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9/15/2023

Remarks by Assistant Secretary for Financial Institutions Graham Steele at the Electronic Transaction Association Fintec…

Remarks by Assistant Secretary for Financial Institutions
Graham Steele at the Electronic Transaction Association Fintech
Policy Forum
September 15, 2023

Thank you for inviting me to be here. My name is Graham Steele, and I am the Assistant
Secretary for Financial Institutions at the Treasury Department. It is a privilege to speak with
you today.
As the Assistant Secretary for Financial Institutions, I oversee a broad policy portfolio,
including developing the Departmentʼs policy views on banks, credit unions, and the insurance
sector, as well as cybersecurity and critical infrastructure, community development, and
consumer protection. As the title would suggest, financial institutions are at the heart of my
portfolio, and payments is a key area of focus.
Payments have long been one of the core financial services provided by financial institutions,
along with the provision of credit and deposit-taking. At the same time, payments is a
dynamic and fast-evolving space. The landscape is shi ing at an unprecedented rate, with
new systems and technology, intermediaries—and even new forms of money—emerging all
the time. These developments carry novel and significant implications for the financial system
and for consumers and are confronting policymakers with renewed questions about the roles
and objectives of the public and private sectors.
At a high level, the role of the public sector is to promote both competition that benefits
consumers and the marketplace and responsible behavior and practices that protect
consumers and the financial system, including through regulation. This balancing role remains
a constant for government, though a dynamic, competitive market presents new questions
and issues to consider on how best to strike that balance. One question that has come into
focus in this Administration is whether competition in payments and certain areas of financial
markets is driving advances that benefit consumers, a er holistically considering the new risks
they present.

COMPET IT ION IN PAYMENTS
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For consumers, a competitive marketplace means more choices, better service, and lower
prices. By contrast, lack of competition can result in sustained market power, and diminished
innovation, product quality, and access. In our report on Assessing the Impact of New Entrant
Non-bank Firms on Competition in Consumer Finance Markets released last year, we explored
trends across consumer financial services markets and identified evidence both of increased
competitive pressures from new entrants as well as increased complexity, presenting both
opportunities for increased consumer benefit as well as risks.
New entrant non-bank firms are o ering digital applications to make payments online and
through mobile devices that have expanded accessibility for consumers. These payments
firms generally provide a front-end digital user interface for consumers to make payments to
other parties on the same platform. At the same time, due to their near-exclusive access to
the Federal Reserveʼs payment services and the ability to settle obligations in central bank
funds, incumbent depository institutions play a critical role in retail payments and most
payments in the U.S. rely on interbank payment services as part of their settlement processes.
As highlighted in Treasuryʼs report on The Future of Money and Payments, broadening the
range of institutions that are eligible to participate in instant payment systems—subject to
appropriate conditions and guardrails—could help to enhance speed and e iciency,
competition, and inclusion in payments, including for cross-border payments.
Open Banking is another innovation with the potential to promote greater
competition in payments. 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. The U.S. has been slower, due in part to policy uncertainties and competitive
tensions among stakeholders in the consumer finance ecosystem. Promoting Open Banking
could help new entrants into the payment space to o er new products and services that
compete with the legacy products and services o ered by incumbent firms.
By contrast, the entrance by Big Tech into financial services could also have di erent, but
nonetheless profound, e ects on the payments landscape. As we noted in our competition
report, these firmsʼ potential to scale rapidly, due to network e ects and strategic
complementarities, could result in increased market concentration. The historical separation
in the United States of banking and commerce was motivated by a desire to prevent conflicts
of interest, avoid excessive concentration of economic power, and limit contagion between
a iliates—where the failure of a commercial platform leads to impairment of the safety and
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soundness of the a iliated bank. Big Techʼs involvement in financial services presents many of
these historical issues, in addition to novel banking and commerce concerns. Big Tech firms
may have incentives to leverage their existing commercial relationships, consumer data, and
other resources to enter new markets, expand their networks and o erings, and scale rapidly
to achieve capabilities that other firms do not have and cannot replicate. They may be able to
use data advantages, network e ects, acquisitions, predatory pricing, and other tactics to
gain or entrench their market power to the detriment of competition and, ultimately,
consumers.
Finally, the public sector has a unique additional role in payments, through the Federal Reserve
Systemʼs role as a provider of core market infrastructure. The launch of the real-time gross
settlement rail, FedNow, creates new possibilities for innovation and competition in the
provision of instant payment services. The introduction of FedNow adds a second set of
instant payment rails alongside the existing private sector Real-Time Payments network
operated by The Clearing House.
There is room for incumbent and new entrant firms to innovate expand access and choice in
products and services that meet consumersʼ needs—particularly those that are persistently
underserved or unserved. Increased competition and innovation can bring positive change to
the provision of financial services, but risks must be monitored and addressed to ensure that
consumers are protected and that payment solutions promote their financial well-being.

REGULAT ION OF PAYMENTS
To best promote healthy, responsible competition, policymakers must be clear minded about
the objectives of regulation and be cognizant of opportunities and risks related to market
innovations. Regulation is an important tool for ensuring that innovation is done responsibly.
While Treasury has generally recommended establishing a federal framework for payments
regulation, in order to protect users and the financial system and support responsible
innovations in payments, there are some specific areas that warrant immediate attention.
One such area is consumer data. Data is at the heart of the digital financial services
ecosystem. The rise of fintech firms and their reliance on consumer data has raised valid
concerns over privacy and security risks. New technologies and permissioned data sharing
can beneficially expand access to financial services, but it is critical that consumer privacy and
control be protected. The CFPBʼs ongoing work on a rulemaking implementing Section 1033 is
of paramount importance for personal data rights and helping to resolve core issues that
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have inhibited consumersʼ control over their data. This e ort is important to provide
additional clarity and security in the data sharing landscape and contribute to further
progress in Open Banking.
Additionally, Treasury supports the CFPBʼs recently announced e orts to consider regulatory
proposals relating to data brokers and data boundaries, thereby enhancing transparency and
holding covered entities accountable for their data practices. Treasury has previously
recommended that the CFPB consider whether and how it may directly supervise data
aggregators, who store vast and ever-growing amounts of consumer financial data, generally
without the kind of supervision of their data practices applicable to regulated depository
institutions. The banking agencies have also issued guidance regarding the oversight of bank
partnerships with third parties, including fintech firms. These regulatory and supervisory
actions can help promote healthy competition that ultimately benefits consumers.
Another area that has been in focus is consumer fees. Despite other innovations, credit cards
and debit cards remain the most prevalent instruments for consumer payments. Across the
Administration, agencies have sought to target hidden fees and charges, as appropriate, to
shore up competition by promoting fair and transparent pricing across the U.S. economy. In
the payments space, the CFPB is working to finalize a rule aimed at reining in excessive credit
card late fees. Here again, regulation has a role to play to protect consumers and promote
healthy, competitive markets that are free of hidden or excessive fees.
It is also imperative to address the issue of fraud, especially in the era of digital transactions.
With the increased speed and accessibility of digital transactions has come increased
complexity in fraud and scams, particularly those targeting vulnerable populations. Addressing
risks requires consideration of technological and policy solutions. This could include
consideration of tools like advanced cryptographic methods, multi-factor authentication,
programmatic anomaly detection, as well as prudent operating and governance procedures
with safeguards like transactional limits. Ultimately, the public and private sector must work
collaboratively to combat fraud.
In these and similar cases, measures to address the risks relating to new services may be
e ective. But we must also be mindful that those measures may also come with associated
costs that have negative implications for the usability and uptake of the service or product. It
is important that industry participants and policymakers remain aware of the full range of
tradeo s involved when we design products and policies, respectively.

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EMERGING ISSUES IN PAY MENT INST RUMENTS
In addition to payment rails and services, we are also experiencing a nascent disruption in
payment instruments. As we have seen, the provision of payment services can position
providers well to provide transaction accounts that function in ways that may resemble
demand deposit accounts, as well as credit products. At times, this may come without the
full protections of the traditional banking system that consumers have come to rely on and
expect from their service providers.
With respect to demand deposit-like transaction accounts, consumers may maintain balances
that may be uninsured and may function as an implied cost of accessing services. For
traditional deposit accounts, the ease with which depositors can initiate transfers of their
funds, facilitated by new technologies and service providers, may also have changed the
nature and speed of bank runs, presenting new types of financial stability risks that also
require attention. Finally, some crypto-asset companies have marketed their products as
safe and deposit-like when they are nothing of the sort. On this last point, the Treasury
Department, along with the other members of the Presidentʼs Working Group on Financial
Markets, has recommended that Congress enact legislation to ensure that stablecoin issuers
are subject to a robust federal prudential regulatory framework.
This evolution in the nature of payment instruments is an area where regulation clearly has a
role to play in protecting consumers and facilitating responsible innovation and competition.
As such emerging developments progress, managing the opportunities and challenges they
present will require cross-sector engagement, and a focus on driving advances that benefit
consumers.

F INANCIAL INCLUSION ST RAT EGY AND OUT REACH
Our objectives to promote healthy competition, consumer benefit, and inclusive payments
systems are central to Treasuryʼs work on the national financial inclusion strategy, consistent
with congressional direction. This strategy was touched upon in the panel held earlier today,
moderated by the Director of Treasuryʼs O ice of Consumer Policy, Natalia Li.
The objective of the strategy is to define clear goals for financial inclusion, set measurable
benchmarks for tracking progress, and provide recommendations on how public policy,
government programs, financial products and services, technology, and other tools can
promote financial inclusion.
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As discussed before, payments are a foundational activity in consumer finance and are pivotal
to financial inclusion. As the audience in this room can attest, the role of payments
transcends basic transactions; payment systems connect individuals to the broader economy,
enabling everything from purchasing goods to accessing broader financial tools.
At the same time, we must also remain acutely aware of the potential disparities that could
be created or reinforced if new products and services are designed or implemented without
adequately accounting for the concerns and needs of the most vulnerable and marginalized.
For example, some evidence suggests that lower-income consumers are more likely to make
payments in cash than consumers with higher income, even during the pandemic. This, in
turn, suggests that certain consumers may be less willing, or less able, to participate in newer
forms of payments. A few particular aspects of digital payments will help to determine their
ability to promote inclusion.
First, privacy concerns and lack of institutional trust are among the most cited reasons that
some individuals avoid the banking system. In particular, some communities may be more
privacy sensitive and have heightened concerns about private or public entities accessing their
personal information. It is important that we explore the policies, technologies, and methods
available to appropriately preserve privacy protections in digital payment systems, including
Privacy Enhancing Technologies (PETs). 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 to consider is the degree to which payments systems possess
o line capabilities, which could enhance financial inclusion by better supporting transactions
in areas with limited or no internet connectivity. Over the past 30 years, we went from less
than 1% of the worldʼs population using the internet in the 1990s to over 60% of the world
being internet users today. Nonetheless, we know that a significant number of individuals in
the U.S. still 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. It is important to consider the needs of these marginalized communities as
our payment systems evolve.
As this brief discussion hopefully demonstrates, advancing inclusion in payments will be a big
focus of our work within the broader financial inclusion strategy. To shape the strategy, we
intend to reach out to a diverse range of stakeholders across the financial ecosystem to
gather their insights.
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CONCLUSION
In conclusion, stakeholders across the public and private sector have a shared goal and
incentive to foster competitive and innovative markets. Such dynamic markets present new
opportunities and challenges, and there is a role for all players in helping to realize potential
benefits while mitigating risks.
At the same time, guardrails are vital to ensuring the proper functioning of markets and
protecting consumers. A er all, our payment system is built upon a foundation of mutual
trust.
In the face of emerging developments, engagement across public and private sectors is key to
understanding opportunities and challenges and identifying solutions that can promote
healthy competition and consumer benefit, while ensuring financial inclusion.
Thank you again for having me today.
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