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U.S. DEPARTMENT OF THE TREASURY
Remarks by Assistant Secretary for Financial Institutions Graham
Steele on the Digitization of Financial Services at the Transform
Payments USA 2023 Conference
June 13, 2023

AUSTIN, TX - Today, Assistant Secretary for Financial Institutions Graham Steele delivered remarks
at the Transform Payments USA conference in Austin, Texas on the digitization of financial
services.

As Prepared for Delivery
Good morning,
Thank you for having me. I am Graham Steele, Assistant Secretary for Financial Institutions at the
Treasury Department, and it is a privilege to be here with you today.
As the Assistant Secretary for Financial Institutions, I am responsible for the Treasury’s policy views
on matters affecting banks, credit unions, insurance, consumer protection, access to capital, and
financial sector cybersecurity.
The discussions at Transform Payments USA reflect the larger, decades-long trend of the
digitization of financial services. Over the past 30 years, we went from less than 1% of the world’s
population having access to the internet in the 1990s to over 60% of world being internet users
today.[1] This digital expansion has brought about an era of incredible opportunities and novel
risks in financial services, sparked by advancements in computing power and connectivity. We
have found ourselves in an age of rapid change and development, and there are a number of
significant developments that I will highlight today. These include the forthcoming launch of
FedNow, continued exploration of Central Bank Digital Currencies (CBDCs), and the evolution of
Open Banking. All of these efforts have the potential for profound, far-reaching impacts on
consumer privacy, financial inclusion, fraud prevention, and the changing roles of firms within the
financial system. The offices I oversee at Treasury are at the vanguard of these cross-cutting policy
issues.

FEDNOW

I’ll begin with FedNow, the Federal Reserve's highly anticipated service for faster payments. This
24x7x365 service will provide U.S. depository institutions, as well as U.S. branches of foreign
banks, with the ability to send and receive interbank payments instantly. It marks a pivotal shift in
our public payments infrastructure, fundamentally altering the payment settlement structure by
facilitating direct, real-time gross settlements (RTGS) for interbank payments. This means that
transactions can be settled nearly instantly, foregoing deferred net settlement. Further, the
introduction of FedNow adds another crucial element to the payments landscape by creating a
second operator alongside the existing private sector Real-Time Payments (RTP) network operated
by The Clearing House. Having multiple payment operators promotes choice and competition in
payments, driving innovation and encouraging the development of new payment services and
features. It can also enhance resiliency in the payments system by providing redundancy that
helps ensure that disruptions or outages in one operator do not completely halt the flow of
transactions.
In thinking about the rollout of FedNow and its potential impacts, it is worth examining
international developments to consider what we can learn from the experiences of other
countries. The United Kingdom's Faster Payments Service (FPS) is one example of the feasibility
and benefits of faster payment systems. Launched in 2008, this service operates around the clock,
enabling secure and near real-time transfers of funds between accounts at different institutions. In
2022 alone, the Faster Payments Service processed over 3.9 billion payments with a total value
exceeding £3.2 trillion, showcasing its scale and robustness.[2] The success of the UK's FPS
signaled the transformative potential of faster payment systems in improving transaction
capabilities with speed, efficiency, and inclusivity. As highlighted in Treasury’s recent report on the
Future of Money and Payments, international experience suggests that broadening the range of
institutions that are eligible to participate in instant payment systems—for certain limited
purposes and subject to appropriate guardrails—could help to enhance speed and efficiency,
competition, and inclusion in payments, including for cross-border payments.[3]
At the same time, we must keep in mind that faster payments also require responsive riskmanagement, error identification, and fraud response. With the ability to move money
instantaneously between accounts, we face potential fraud scenarios that are more complex and
intricate than in traditional deferred settlement payment systems. To mitigate this, we need to
consider how we can harness technology and policy to help mitigate risks. Some have suggested
an approach that could include tools like advanced cryptographic methods, multi-factor
authentication, programmatic anomaly detection, as well as prudent operating and governance
procedures with safeguards like transactional limits. A thoughtful and comprehensive approach

will be crucial in maintaining trust in the payments system, and ultimately, helping to ensure its
success.
It is worth noting that FedNow has adopted ISO 20022 (ISO twenty ou two two), the global
messaging standard for modern payments. ISO 20022s remittance data standard accommodates
transmission of an extended amount of data, allowing for richer information to accompany each
transaction. This feature could be instrumental in tracking funds and identifying fraudulent activity
more efficiently.
Treasury will continue to work with the broader sector to ensure that we are keeping the instant
payments system safe and resilient for the American consumer. In December, for example,
Treasury’s Office of Cybersecurity and Critical Infrastructure Protection (OCCIP) published an
advisory to warn of holiday scams and alert consumers to emerging trends in the fraud landscape.
Treasury sees the value in encouraging the use of instant payments to support a more competitive,
efficient, and inclusive U.S. payment landscape. To that end, Treasury has signed up as an early
adopter of the FedNow payment service. While the vast majority of government payments are
regular, predictable, and scheduled, we are piloting the usage of FedNow for payments where
speed is particularly important.

CBDC, PRIVACY, AND FINANCIAL INCLUSION
Many jurisdictions around the globe are also exploring Central Bank Digital Currencies (CBDCs) as
an option for upgrading money and payments infrastructure. To be clear, the United States has not
yet determined whether it will pursue a CBDC. To complement the ongoing work being
undertaken by the Federal Reserve, Treasury is leading an interagency working group to provide a
broader Administration perspective for considering the implications of any potential U.S. CBDC.
The working group is evaluating policy objectives related to global financial leadership, national
security, and privacy, illicit finance and financial inclusion. Striking the right balance between
these priorities, and realizing potential benefits while minimizing risks, would depend on the
design of both policy and technology.
A retail CBDC, unlike central bank reserves, would be a liability of the central bank that is
accessible by the general public. A retail CBDC could contribute to a more competitive and
innovative payment system; support financial inclusion; and help preserve the face value
redemption of the currency. The extent to which a retail CBDC would promote these objectives
depends on many future design decisions, including decisions about the range of intermediaries

that would act as service providers in the CBDC ecosystem and the requirements to which those
intermediaries would be subject.
Along with potential benefits, such as promoting a more competitive payment environment and
financial inclusion, retail CBDCs could also pose risks, including runs into a retail CBDC that could
destabilize private sector lending. As we have seen in the recent episodes of banking turmoil, a
combination of technology, highly concentrated depositor base, and access to non-deposit
alternatives outside of the banking system may have changed the nature and speed of bank runs.
With the technology enabling the movement of deposits only getting faster, there could be
additional risks associated with introduction of CBDC.
An additional challenge is protecting user privacy while minimizing risks of illicit financial
transactions. Fulfilling both of these important objectives requires a careful balance in the design
of any potential retail CBDC. Privacy concerns and lack of institutional trust are already among the
most cited reasons that some individuals avoid the banking system.[4] In particular, as Treasury
has previously noted, some communities may be more privacy sensitive and have heightened
concerns about private or public entities accessing their personal information.[5] In this vein, it is
important that we consider the extent to which privacy and anonymity might be preserved and
explore the technologies and methods available, including Privacy Enhancing Technologies (PETs),
to enable such protections in the design of any potential retail CBDC. Such technologies could play
a crucial role in maintaining transactional privacy while also ensuring transparency and
traceability, thus reinforcing the trust of users in digital financial transactions.
Another important element in the design of any potential CBDC is the degree to which it possesses
offline capabilities, which could enhance resiliency and financial inclusion by allowing
transactions in areas with limited or no internet connectivity. We know that a significant number
of individuals in the United States lack access to reliable internet, and individuals who face barriers
to mainstream financial services are also more likely to lack access to certain technology services
and infrastructure.[6] It is important to consider the needs of these marginalized communities in
the design of any potential CBDC.
The CBDC working group is identifying trade-offs and possible ways of reconciling these
objectives, including looking ahead to options that could reduce the size of any trade-offs.

OPEN BANKING
Finally, let me share some thoughts on the role of consumer data sharing in our evolving financial
system. Last year, Treasury published a report assessing the impacts of new entrant non-bank

firms on competition in consumer finance markets, in response to the President’s Executive Order
on Promoting Competition in the American Economy.[7] We found, unsurprisingly, that the
banking industry has grown more concentrated over time. We also noted that there are
opportunities for all market participants to improve the accessibility and delivery of financial
products and services.
Here, again, we can look to other jurisdictions for examples of how this might play out. In Europe,
regulatory frameworks such as Revised Directive on Payment Services (PSD2) have been at the
forefront of policy development, setting standards to enable secure, consumer-permissioned data
sharing, which can expand access and promote competition.
In the United States, as we develop our regulatory policies, we should seek a balanced approach.
Consistent with the other evolving areas that I have already discussed, we should strive to
maximize the benefits and minimize the risks in any consumer data sharing framework. In the
case of Open Banking, that means fostering innovation and competition while ensuring data
security and consumer protection.
The rise of fintech firms and their reliance on consumer data has raised valid concerns over privacy
and security risks. Practices like credential-based screen-scraping, where data aggregators store
consumers' login credentials to gain unlimited access to financial data, raise concerns over privacy
and liability. Fortunately, the industry has been transitioning away from screen-scraping, with
initiatives to enable more secure data sharing methods, including tokenized API access. For
traditional depository institutions, building APIs to facilitate secure data sharing can lead to
productive collaboration with fintechs. But progress has been slow due to policy uncertainties and
competitive tensions among stakeholders in the consumer finance ecosystem.
Regulatory actions recommended in the competition report – including the recent finalization of
the banking regulators’ third-party risk management guidance and continued progress on the
CFPB's Section 1033 rulemaking – can provide additional clarity and security in the data sharing
landscape. Recently, the CFPB convened a Small Business Review Panel to examine the impact of
the Bureau’s proposals regarding consumers’ personal financial data rights. While the CFPB is still
in the rulemaking process, this is a positive step towards defining the rules and responsibilities for
data providers, and Treasury commends the CFPB on its comprehensive and thoughtful process
for this rulemaking. Finally, I would note that Treasury’s report also recommends that the CFPB
review its authorities to consider if and how the agency might supervise data aggregators.
For responsible development of the consumer data sharing ecosystem in the United States, our
focus should be on protecting consumers and promoting healthy competition and innovation that
enhances consumer financial well-being. As we move forward, these principles should remain our

focus in order to ensure that we are maintaining a fair and competitive financial services
ecosystem.

CONCLUSION
As I initially noted, the focus of our dialogue during this gathering is the significant shift towards
the digitization of financial services. This shift promises significant benefits but presents us with
some substantial challenges. By striking the right balance as industry leaders and policymakers,
we can ensure that this transformative moment in payments addresses, rather than reinforces, the
shortcomings that so many experience under the current status quo. That is why I am excited to be
part of this event, and I am eager to listen in on an engaging panel discussion.
Thank you for your time today.
###
[1] Individuals using the Internet (% of population) | Data (worldbank.org)
[2] Faster Payment System statistics (wearepay.uk)
[3] The Future of Money and Payments (treasury.gov)

;

[4] FDIC, Survey of Unbanked and Underbanked Households (2021), https://www.fdic.gov/analysis/householdsurvey/2021report.pdf

.

[5] U.S. Department of the Treasury, Crypto-Assets: Implications for Consumers, Investors, and Businesses (2022),
https://home.treasury.gov/system/files/136/CryptoAsset_EO5.pdf

.

[6] U.S. Department of the Treasury, Crypto-Assets: Implications for Consumers, Investors, and Businesses (2022),
https://home.treasury.gov/system/files/136/CryptoAsset_EO5.pdf

.

[7] U.S. Department of the Treasury, Assessing the Impact of New Entrant Non-Bank Firms on Competition in Consumer Finance
Markets (2022), https://home.treasury.gov/system/files/136/Assessing-the-Impact-of-New-Entrant-Nonbank-Firms.pdf

.