to address
significant problems in the payments system, such as nonpar check collection and financial stability
issues that existed in the nineteenth and early twentieth centuries.
Regulation and Technology
Turning now to regulation and technology, technological change can create the need for regulatory
change. And regulatory change can stimulate new applications of technology that foster greater
efficiency and growth. At times, there is a complex interplay between changing technology and
regulation. In the payments arena, regulators and rulemakers need to be aware of how technology is
changing the industry and, when appropriate, remove artificial barriers to innovation.
Let me highlight several important examples of recent adjustments to rules and regulations that have
changed the way payments are initiated and processed. Beginning in the late 1990s, the National
Automated Clearing House Association (NACHA) changed its rules to permit the so-called
conversion of checks to electronic fund transfers via the ACH system; subsequently, the Board
modified its staff commentary to clarify the application of Regulation E to these transactions.4
Today, businesses can use the information on eligible checks they receive over the counter and at
lockbox locations to create ACH debit transactions. Partly as a result of the private sector’s
expanding use of check conversion, the total volume of checks collected by Federal Reserve Banks
has in recent years fallen faster than the estimated decline in the number of checks being written.
In 2003, Congress passed the Check Clearing for the 21st Century Act (Check 21).5 Broadly
speaking, Check 21 was designed to foster market-based improvements in the check collection and
return system, mainly by authorizing--but not requiring--banks to truncate or stop the flow of
original paper checks and to create legally equivalent substitute checks for presentment to the
paying bank.6
In 2004, the Board published regulatory changes to implement Check 21. The legal and regulatory
changes associated with Check 21 are encouraging the banking industry to use new technologies to
create and process digital images of checks and to print substitute checks only when necessary to
meet legal presentment or customer requirements. In a recent report to Congress on Check 21, the
Board noted that the adoption of new clearing techniques was slow at first but has accelerated
significantly in the past year.7 For example, between March 2006 and January 2007, the banking
industry’s use of substitute checks increased three-fold and its use of electronic check images
increased five-fold. This pattern of adoption is consistent with early conjecture from the banking
industry that the scale and scope of required changes to individual bank technology systems and
operations would take time to implement. In addition, Check 21 has started to alleviate the check
system’s dependence on large-scale air transportation to move checks around the country, a
vulnerability that was highlighted when planes were grounded following the events of September
11.
To address a barrier to the use of electronic payments, the Federal Reserve has recently proposed
modifications to Regulation E that would eliminate the requirement for paper receipts on smalldollar payments.8 The Federal Reserve must, however, also be mindful of how changing payment
practices can affect risk in the payments system and take regulatory action, when appropriate. For
example, the Federal Reserve recently modified Regulation CC to reallocate the liability for
unauthorized remotely created checks among depository institutions, shifting liability to institutions
that are better positioned to understand and mitigate those risks.9
Clearly, both regulators and the private sector have a role to play in the continuing evolution of the
payments system. Regulators must continue to evaluate and adjust their rules in light of new
realities in the marketplace. At the same time, the private sector must put forward sound and
prudent innovations that address the needs of the marketplace, including the need to control risk.
Characteristics of Successful Innovation

Our conference organizers have challenged us to think about "what’s next." One tool to help
understand the future is to analyze why certain innovations have been successful in the past.
Infrastructure changes have been one source of successful innovation. Much of the innovation in
the early days of electronic payments involved building new electronic processing systems for ACH
and card systems, and then gradually expanding electronic access to these core systems. The goal of
these infrastructure changes was typically to speed up payments and reduce the societal costs of
dependence on paper.
Following the implementation of Check 21, the banking industry and the Reserve Banks are again
making major infrastructure changes. The expansion of access to this infrastructure and the
development of tools for using it may well follow the path of earlier innovation and foster additional
change over the next few years. Experience in the late 1990s, however, gives us reason for caution.
At that time, there were attempts to introduce whole new payments systems for card and Internet
payments. A few of these attempts succeeded, but most failed. Thus, the introduction of new
technology alone is not sufficient for successful innovation; innovations must also meet important
market demands.
A key characteristic of successful innovation is that it generally reduces cost or increases the
convenience of making one or more types of payments. Examples include the introduction of ATM
transactions many years ago, as well as new methods for making payments over the Internet. Both
of these examples highlight the importance payment system end-users place on the convenience of
making their payments, specifically the time and location of their transactions. In the case of
ATMs, banking customers shifted their payment activity from inside a bank branch to a more
convenient time and location. ATMs also provided banks with a lower-cost way to serve their
customers. In the case of Internet and telephone payments, the use of credit cards, new person-toperson systems, and new ACH payment types allowed payments to be made more rapidly at any
time of the day, even when the parties to the transaction were thousands of miles apart.
The information linked to a payment has also emerged as an important component of end-users’
demand for payment innovations. This point challenges us to think of payments as more than
simple instructions to debit and credit bank accounts when we attempt to predict the needs of
consumers and businesses for innovative payment products.
In business-to-business remittance payments, for example, firms need to link traditional payment
information to information about the bills being paid in order to post and reconcile their accounts.
Over the years, businesses have made significant investments to automate their internal accounting
processes for check payments. As a result, checks are still very heavily used for corporate
remittances. After years of industry discussion, it is now clear that linking billing information to
electronic payment instructions is a key to the greater automation of business payments.10
Payments system operators, banks, and businesses must continue to cooperate on standards and
encourage the necessary software changes to enable the broad-based automation of business
payments. This is no simple task, as there are competing standards both domestically and
internationally. Nonetheless, business users of the payments system continue to call for change, and
we all need to press forward on this issue.
Challenges to Innovation
Although improving convenience has been an important force behind successful innovation,
consumers and businesses have increasingly demanded greater security in their electronic payments,
particularly as more information is linked to these payments. In general, there is often a basic
tradeoff between security and convenience: the easier a system is to use and access, the less secure
it tends to be. Striking the appropriate balance between convenience and security is a key
challenge. How can we manage fraud and operational risks, along with credit and other risks,
without unduly interfering with the ease of using a particular system? As I noted earlier,
technological change can help stimulate successful innovations and make it more convenient for
businesses and consumers to make and receive payments and link information to those payments.
But technological change can also generate new methods of perpetrating fraud and disrupting
payments systems--and thus require us to develop new responses to these challenges and risks.

Check fraud has long been an important issue for the banking system and has been increasing
recently, as described in the Board’s Check 21 report. In the electronic sphere, card systems have
also had to deal with fraud since their inception. Naturally, cost-benefit calculations guide the pace
of innovation to address fraud. These costs typically include technology and labor costs, as well as
the time and other requirements needed to authenticate and authorize transactions. Benefits
typically include the monetary losses, customer problems, and legal costs that are avoided.
Important but more difficult-to-quantify benefits include the avoidance of reputational damage to
payments system participants, as well as sustained public confidence in the payments system. In the
context of this cost-benefit framework, we can anticipate that when the costs of prevention fall or
fraud begins to increase, banks, businesses, and consumers, will react by implementing or
demanding changes in policies, business processes, and technology to address risk. This dynamic
balancing process is part of the ongoing development of the payments system.
In the past, the banking industry has taken steps to address its own security concerns, as well as
those of its customers. The experience with card systems and the ACH are instructive. In the
1970s, major credit card companies began to deploy electronic authorization systems for
transactions. This step was strongly influenced by the desire of banks and merchants to control
fraud. The more recent development of intelligent detection systems represents yet a further step in
combating fraud. Other new technologies are beginning to be deployed, such as cards that have
computer chips, to further reduce fraud and to introduce new services to the market.
In the ACH system, the original risk design relied heavily on trusted, long-term relationships among
known counterparties. Key participants were supervised depository institutions that originated and
received the electronic payments. The primary types of commercial payments were electronic
payroll deposits and recurring payments for utility bills. Fraud concerns did not justify establishing
centralized controls at the system level. The risk model, however, has been changing as parties have
begun to use the ACH to make one-time payments over the telephone and Internet, payments that
are not necessarily based on long-term, trusted relationships. As the ACH network has grown and
become more complex, layers of nonbank service providers may now be involved in originating
certain types of payments, which further attenuates the trust relationships on which the network was
founded.
To address these emerging risks, ACH operators and NACHA have been working cooperatively
with the industry to control new occurrences and types of fraud and other closely related risks.
ACH operators are now providing their customers with innovative risk-management services, and
NACHA has initiated a risk-monitoring program to better identify problems. NACHA is also
developing programs to better monitor and control the ACH originations of depository institution
customers. While the ultimate success of these efforts cannot yet be assessed, they represent
important steps in the right direction. As the banking industry develops new payments solutions, it
must be proactive in balancing convenience and risks, as well as cost, to ensure continued customer
confidence in the payments system.
The Future of Electronic Check Clearing
Perhaps the greatest current opportunity in the retail payments system is for the banking industry to
move rapidly to the electronic clearing of checks. As envisioned by Congress, Check 21 has created
a strategic vision for moving the U.S. check clearing system into the new century. The historic
infrastructure for paper check clearing is consolidating rapidly. Banks are changing their internal
systems so they can accept deposits and collect checks electronically and are increasingly accepting
their check presentments electronically. Bank technology vendors are playing an important role in
facilitating change. And the Reserve Banks are working to implement the vision of Check 21, both
by enhancing their electronic check infrastructure and by working closely with other payments
system operators and the industry.
In this environment of changing rules, infrastructure, and, yes, costs, it is imperative for banks and
their customers to look closely at their own payment policies, operations, and technologies. Banks
will need to develop broad and thoughtful payment strategies to navigate the changing environment
and work constructively within the industry. Inevitably, banks will also need to change their

operations.
The Role of the Federal Reserve
The Federal Reserve will continue to play an important role in fostering a smoothly functioning
payments system that is safe, efficient, and accessible. We also need to be flexible in carrying out
our traditional payments system functions--provider of payment services, regulator, and catalyst for
change--in the rapidly changing payments landscape.
Since its inception, the Federal Reserve’s broad role in the payments system has been to improve
efficiency and foster financial stability. When the Federal Reserve was formed almost one hundred
years ago, the U.S. banking system was highly fragmented and checks were not cleared at par. To
address this situation, the Federal Reserve began providing a national check-clearing service to
banks that joined the Federal Reserve System. This service and other Federal Reserve policies
helped guide the nation toward a more unified payments system.
In its role as service provider, the Federal Reserve will continue to promote the efficiency and
stability of the nation’s payments system. The Reserve Banks are now pricing their check services
to encourage greater use of electronic check clearing. The Reserve Banks are also leaders in
providing Check 21 services that encourage depository institutions to shift to a greater use of
electronics in check processing and are working collaboratively with the industry on electronic
check standards and other technical issues. Most importantly, the Reserve Banks will continue to
compete as payment services providers on a fair and equitable basis by pricing their services to
recover their costs, including imputed profits and taxes, over the long run, as required by the
Monetary Control Act of 1980.
In its role as a regulator, the Federal Reserve will need to be alert to the application of regulations in
changing circumstances. As I have already noted, the Federal Reserve has, in recent years, modified
its regulations to facilitate the greater use of electronics in the payments system and to address
emerging risks. When considering potential regulatory changes, the Federal Reserve must also
ensure that any proposed changes are consistent with the changing technological environment and
adequately protect consumers.
Finally, in its role as a catalyst for change, the Federal Reserve continues to work with the private
sector to identify and, when appropriate, address barriers to payments system innovation. This past
March, I participated in a roundtable in Minneapolis on retail payments fraud that was sponsored by
the Payments System Policy Advisory Committee. The roundtable promoted dialogue on key fraud
issues with a wide range of participants in the retail payments systems. It is our objective to
continue to sponsor different types of forums over time as an important part of our public outreach
activities. We believe that through its payments system roles, the Federal Reserve is well positioned
to encourage both future payments system evolution and the appropriate balancing of efficiency and
risk as new products and services are developed.
Conclusion
We are living in a period of rapid innovation and transition in the payments system. Powerful
forces have been converging to reshape the retail payments system. Yet the United States continues
to enjoy safe, efficient, and reliable systems for making payments. As innovations occur, market
forces will ultimately sort out which of these will best serve the needs of consumers and businesses.
Both the private and public sectors have contributed to the evolution of the national payment
system of the United States; clearly, both will have an important role to play in the future. As we
ask each other "what’s next" during this time of transition, I believe that dialogue among payments
system participants and users is critically important. Information and different points of view will
help us all identify and address issues of innovation, risk, and efficiency in a balanced and
thoughtful manner. This conference is a welcome and constructive element in this important
dialogue.

Footnotes
1. Helena L. Tenenholtz, Jeffrey S. H. Yeganeh, Jack K.Walton II, and Jeffrey C. Marquardt of the
Board’s Division of Reserve Bank Operations and Payments Systems contributed to this speech.
Return to text
2. See Gerdes, Geoffrey R., Jack K. Walton II, May X. Liu, and Darrel W. Parke, "Trends in the Use
of Payment Instruments in the United States," Federal Reserve Bulletin, Spring 2005, pp. 180-201.
(http://www.federalreserve.gov/pubs/bulletin/2005/spring05_payment.pdf) Return to text
3. See, for example, Kroszner, Randall S., "The Effect of Removing Geographic Restrictions on
Banking in the United States: Lessons for Europe." Conference on the Future of Financial
Regulation, London School of Economics, April 6, 2006. See also Kroszner, Randall S., "What
Drives Deregulation? Economics and Politics of the Relaxation of Bank Branching Restrictions,"
Quarterly Journal of Economics, November 1999, pp. 1437-67, with Philip Strahan. Return to text
4. The term "conversion" generally refers to "check-to-ACH conversion," in which data from a
check is used to create an electronic funds transfer that is cleared and settled over the ACH
network. Such transactions include accounts receivable (ARC), point-of-purchase (POP), and backoffice conversion (BOC) transactions. Return to text
5. Check 21 became effective in October 2004. Return to text
6. Before Check 21, banks were required to present the original paper check to the paying bank
unless the paying bank had agreed to accept presentment of the check electronically. Return to text
7. See Board of Governors of the Federal Reserve System, Report to the Congress on the Check
Clearing for the 21st Century Act of 2003, April 2007.
http://www.federalreserve.gov/boarddocs/rptcongress/check21/check21.pdf Return to text
8. See 71 FR 69500 (72 KB PDF) (December 1, 2006). Return to text
9. See 70 FR 71218 (84 KB PDF) (November 28, 2005). Return to text
10. The Clearing House and FRB Financial Services, "Business-to-Business Wire Transfer
Payments: Customer Preferences and Opportunities for Financial Institutions," (October 2006).
http://www.frbservices.org/Wholesale/pdf/wire_transfer_research.pdf
"A Summary of the Roundtable Discussion on the Role of Wire Transfers in Making Low-value
Payments," Federal Reserve Bank of New York (May 2006).
http://www.federalreserve.gov/paymentsystems/lowvaluepay/default.htm Return to text
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