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Brussels, 1 July 2025 – In a time of heightened geopolitical uncertainty and increasing digital transformation, the European financial ecosystem needs greater autonomy in one of the most critical domains of our daily economic lives: retail payments.
The European Credit Sector Associations (EBF, EACB, ESBG) warmly welcome initiatives by private payment actors towards interconnecting their solutions, such as the joint effort recently announced by the European Payments Alliance (EuroPA[1]), and the European Payments Initiative (EPI).
Initiatives such as these show the importance attached by private solutions to the need to strengthen Europe’s capacity to operate its own payments, based on Europe’s best-in-class payment solutions and increased mutual acceptance. Solutions that are user-centric, collaborative, and aim to enable interconnectivity, can support innovation, and help shape Europe’s future in alignment with European objectives.
As representatives of Europe’s banking sector and in a broader context of change and geo-political developments where resilience is key, we warmly welcome initiatives to strengthen European sovereignty in retail payments, considering also the European Authorities’ Retail Payment Strategies.
[1] In their announcement, EuroPA is represented by Bancomat, Bizum, MB WAY (SIBS), and Vipps MobilePay
For more information:
Alexandra Maniati, Senior Director of Innovation & Cybersecurity, a.maniati@ebf.eu
About the EBF:
The European Banking Federation is the voice of the European banking sector, bringing together national banking associations from across Europe. The federation is committed to a thriving European economy that is underpinned by a stable, secure, and inclusive financial ecosystem, and to a flourishing society where financing is available to fund the dreams of citizens, businesses and innovators everywhere.
The EBF produces a daily and a weekly newsletter with European banking news and updates from national banking associations across Europe. CLICK HERE TO SUBSCRIBE
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]]>Brussels, 20th December 2023 – The banking industry supports the objective of increased European strategic autonomy in payments and sees that new forms of digital currencies and payment methods will be needed to support the multi-faceted digitalisation of the economy. We envision a future digital economy where Europe has a strong, resilient, innovative, and competitive payments and digital assets ecosystem, with enhanced European strategic autonomy. A digital euro – if appropriately designed and calibrated – could be one of the new tools to meet users’ evolving payment needs.
Differently from a wholesale CBDC – which as a concept was introduced in the eurozone already in 1999 – a retail CBDC is a much more complex endeavour. It introduces a new concept, it interacts with private electronic payment means, and it requires an in-depth exercise to balance different impacts on the economy as a whole and financial intermediation in particular.
There are three areas of possible impacts that should be counterbalanced from the start:
As the digital euro project has now entered the preparation phase, the EBF considers it vital to pursue a constructive dialogue between the co-legislators, the ECB and the banks, to find together the balance that will ensure the success of the digital euro, along with the introduction of robust mitigating measures for all the above risks.
Effects on financial stability
The introduction of a CBDC can affect financial stability, i.e. the ability of the overall financial system to weather shocks and provide critical financial services, also in periods of stress. The study of Copenhagen Economics examines the impact of the digital euro on financial stability considering four different holding limits. With the holding limit at 3,000, the study found that the digital euro can lead to an outflow of up to 739 billion euro of bank deposits in the euro area. This corresponds to a loss of 10% of the total household deposit base and 3% of the total bank liabilities. With a holding limit of 500 euros, the loss of deposits could be limited to 139 billion euro, still an important number but a decrease of 81% compared to a 3,000 euro holding limit. Clearly, if the limit is set lower, the loss of deposits will be further limited and the impact less damaging.
Furthermore, the impact is diverse across banks. For highly impacted banks, these figures could rise to 20% of the deposit base or 9% of total bank liabilities. Across the smaller banks in the sample, deposit outflows amount to 7% of total liabilities, more than twice the aggregate outflow across all banks (3%). For the latter, it is important to do a separate deep-dive analysis of tail risks (i.e. the impact on small banks with greater dependence on deposits and less access to wholesale funding), and analyse the geographical regions where there may be a greater concentration of institutions in this situation.
Given the long-term perspective of a digital euro, its effect on financial stability should be measured against periods of stress in the financial system. Here, it is found that the digital euro could exacerbate deposit runs, and this might especially hit smaller banks for two reasons: their customers tend to have lower levels of deposits, leading to a larger share of deposits being withdrawn; and they are more dependent on retail deposit funding.
Moreover, banks facing a potential depositor shift would at the same time face increasing costs of replacing the lost deposits, while the potential magnitude of the shift –10% of the depositor base – could itself create stress in the markets.
The study points out that reducing access to credit could also hinder achieving other national or EU-wide public policy objectives that rely heavily on the financial intermediation role of banks (e.g. the green transition) and concludes that considering a range of scenarios of stress in the financial system is the only way to make a complete assessment of the risks of the digital euro for financial stability. As a departure point for such a scenario, the study finds that a full utilisation of the digital euro could increase a bank’s incremental lending costs by 300 basis points for each euro that needs to be refinanced by alternative funding sources. These additional costs of funding would correspond to an average decrease in banks’ net interest income of 7% on an aggregate euro-area level and a corresponding decrease of 13% for the small banks in the sample. The magnitude of the impact on financial stability can be even higher, if the financial environment develops unfavourably, or to the extent that individual banks are unable to obtain funding at this rate.
Cost of infrastructure for the implementation of a digital euro
With several aspects still to be finalised (including the technological architecture), the exercise to estimate the set-up and running costs that intermediaries will be asked to bear is at its early stage. Banks are referring to past experiences of large-scale projects in payments, such as SEPA and TARGET.
Even though the ECB made clear that it would bear its own costs, a huge cost would still be borne by banks and other PSPs. Adopting the detailed user journeys designed by the ECB will require investments on front-end, processing and recording of transactions, KYC procedures, integration with their own mobile apps as well as with the one provided by the Eurosystem, integration of a new and dedicated settlement approach, just to name a few.
A project of this magnitude is bound to absorb a sizeable amount of resources both in IT and payments departments of banks, this way freezing innovative projects for a number of years, on top of the already important investment that other regulations will impose (i.e. Instant Payment Regulation, PSR, DORA). It would be important to better understand how the ECB and the co-legislators expect the digital euro to become a “platform for innovation”, as no details in this sense have been released so far. Foreseeing opportunities to leverage the digital euro as a basis for offering innovative and value-added services is a necessary pre-requisite for its sustainability.
Further, commercial banks have invested in building and maintaining an infrastructure that allows them to interact with households. This includes implementing procedures to prevent fraud, money laundering and a whole array of Know-Your-Customer rules. There is an open question of whether the digital euro will be built on a system where central banks make the best use of commercial bank solutions, or the ECB intends to build a parallel technical infrastructure from scratch. The final choice needs to be based on a thorough assessment of the cost of the different alternatives, accompanied by the anticipated sources of funding to implement them. In any case, as an initial approach and as long as the digital euro is focusing on existing use cases, leveraging as much as possible on existing instant payments infrastructure and existing payment processes and components should be a fundamental consideration by the ECB when reflecting on the digital euro infrastructure.
Impact on electronic payments business
The digital euro is intended as a complement to cash and to private electronic payments. However, there are no estimates so far as to the share of the payments market that would come from transactions currently made in cash and from electronic payments.
Furthermore, the use cases currently prioritised for the digital euro are covered by existing solutions, questioning the added value vis-a-vis a costly implementation that will affect all market participants, including consumers. In addition, imposing zero or low fees for the use of the digital euro would crowd out existing payment means, including those that at this stage are not considered “comparable”, such as credit transfers The impact on banks’ business models should be quantified, in terms of margin erosion.
A first exercise in that respect has been conducted by Mediobanca Research[1], which estimated the digital euro impact to NII (deposit outflow), revenues (card payments, bank transfers and current accounts) and costs under three scenarios (mild, moderate and adverse). The findings showed substantial effects that need to be counterbalanced.
It is important to acknowledge, that offering digital euro services free of charge does not necessarily improve consumer welfare in the medium-long term. If the fee is below overall costs to banks and other PSPs, it will crowd out existing payment means, hinder private innovation and ultimately, the consumers will pay for lack of cost recovery, in terms of high taxpayer spending for the functioning of the payment systems in comparison to the current situation. Allowing room to – at least partially – offset the losses by enabling the design and remunerated provision of additional services by digital euro distributors, and imposing an amount limit per transaction could be examples of ways to counterbalance.
Way forward
EBF welcomes the continuation of the structured dialogue with the market throughout the preparation phase and are open to give their best contribution in addressing the open points. A balanced approach is the challenge ahead.
As the preparation phase for the digital euro has started, it is of paramount importance to conduct a comprehensive impact assessment on infrastructure and the payments/retail banking business models to complement the study hereby offered on the potential impact on financial stability. This additional assessment is necessary for the co-legislators and the ECB to define: a) the limit on digital euro holdings per individual, as well as other relevant limits; b) the impact on existing payments market and the implementation of appropriate countermeasures, including infrastructure related aspects; c) the overall suitability of the compensation model, of which the inter-PSP fee is an important part but does not cover the articulated business model for the distribution of the digital euro. The EBF would be prepared to contribute in defining the methodology of such analysis to be conducted by the ECB.
The digital euro will create additional launch and recurring costs for commercial banks, other PSPs, and merchants, in general related to a possible shift from bank deposits, the adaptation of infrastructure for its implementation and distribution, and the overlap with existing payment means. It is also important to remember that any impact of the digital euro will occur in an environment of multiple challenges, while at the same time banks will be expected to finance a big part of strategic European objectives, such as the green and digital transitions, strategic infrastructure, etc. To overcome these challenges, a deeper and more constructive partnership between public and private actors is necessary for the next phases of the project.
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For more information please contact:
Alexandra Maniati
Senior Director, Innovation & Cybersecurity, a.maniati@ebf.eu
Gonzalo Gasos
Senior Director, Prudential Policy & Supervision, G.Gasos@ebf.eu
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About the EBF:
The European Banking Federation is the voice of the European banking sector, bringing together national banking associations from across Europe. The federation is committed to a thriving European economy that is underpinned by a stable, secure and inclusive financial ecosystem, and to a flourishing society where financing is available to fund the dreams of citizens, businesses, and innovators everywhere.
The post Copenhagen Economics study on the impact of a digital euro on financial stability and consumer welfare appeared first on EBF.
]]>Brussels, 9 December 2024: As the European Parliament adopted its position and the Council reached its General Approach, the Association for Financial Markets in Europe (AFME), the European Association of Co-operative Banks (EACB), the European Banking Federation (EBF), the European Fund and Asset Management Association (EFAMA), the European Savings and Retail Banking Group (ESBG), and Insurance Europe call on the co-legislators to deliver on commitments to boost European competitiveness and to avoid concluding the Financial Data Access (FiDA) Regulation before a thorough assessment of its impact across the entire value chain is completed.
To safeguard and boost the competitiveness of the European financial sector, it is essential to ensure an approach that delivers tangible benefits to European citizens while at the same time ensuring that Europe’s financial industry can continue to innovate in a robust and cost-effective manner.
The success of the proposed FiDA framework calls for a more focused and evidence-based approach that delivers clear benefits to European citizens and companies. This necessitates further time for careful scrutiny of its broader and practical impact, both for consumers and industry. Without such an approach, FiDA will not only fall short of its ambition, but also undermine the protection of EU/EEA citizens and the competitiveness of the European financial industry alike.
The financial industry highlights the following recommendations to ensure an effective FiDA framework:
Following the ECON vote and the COREPER mandate for negotiations, and despite some positive improvements introduced in the EP and the Council positions, they remain very broad in scope, particularly in terms of data categories, and do not adequately address the competitiveness and data protection concerns mentioned above. The financial services industry has repeatedly raised these and other key concerns, also proposing relevant solutions, however they remain largely unaddressed.
The financial services industry stands ready to continue contributing to ensure that provides legal clarity and can effectively support the sound development of Open Finance in the EU/EEA.
Signing organisations:
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For more information please contact:
Alexandra Maniati
Senior Director, Innovation & Cybersecurity – a.maniati@ebf.eu
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About the EBF:
The European Banking Federation is the voice of the European banking sector, bringing together national banking associations from across Europe. The EBF is committed to a thriving European economy that is underpinned by a stable, secure and inclusive financial ecosystem, and to a flourishing society where financing is available to fund the dreams of citizens, businesses and innovators everywhere.
The EBF produces a daily and a weekly newsletter with European banking news and updates from national banking associations across Europe. CLICK HERE TO SUBSCRIBE
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BRUSSELS, 3 October 2024 – The European Banking Federation (EBF), together with the Association for Financial Markets in Europe (AFME), BVI (German Investment Funds Association), Bundesverband der Wertpapierfirmen (BWF), the European Fund and Asset Management Association (EFAMA) and the International Capital Markets Association (ICMA) released a joint statement on MIFIR RTS 2 post-trade deferrals for bonds.
It follows the respective associations’ responses to the May 2024 ESMA Consultation Paper on the amendment to RTS 2 and is intended to guide ESMA in fulfilling its mandate of drafting regulatory technical standards to support an effective post-trade deferral regime as required by Article 11(4) of MiFIR.
Central to the recommendations offered by the Associations is the importance of ESMA following a credible, balanced and data-driven approach in determining the appropriate calibrations for applying deferrals. The proposal put forward by ESMA in its May 2024 Consultation Paper is not consistent with this approach and, as currently designed, could fail in its objective of creating an effective transparency framework for EU bond markets.
For more information:
Jacopo Borgognone, Senior Policy Adviser – Financing Growth, j.borgognone@ebf.eu
About the EBF:
The European Banking Federation is the voice of the European banking sector, bringing together national banking associations from across Europe. The EBF is committed to a thriving European economy that is underpinned by a stable, secure and inclusive financial ecosystem, and to a flourishing society where financing is available to fund the dreams of citizens, businesses and innovators everywhere.
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BRUSSELS, 18 December 2023 – The European Banking Federation (EBF) held the fourth edition of the Data Protection Officers Forum (DPO Forum) on November 30, 2023, in Brussels. The event brought together over 45 DPOs from 18 countries across Europe, along with representatives from Data Protection Authorities (DPAs), the European Commission, and other institutions.
This year’s edition was organized in partnership with TRUST aWARE, a European Commission-funded project dedicated to providing a holistic and effective Digital Security & Privacy (S&P) framework. This framework includes a range of novel and integrated tools and services co-created by citizens and stakeholders to identify, audit, analyze, prevent, and mitigate the impact of various S&P threats associated with citizens’ digital activities. Notable developments from TRUST aWARE include a reporting capability designed to provide insights about security and privacy threats to DPOs, DPAs, and Cybersecurity Emergency Response Teams (CERTs).
The primary objectives of the annual EBF DPO Forum are to delve into practical challenges stemming from the application of the General Data Protection Regulation (GDPR) and to facilitate the exchange of best practices.
This year’s edition dived into several topics, including the role of DPOs in embedding Artificial Intelligence (AI) into banking processes and the potential and challenges of generative AI. Additionally, participants engaged in discussions about best practices on the right of access within the current regulatory framework, and in particular the interplay with sectoral requirements. Finally, DPOs also explored data protection aspects in different initiatives on the European digital finance agenda, including the Digital Euro, Payment Services Regulation (PSR), and the Financial Data Access Regulation (FIDA).
The fourth edition of the DPO Forum underscores the importance of collaborative efforts in navigating the evolving landscape of data protection and digital privacy. The exchange of knowledge and best practices facilitated by the EBF contributes to strengthening the role of DPOs in addressing emerging challenges and ensuring robust compliance.
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For more information please contact:
Liga Semane
Policy Adviser, Innovation & Data, l.semane@ebf.eu
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About the EBF:
The European Banking Federation is the voice of the European banking sector, bringing together national banking associations from across Europe. The EBF is committed to a thriving European economy that is underpinned by a stable, secure and inclusive financial ecosystem, and to a flourishing society where financing is available to fund the dreams of citizens, businesses and innovators everywhere.
The post The EBF Annual Data Protection Officers Forum reaches its fourth Edition appeared first on EBF.
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BRUSSELS, 23 November 2023 – The European Banking Federation (EBF), together with the European Association of Co-operative Banks (EACB), the European Savings Banks Group (ESBG), the Association for Financial Markets in Europe (AFME) and the European Payment Institutions Federation (EPIF) released a joint statement on the ongoing process of finalizing the trilogue discussions on the Cyber Resilience Act (CRA).
The industry acknowledges that cross-sectoral rules on mitigating vulnerabilities within the lifecycle of digital products contribute to elevating cybersecurity throughout the entire supply chain. However, there are already rules in place for the financial sector that ensure its strong digital operational resilience and cybersecurity. The Digital Operational Resilience Act (“DORA”) introduces a comprehensive cybersecurity and ICT risk management regime that introduces requirements for financial services equivalent to the CRA.
Avoiding duplications and overlaps between the CRA and DORA is crucial for a clear, fit-for-purpose and harmonized European cybersecurity regulatory landscape. Therefore, we support the amendments introduced in the CRA text by the European Parliament that reference the compatibility of the CRA with other Union rules, notably DORA and financial services.
For more information:
Dimos Karalis, Policy Adviser – Cybersecurity & Innovation, d.karalis@ebf.eu
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About the EBF:
The European Banking Federation is the voice of the European banking sector, bringing together national banking associations from across Europe. The EBF is committed to a thriving European economy that is underpinned by a stable, secure and inclusive financial ecosystem, and to a flourishing society where financing is available to fund the dreams of citizens, businesses and innovators everywhere.
The post Joint Statement on Duplication in the Cyber Resilience Act appeared first on EBF.
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BRUSSELS, 21 November 2023 – The European Banking Federation (EBF), together with the European Savings Banks Group (ESBG), the Association for Financial Markets in Europe (AFME), the European Payment Institutions Federation (EPIF), and Insurance Europe have co-signed a joint statement on the ongoing process of developing a cybersecurity certification scheme for cloud services (EUCS). While the industry welcomes the objective of establishing a minimum set of security and trust criteria for cloud services, the drafting of EUCS should be a purely technical process detailing the technical requirements for such certification.
ENISA’s current candidate scheme includes political and legal sovereignty elements, such as the requirement to have the company’s headquarters located in the EU, restrictions on ownership and governance restrictions. As things stand today, the inclusion of such requirements will be a step back and will ultimately undermine real competition in the European market, reduce choice for cloud customers and harm European industry and citizens.
Cloud adoption by financial services, which is steadily increasing, is key to improving agility, international competitiveness, resilience, client experience and cost efficiency, and even security. Depriving companies of a real choice of cloud providers will endanger their operational resilience and stifle digital innovation, while the lack of transparency in the process is also concerning.
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For more information please contact:
Dimos Karalis
Policy Adviser, Cybersecurity & Innovation, d.karalis@ebf.eu
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About the EBF:
The European Banking Federation is the voice of the European banking sector, bringing together 32 national banking associations in Europe that together represent a significant majority of all banking assets in Europe, with 3,500 banks – large and small, wholesale and retail, local and international – while employing approximately two million people. EBF members represent banks that make available loans to the European economy in excess of €20 trillion and that reliably handle more than 400 million payment transactions per day. Launched in 1960, the EBF is committed to a single market for financial services in the European Union and to supporting policies that foster economic growth.
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BRUSSELS, 28 June 2023 – The European Banking Federation (EBF) today shared its reaction to three major digital finance proposals put forward by the European Commission: a legal framework for a digital euro, the Financial Data Access framework and the Revision of EU rules on payment services.
“Today’s proposals touch upon central issues that will significantly affect the future of European financial services. It is crucial to ensure that the European Commission’s vision on digital finance helps enable a competitive ecosystem with a level playing field for all, unlocking new opportunities for users while upholding their safety in complex digital environments,” said EBF CEO, Wim Mijs.
He continued: “The proposal for the digital euro outlines the framework and the legal basis for the European Central Bank’s (ECB) plans for a retail Central Bank Digital Currency (CBDC). It is an essential part of the thorough, democratic and public debate that is necessary for a project of this magnitude, with a potential widespread impact on society and the economy. Alongside the main features of a digital euro, it is important to discuss the broader questions about its added value, how it can best respond to current and future challenges of the European payments market, and how it can be developed jointly with the market.
At the same time, the proposed framework for financial data access needs to be carefully considered in terms of the data in scope, so as to make sure that it responds to actual user and market needs. There are steps in the right direction when it comes to ensuring fair competition between market participants with a fair distribution of value and risk.
Finally, the revision of EU rules on payment services should provide a stable basis for the future development of a successful open banking framework, and rules that enable the fight against the increasing online scams and fraud”.
A legal framework for a digital euro
Today’s proposal lays the ground for the issuance of a retail digital euro. The legislation should find a balance between defining the key characteristics of the digital euro with leaving enough room for the market to develop its distribution. Certainty and clarity on the modalities regarding the holding limits as well as compensation for intermediaries are also needed.
A retail digital euro could – if properly designed – support the strategic autonomy of Europe and ensure a monetary anchor role of the euro. However, to complement the European payments landscape, it must provide a clear added value and be future-proof by design.
It should be understood as a “raw material” that would be issued by the Eurosystem, allowing the industry to develop solutions and fully deploy its innovative potential to deliver competitive payment solutions to the European payments market through a true public-private partnership.
The design of a sustainable business model for the digital euro is vital. It is clear that the costs of building the infrastructure to enable the circulation of the digital euro, and its actual distribution cannot be borne by private actors alone. A harmonized framework of financial incentives should be set up where compensation mechanisms reflect the wider range of necessary actions to be taken by intermediaries.
In addition, to shield banks from the risk of deposit flight and to limit the negative impact on banks’ ability to finance the economy, it is important to set appropriate and firm limits in holdings and transactions.
Read the EBF’s vision on a digital euro ecosystem here.
The Financial Data Access framework
For data-driven innovation to unlock new opportunities for customers, it must be supported by a data-sharing ecosystem that ensures fair competition between market participants with a fair distribution of value and risk. The proposal presented today makes some steps in this direction, notably through including the possibility for financial incentives, but in other areas – such as the introduction of broad mandatory data access rights – the risks are not fully taken into account.
Data sharing should be based on customer and market needs. Introducing new, broad mandatory data access rights without careful cost-benefit analysis of each product or market, and without understanding where the real value for the customer lies, risks introducing further fragmentation in the financial sector when it comes to data sharing.
The possibility of cross-sectoral data sharing should be taken into account to leverage the potential that data from other sectors, with the customers’ permission, holds for developing new products, services and experiences in the financial sector.
We welcome that the proposal sets out key principles on how data could be shared, such as the compensation to make data accessible. Any compensation should reflect the wider range of necessary actions – collection, generation, structuring, preparing and sharing of data – not only the creation and maintenance of infrastructure.
The proposal also leaves room for market-driven initiatives to develop these principles further through data-sharing schemes, which can create a secure environment for data sharing with legal certainty for all actors. Yet feasible timelines are needed for the development of these initiatives.
The introduction of mandatory permission dashboards for customers needs to be carefully considered. Entities included in the scope require the flexibility to define and develop these services by using technologies that better fulfil specific needs.
Read EBF’s paper Open Finance: Towards a fit-for-market approach here.
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Revision of EU rules on payment services
The proposed upgrade of EU payments rules provides some welcome updates and clarifications but does not go far enough in making the essential changes necessary to create a truly successful open banking framework and enable the market to fight scams and fraud in an increasingly complex environment.
Payment Services Regulation and Payment Services Directive 3 will be fundamentally important in ensuring a legislative framework for payments that is in line with market evolution, and fosters an innovative and competitive EU payments market, that needs to be characterised by a level playing field between all providers of payment services.
Fair distribution of value and risk is key in creating an ‘open banking’ framework that corrects the imbalances resulting from the approach taken in PSD2. The principle of compensation should be included in payments legislation too, to ensure alignment with open finance. A key lesson learnt from the PSD2 implementation is that a competitive ecosystem only works when there are benefits for all. The EBF calls to ensure that the reviewed open banking framework provides a stable basis for the future development of a successful open banking framework that at the same time limits the changes needed for implementation.
Finally, prevention of fraud and scams is of utmost importance to banks, with significant initiatives already undertaken on this front. The issue is increasingly important in a context where methods continuously evolve, with new ways to exploit human vulnerabilities and mislead customers. The reviewed legislation should consider this topic broadly, as scams occur outside the payment transaction itself and it is extremely challenging for banks to detect them. Bringing all actors in the relevant areas and in the payments chain such as telecom operators, internet platforms, and parties that participate in the user authentication or payment initiation under adequate and proportionate legal obligations for fraud prevention, detection and mitigation is crucial. The EBF stands ready to participate in further joint efforts with the public sector to enhance consumer awareness, essential in combating authorised push payment scams and fraud.
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For more information please contact:
Rūta Barthet
Senior Media and Communications Officer, r.barthet@ebf.eu
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About the EBF:
The European Banking Federation is the voice of the European banking sector, bringing together 32 national banking associations in Europe that together represent a significant majority of all banking assets in Europe, with 3,500 banks – large and small, wholesale and retail, local and international – while employing approximately two million people. EBF members represent banks that make available loans to the European economy in excess of €20 trillion and that reliably handle more than 400 million payment transactions per day. Launched in 1960, the EBF is committed to a single market for financial services in the European Union and to supporting policies that foster economic growth.
The post EBF shares views on the digital euro, payment services and financial data access proposals appeared first on EBF.
]]>Brussels, 30th March 2023 – The potential for data-driven innovation in all sectors of the economy is significant. The same applies for the financial sector. Financial institutions are already delivering new services, products and experiences to their customers and data is a key element for this. The sector has gone through the introduction of mandatory data sharing with third parties under the revised Payment Services Directive (PSD2), and organisations are still grappling with the lessons learned from this experience (e.g. the impact that a lack of incentives for all market participants has).
As the European Commission moves forward with its Data Strategy and further sectoral data-sharing initiatives, including Open Finance, there is a need to consider very carefully the approach to be taken so as to boost innovation while ensuring a level playing field and avoiding a fragmented implementation of the Strategy.
Taking into account the current data-sharing landscape, data sharing under Open Finance should be voluntary between market actors, based on market needs and contractual arrangements. It should not introduce any new mandatory data access rights for financial data (as in the case of access to payment account data in PSD2).
Instead, the legal framework pre-announced by the Commission should be one that facilitates the fulfilment of real customer needs by setting out only key principles for all participants, promoting incentives (e.g. compensation) for data sharing and setting strong security and consumer protection provisions (including a fair allocation of liability).
A market-led approach, as described in this paper, would keep the financial sector moving towards an European data economy, while helping avoid further asymmetries with other sectors. It would also be consistent with the recent EU proposals on data sharing (Data Act and Data Governance Act), which, except for a specifically defined set of actors and/or datasets (e.g. IoT data), aim to facilitate voluntary data sharing between firms. As part of the same EU Strategy on Data, the Open Finance Framework should follow a similar approach, thus being a voluntary and facilitating framework.
The EBF also notes the report on Open Finance of the European Commission’s Expert Group on the Financial Data Space and takes the opportunity to comment on some of the views therein.
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For more information please contact:
Alexandra Maniati
Senior Director, Innovation & Cybersecurity, a.maniati@ebf.eu
Liga Semane
Policy Adviser – Innovation & Data, l.semane@ebf.eu
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About the EBF:
The European Banking Federation is the voice of the European banking sector, bringing together national banking associations from across Europe. The federation is committed to a thriving European economy that is underpinned by a stable, secure and inclusive financial ecosystem, and to a flourishing society where financing is available to fund the dreams of citizens, businesses, and innovators everywhere.
The post EBF views on Open Finance: towards a fit-for-market approach appeared first on EBF.
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BRUSSELS, 6th March 2023 – Following the publication by the European Commission of the proposal for a Regulation on horizontal cybersecurity requirements for products with digital elements, i.e. the Cyber Resilience Act (CRA), the European Banking Federation (EBF) presents some key considerations of the European banking sector on the published text.
The EBF acknowledges that rules on digital products would contribute to achieving higher cybersecurity levels throughout the entire supply chain. Users of such products, both consumers and business -including banks- would benefit from minimum requirements that would apply to vendors of those products.
However, the EBF is of the view that the financial sector should be excluded from the scope of the CRA proposal, as the recently adopted DORA Regulation provides an extensive cybersecurity and digital operational resilience framework for banks which is equivalent -if not more detailed and comprehensive- to the one introduced by the CRA. It is therefore crucial that DORA should function as lex specialis to the CRA and this should be explicitly mentioned in the proposal’s text, in order to avoid confusion, duplications and overlaps in the rules and requirements on the EU level.
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For more information please contact:
Alexandra Maniati
Senior Director, Innovation & Cybersecurity, a.maniati@ebf.eu
Dimos Karalis
Policy Adviser – Cybersecurity & Innovation, d.karalis@ebf.eu
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About the EBF:
The European Banking Federation is the voice of the European banking sector, bringing together 32 national banking associations in Europe that together represent a significant majority of all banking assets in Europe, with 3,500 banks – large and small, wholesale and retail, local and international – while employing approximately two million people. EBF members represent banks that make available loans to the European economy in excess of €20 trillion and that reliably handle more than 400 million payment transactions per day. Launched in 1960, the EBF is committed to a single market for financial services in the European Union and to supporting policies that foster economic growth.
The post EBF key considerations following the publication of the Cyber Resilience Act (CRA) proposal appeared first on EBF.
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