DFC

5257 bookmarks
Newest
Stablecoins: Convergent Rules on the Surface, Divergent Regimes in Practice (CEPS)
Stablecoins: Convergent Rules on the Surface, Divergent Regimes in Practice (CEPS)
This CEPS paper compares seven stablecoin regimes that look convergent on the surface—full or near‑full backing in liquid, segregated reserves, exclusion of algorithmic designs, and prohibition of yield—but in practice create divergent regimes through supervisory interpretation and reserve-allocation choices. It analyzes three main structural elements: treatment of foreign‑issued tokens, reserve composition, and whether to anchor stablecoins in existing law (for example, electronic money or payment instruments) or create sui generis categories. These choices reshape risk‑sharing and market structure by determining where the stablecoin float sits (commercial bank deposits, short‑dated sovereign debt, central bank balances, or trusts) and who captures seigniorage, as well as how far global fungibility survives under graduated market‑access models versus de facto exclusion. Key unresolved issues are the lack of a workable mutual‑recognition architecture, the under‑acknowledged redistributive nature of reserve rules, and the still‑implicit policy choice about whether stablecoins are payment money or investment instruments, given universal yield prohibitions. [CEPS]
·ceps.eu·
Stablecoins: Convergent Rules on the Surface, Divergent Regimes in Practice (CEPS)
Georgia Central Bank Update on CBDC Plans (NBG)
Georgia Central Bank Update on CBDC Plans (NBG)
[August 7, 2025] In the 2025 edition of its 2023-2025 Supervisory Strategy, the National Bank of Georgia (NBG) provided an update on its plan to initiate a digital GEL central bank digital currency (CBDC) pilot program. In collaboration with a technology partner selected by the NBG, practical use cases identified by the NBG will be tested, after which the digital GEL will be implemented in a real environment based on the insights gained from the pilot program. In November 2023, the NBG had selected Ripple as its digital GEL technology partner following a competition process, but given the long time between that announcement and the August 2025 update, one has to wonder whether Ripple is still in the picture. [NBG]
·web.archive.org·
Georgia Central Bank Update on CBDC Plans (NBG)
The Strategic Case for the Digital Euro (SAFE)
The Strategic Case for the Digital Euro (SAFE)
In a Sustainable Architecture for Fincne in Europe (SAFE) policy letter, T. Berg, V.R. Lindner, and D. Rößler argue that the digital euro retail central bank digital currency (CBDC) operated in a two‑tier structure with both online and offline functionality, should be treated as critical European payment infrastructure rather than a new payment product, to secure monetary sovereignty and reduce dependence on non‑European card networks and dollar‑denominated stablecoins. It critiques narratives that private solutions such as stablecoins and the Wero scheme could substitute for a digital euro, emphasizing that they cannot deliver universal acceptance, legal certainty, competitive neutrality, and sovereign control over settlement infrastructure. [SAFE]
·safe-frankfurt.de·
The Strategic Case for the Digital Euro (SAFE)
Tether and the Government of Georgia to Launch GEL₮ (Tether)
Tether and the Government of Georgia to Launch GEL₮ (Tether)
Tether plans to launch GEL₮, a Georgian Lari stablecoin, with the support of the Government of Georgia, under Georgia’s new stablecoin framework, which was designed to achieve substantive compatibility with emerging U.S. stablecoin regulation. GEL₮ is intended to support cross-border commerce and domestic digital payments, but key design details remain undisclosed, including the legal issuer, reserve location, redemption mechanics and launch timeline. The initiative aligns with the National Bank of Georgia’s March rules on “stable virtual assets” that apply to registered virtual asset service providers and aim to improve consumer protection and risk management. GEL₮ would join Tether’s growing set of non-dollar stablecoins alongside Mexican peso and offshore yuan tokens and a planned United Arab Emirates dirham token. [Tether]
·tether.io·
Tether and the Government of Georgia to Launch GEL₮ (Tether)
Money Uniformity and Retail CBDC (CEPR)
Money Uniformity and Retail CBDC (CEPR)
The Centre for Economic Policy Research (CEPR) published a paper by A. Milne, D. Niepelt and D. Skeie synthesizes research on whether and how a retail central bank digital currency (CBDC) can support “uniformity” or singleness of money across central bank liabilities, bank deposits, and private digital monies, especially stablecoins. It compares architectures—retail CBDC, tokenized deposits, and regulated stablecoins—and argues that uniformity is an equilibrium property requiring elastic, near-par convertibility, not a specific technology. It highlights design tensions around CBDC holding limits, remuneration, and programmability, stresses that CBDC is not strictly necessary for singleness but can reinforce the unit of account and monetary sovereignty, and leaves unresolved which convertibility margins must remain unconstrained in stress and how far retail public money causally underpins trust in private money. [CEPR]
·cepr.org·
Money Uniformity and Retail CBDC (CEPR)
Agentic Commerce and the Battleground for New Payments Infrastructure (BoE)
Agentic Commerce and the Battleground for New Payments Infrastructure (BoE)
A post on the Bank of England (BoE) "Bank Underground) blog explores how agentic commerce could reshape future payment design. Agentic commerce shifts retail payments from human‑initiated, low‑frequency transactions to AI‑initiated, high‑frequency, low‑value flows that span multiple payment rails. The post maps four emerging layers—agent communication, payment initiation, identity assurance and settlement rails—but stresses current standards are proprietary and non‑interoperable across card, account‑to‑account and blockchain systems. This fragmentation creates design problems around consistent human‑agent identity, support for micro‑payments at scale, and enforcing deterministic legal requirements in probabilistic AI environments. The post argues for an abstraction layer that lets agents complete checkouts regardless of rail, and raises the policy question of whether a central authority should mandate common identity and interoperability standards for agentic payments, while remaining technologically neutral across cards, stablecoins and tokenized deposits. [BoE]
·bankunderground.co.uk·
Agentic Commerce and the Battleground for New Payments Infrastructure (BoE)
Synchronisation (BoE)
Synchronisation (BoE)
The Bank of England (BoE) is developing a synchronisation capability for its renewed Real-Time Gross Settlement service (RT2) to enable atomic settlement—where central-bank–money transfers occur if and only if corresponding asset transfers on external ledgers also complete. This two-stage earmark-and-release process locks funds in RT2 accounts and assets on external ledgers until all conditions are met, then releases them simultaneously to settle transactions atomically. Third-party synchronisation operators will orchestrate these transactions by connecting RT2 (via a new interface) with external asset ledgers, end-customers, and RTGS account holders; operators themselves need not hold central-bank money or RTGS accounts. The Bank is running a Synchronisation Lab during 2026 to test design options and allow prospective operators to demonstrate use cases such as foreign-exchange settlement, tokenised securities, and property transactions. (BoE)
·web.archive.org·
Synchronisation (BoE)
Extending RTGS and CHAPS Settlement Hours – Next Steps Towards Near 24x7 Settlement (BoE)
Extending RTGS and CHAPS Settlement Hours – Next Steps Towards Near 24x7 Settlement (BoE)
The Bank of England (BoE) published a consultation paper on extending its RTGS and CHAPS settlement hours, building on the already‑agreed 01:30–18:00 weekday window from September 2027, with a phased move toward “near 24x7” operation. It proposes first adding Sunday and selected UK bank‑holiday settlement (around 01:30–18:00, no earlier than 2029), then lengthening weekday and one weekend‑day hours to a 22x6 regime from 2031, while seeking views on a longer‑term 22x7 versus 23.5x7 end‑state. The Bank frames extensions as enabling a multi‑money ecosystem (including tokenised deposits and stablecoins), supporting the G20 cross‑border payments agenda via a larger global settlement window, and improving liquidity and risk management through more frequent settlement and better use of prefunding. It highlights operational, legal, liquidity‑facility, staffing, and change‑management constraints and invites industry feedback on use cases, sequencing, and design choices by 10 August 2026. [BoE]
·web.archive.org·
Extending RTGS and CHAPS Settlement Hours – Next Steps Towards Near 24x7 Settlement (BoE)
Despite Trump’s Pledge, a CBDC is Being Explored Behind Closed Fed Doors, Says Former CTFC Chair (CoinDesk)
Despite Trump’s Pledge, a CBDC is Being Explored Behind Closed Fed Doors, Says Former CTFC Chair (CoinDesk)
Former CFTC Chairman Timothy Massad argues that, despite public denials, the Federal Reserve is in practice working on central bank digital currency (CBDC) type infrastructure, including through its participation in the Bank for International Settlements’ Project Agora. He characterizes U.S. involvement in such tokenized wholesale settlement experiments as evidence that officials are effectively developing CBDC rails “behind closed doors,” even while insisting that a retail digital dollar is not on the Fed’s agenda. In a clumsily written January 2025 Executive Order, U.S. President Trump prohibited the Fed from undertaking any action to establish, issue, or promote CBDCs, and ordered the termination of any ongoing plans or initiatives related to the creation of a CBDC. Unfortunately the Order encompassed both retail and wholesale CBDC which, in theory, means that Fed should shut down all account services it provides to U.S. banks. The language defining the type of CBDC to be banned in the Anti-CBDC Surveillance State Act that is currently bouncing around the U.S. Congress is more refined, focusing on CBDC that is widely available to the public. [CoinDesk]
·coindesk.com·
Despite Trump’s Pledge, a CBDC is Being Explored Behind Closed Fed Doors, Says Former CTFC Chair (CoinDesk)
ECB Receives over 50 PSP Applications to Participate in Digital Euro Pilot (ECB)
ECB Receives over 50 PSP Applications to Participate in Digital Euro Pilot (ECB)
The European Central Bank(ECB) announced that it has received over 50 applications to participate in the twelve-month digital euro pilot scheduled to begin in the second half of 2027. Applications came from both acquiring and distributing payment service providers (PSPs) and small and large banks from across the euro area. It will use a non‑legal‑tender “beta” digital euro in a controlled environment to test technical, operational and user experience (UX) aspects of P2P (online/offline) and P2B payments at physical and online points of sale. PSPs will onboard users and merchants without remuneration. The ECB will now review the applications and announce the outcome in July. [ECB via LinkedIn] See also: https://www.ecb.europa.eu/euro/digital_euro/pilot/html/index.en.html
·linkedin.com·
ECB Receives over 50 PSP Applications to Participate in Digital Euro Pilot (ECB)
EC Seeks Feedback on the Functioning of EU Crypto-Asset Rules (EC)
EC Seeks Feedback on the Functioning of EU Crypto-Asset Rules (EC)
The European Commission (EC) launched a consultation to evaluate whether the Markets in Crypto‑Assets Regulation (MiCA), implemented in 2024, remains fit for purpose given rapid changes in digital asset markets and global regulation. It seeks feedback on MiCA’s core building blocks, including rules for crypto‑assets, asset‑referenced tokens, e‑money tokens, their issuers and service providers. There is an open public consultation and a more technical targeted consultation for industry and public authorities. Responses are invited until August 31, 2026 and will inform future European Union (EU) policy on digital assets. [EC]
·finance.ec.europa.eu·
EC Seeks Feedback on the Functioning of EU Crypto-Asset Rules (EC)
Euro Stablecoin Project Qivalis Gains Backing of 37 Banks (FT)
Euro Stablecoin Project Qivalis Gains Backing of 37 Banks (FT)
The Financial Times (FT) reported that Amsterdam-based Qivalis has secured support from 37 European banks, including BNP Paribas, ING, UniCredit, ABN Amro, Intesa Sanpaolo and Rabobank, for a euro-denominated stablecoin aimed at reducing dollar dominance in crypto and supporting cross-border and “atomic” settlement. The consortium seeks regulatory approval from De Nederlandsche Bank in the second half of 2026 and plans to launch at scale to compete with small existing euro stablecoins such as Circle’s EURC, Société Générale’s Forge and Eurite, in a market where almost the entire 320 billion dollars of stablecoin float is dollar-based. https://www.linkedin.com/feed/update/urn:li:activity:7462774365638553600/ [FT]
·ft.com·
Euro Stablecoin Project Qivalis Gains Backing of 37 Banks (FT)
The Costs of Payment Methods in the Retail Sector (Bundesbank)
The Costs of Payment Methods in the Retail Sector (Bundesbank)
Deutsche Bundesbank published a study that quantifies retailer-side resource costs of cash, national debit (girocard), and international card schemes in German brick-and-mortar retail using time-and-motion data and a 268-firm cost survey. The study finds cash cheapest per transaction (0.43 euro) but costly relative to turnover (2.3 percent), while girocard minimizes cost as a share of turnover (0.8 percent) and international debit and credit cards are materially more expensive, driven by higher fee components. Results imply strong scale economies (lower unit costs for larger merchants), structurally higher burdens for small firms and food service, and policy relevance for interchange regulation, instant-credit-transfer-based schemes, and digital euro design as tools to discipline international card pricing and preserve a viable cash infrastructure. [Bundesbank]
·bundesbank.de·
The Costs of Payment Methods in the Retail Sector (Bundesbank)
The Future of Tokenisation – A Joint Vision from the BOE and FCA for Wholesale Markets (UK FCA)
The Future of Tokenisation – A Joint Vision from the BOE and FCA for Wholesale Markets (UK FCA)
The Financial Conduct Authority (FCA) and Bank of England issue a call for input on a joint roadmap to scale tokenisation across U.K. wholesale markets, with responses due 3 July 2026. They seek views on: where tokenisation delivers the highest marginal benefit; whether their proposed regulatory principles and priority areas are appropriate; how far existing rules impede tokenised issuance, trading, and settlement; and where interoperability (domestic and cross‑border) standards matter most for firms. The paper also requests detailed feedback on safeguarding frameworks for specified investment cryptoassets, including how to structure client‑asset protection, legal title, and fungibility when tokenised and non‑tokenised forms coexist. Finally, they ask industry to comment on the proposed sequencing and content of initiatives (Digital Securities Sandbox, prudential alignment, central bank money settlement, DIGIT pilot), and to flag concrete product pipelines or experiments where early supervisory engagement would unlock investment. [UK FCA]
·fca.org.uk·
The Future of Tokenisation – A Joint Vision from the BOE and FCA for Wholesale Markets (UK FCA)
RBA and DFCRC Release Findings From Project Acacia (RBA)
RBA and DFCRC Release Findings From Project Acacia (RBA)
The Reserve Bank of Australia (RBA) and Digital Finance Cooperative Research Centre (DFCRC) published a report detailing the findings of Project Acacia, which examined how innovations in digital money and settlement infrastructure could support the development of wholesale tokenized asset markets in Australia. They tested 20 wholesale tokenized asset use cases across fixed income, repos, and managed funds. Atomic settlement, programmability, and composability benefits were demonstrated across asset classes, estimating A$24 billion in annual economic gains. Pilot wholesale central bank digital currency (CBDC) proved feasible on third-party distributed ledger technology (DLT) platforms but raised governance, finality, and liquidity fragmentation challenges. Real-time gross settlement (RTGS) synchronization mechanisms delivered comparable benefits at lower complexity. Deposit tokens are assessed as more suitable than stablecoins for wholesale settlement given prudential backing, though interbank transferability and deposit insurance scheme coverage require legislative clarification. They identified legal and regulatory uncertainty, coordination gaps, and interoperability as scaling barriers, motivating a post-Acacia program including a digital financial market infrastructure sandbox, expanded deposit token work, and RBA settlement infrastructure consultations. [RBA]
·rba.gov.au·
RBA and DFCRC Release Findings From Project Acacia (RBA)
The Moneyness of Stablecoins (Odinet Tosado and Yadav)
The Moneyness of Stablecoins (Odinet Tosado and Yadav)
In a forthcoming Yale Law Journal article, C. Odinet, A. Tosado and Y. Yadav develop a four-element legal framework for "moneyness" and apply it to stablecoins before and after the U.S. GENIUS Act. Moneyness requires conjunctive adequacy across the nature and substance of the claim, safety, discharge capacity, and negotiability, with deficiency in any element undermining the whole. The authors deconstruct the contractual and reserve structures of dominant issuers (Tether and Circle) to show that redemption is conditional and limited by privity, holders lack proprietary interests in backing reserves, and bankruptcy treatment remains ambiguous. These deficiencies matter because they force holders to assess both issuer and custodian solvency, undermine finality in payment discharge, and expose claimants to credit risk incompatible with money's core function of circulating at par without investigation. The GENIUS Act of 2025 mandates reserve requirements and redemption frameworks but fails to resolve key vulnerabilities. It compels reliance on third-party custodians rather than Federal Reserve accounts, contains internally contradictory bankruptcy provisions, and provides no finality rules specifying when transfers extinguish obligations. The authors propose five targeted reforms; Federal Reserve master account access for qualifying issuers, industry-funded insurance, a secured interest regime replacing flawed bankruptcy rules, statutory finality provisions for both direct and intermediated transfers, and express tokenization of redemption rights. [Odinet Tosado and Yadav]
·andreatosato.com·
The Moneyness of Stablecoins (Odinet Tosado and Yadav)
The Evolution and Future of Money in Canada (Benjamin Geva)
The Evolution and Future of Money in Canada (Benjamin Geva)
The University of Toronto Press published a book by lawyer and law professor Benjamin Geva on the evolution of money from barter to coins, banknotes, scriptural money, electronic money, and digital currencies. Of course, this has all been covered elsewhere, but what makes this book unique, is the deep, yet very readable, focus on legal aspects, particularly from the perspective of the Canadian monetary regime. The latter includes a thorough history going back to New France's use of agricultural commodities and playing cards as money, to Bank of Canada explorations of both retail and wholesale central bank digital currencies (CBDCs). The book also extensively covers the legal aspects of virtual currencies, particularly stablecoins, and digital bearer instruments (DBIs). Interestingly, Geva makes a case for DBIs as the optimal Canadian retail CBDC as a path of least resistance through the Bank of Canada and Currency Acts, plus several architectural, economic, and privacy advantages over account-based platforms. He also singles out synthetic CBDCs as an optimal solution for achieving uniformity of money in a framework allowing competition. The book ends by addressing the challenges faced by the current monetary system as the digital age continues to evolve and become more decentralized. [University of Toronto Press]
·utppublishing.com·
The Evolution and Future of Money in Canada (Benjamin Geva)
A Modified Gresham's Law of Stablecoins (Cecchetti and Schoenholtz)
A Modified Gresham's Law of Stablecoins (Cecchetti and Schoenholtz)
Stephen Cecchetti and Kermit Schoenholtz argue that a modified Gresham’s Law in stablecoins implies that regulation targeting issuers and intermediaries, rather than the tokens themselves, will systematically favor pseudonymous, weakly supervised instruments. They emphasize that Bank Secrecy Act–style rules and recent legislative proposals continue to rely on know‑your‑customer at entry and exit points, leaving cross‑border, self‑custodied dollar tokens largely outside effective control and limiting the impact of wallet blacklisting and analytics. This matters because as long as tokens function as bearer‑like digital cash, criminals can arbitrage differences in national enforcement, making stricter regulation of compliant issuers perversely strengthen “bad” offshore rivals. The authors therefore highlight the need for “compliance‑by‑design” instrument architectures and potentially new legal categories that embed screening and traceability into the token layer itself while preserving some privacy, raising unresolved questions about feasibility, governance, and the required degree of international regulatory coordination. [Cecchetti and Schoenholtz]
·moneyandbanking.com·
A Modified Gresham's Law of Stablecoins (Cecchetti and Schoenholtz)
28th Meeting of the Digital Euro Scheme Rulebook Development Group (ECB)
28th Meeting of the Digital Euro Scheme Rulebook Development Group (ECB)
The European Central Bank (ECB) posted the outcome of the 28th Digital Euro Rulebook Development Group meeting (10 March 2026) reviewed work on ecosystem fit, the digital euro app, user journeys and minimum user-experience requirements, and additional clarifications on offline functionality, including thresholds, recovery and terminal readiness. It discussed risk management (including financial crime, privacy, reputational and multi-account risks), reuse of PCI and other security standards, and updates to front- and back-end implementation specifications, including alignment with ISO 20022 and Berlin Group structures and separation of authorisation and settlement. The group launched a new terminal/ATM workstream (G5), considered rulebook v0.9 consultation updates, and addressed scheme-wide timeouts and potential deep-dive sessions. [ECB]
·ecb.europa.eu·
28th Meeting of the Digital Euro Scheme Rulebook Development Group (ECB)
27th Meeting of the Digital Euro Scheme Rulebook Development Group (ECB)
27th Meeting of the Digital Euro Scheme Rulebook Development Group (ECB)
The European Central Bank (ECB) posted the outcome of the 27th Digital Euro Scheme Rulebook Development Group meeting (27 January 2026). It was agreed to launch two new workstreams on terminal/ATM providers and on the certification and approval framework, reviewed the ECB’s proposed offline digital euro solution, and discussed risk management including use of a digital euro fraud risk score and alignment with the Payment Services Regulation. The group noted progress on cooperation with standardisation bodies (Nexo, ECPC, Berlin Group, EPC), handling of comments on rulebook v0.9, preparation of a limited digital euro pilot with selected payment service providers and merchants, and forthcoming batches of minimum user experience requirements and implementation specifications. [ECB]
·ecb.europa.eu·
27th Meeting of the Digital Euro Scheme Rulebook Development Group (ECB)
2026 Diary of Consumer Payment Choice (FRB)
2026 Diary of Consumer Payment Choice (FRB)
The U.S. Federal Reserve Board (FRB) 2026 Diary of Consumer Payment Choice finds U.S. consumer payment patterns broadly stable over the past three years, with cash remaining the third most used instrument after debit and credit cards, which together account for about two-thirds of payments. Consumers average 47 payments per month (16 credit, 15 debit, 6 cash), and 76% carry cash daily while 45% hold additional “store-of-value” cash, underscoring its backup and savings role. Cash use is higher among lower-income, older, and rural consumers, and four in five adults used cash in the past 30 days, with 90% intending to keep using it. [FRB]
·frbservices.org·
2026 Diary of Consumer Payment Choice (FRB)
Stablecoins vs. Tokenized Deposits: The Narrow Banking Debate Revisited (FRBNY)
Stablecoins vs. Tokenized Deposits: The Narrow Banking Debate Revisited (FRBNY)
[February 2026] The Federal Reserve Bank of New York (FRBNY) published a paper by X. Huang and T. Keister that uses a new monetarist general equilibrium model to examine how stablecoins backed by safe assets versus tokenized bank deposits affects interest rates, investment, and welfare. Deposit insurance creates a risk-shifting incentive for banks, corrected by a regulatory tax on deposit issuance. Stablecoin issuers, being competitive and narrow-balance-sheet, face no such tax and earn zero profit in equilibrium. When stablecoins compete, they bid deposit rates upward toward the safe asset return, raising banks' funding costs and crowding out lower-return risky lending; when prohibited, deposit rates fall and banks expand credit but may over-invest in risky projects. The paper shows that allowing only tokenized deposits raises welfare when regulatory costs are high and moral hazard is limited, whereas allowing only stablecoins is preferable when moral hazard is severe and regulation insufficient, and competition between the two is optimal in intermediate cases — a result the authors connect explicitly to historical narrow banking debates. [FRBNY]
·newyorkfed.org·
Stablecoins vs. Tokenized Deposits: The Narrow Banking Debate Revisited (FRBNY)
DTCC Targets Full Launch of Tokenization Service by October (Blockstories)
DTCC Targets Full Launch of Tokenization Service by October (Blockstories)
DTCC will begin live production trades for its tokenization service in July 2026 with a 50‑plus firm working group, targeting full launch by October. Using the ComposerX platform, DTCC will issue onchain “tokenized entitlements” that mirror economic rights in securities held in traditional custody, extending its central securities depository role rather than tokenizing the underlying instruments. Tokens, initially on Canton Network, will be multi‑chain via a mint‑and‑burn model, with no bridges and a single CUSIP-based record to preserve netting and liquidity. DTCC is deliberately avoiding full atomic settlement, arguing current 98% netting efficiency makes immediate migration uneconomic, and is also preparing a Collateral AppChain for 24/7 tokenized collateral management by Q4 2026. https://www.dtcc.com/news/2026/may/04/dtcc-advances-development-of-new-tokenization-service [Blockstories]
·blockstories.io·
DTCC Targets Full Launch of Tokenization Service by October (Blockstories)
Digital Shekel Project: Progress Report 2025 (Bank of Israel)
Digital Shekel Project: Progress Report 2025 (Bank of Israel)
The Bank of Israel published an update on its digital shekel project that is progressing toward an end‑2026 issuance decision, concluding that expected macroeconomic benefits are likely to exceed the associated costs. The analysis found that disintermediation risk is low under appropriately calibrated holding limits, with policy rate cuts and liquidity injections (via short‑term Bank of Israel bill redemptions) sufficient to offset deposit outflows except under extreme scenarios. A decentralized supervisory model is proposed, with existing financial regulators overseeing their respective digital shekel participants under a uniform Bank of Israel rulebook. A unified multipurpose infrastructure for retail and wholesale use is found technologically feasible and preferable to separate systems. Open questions include whether the digital shekel should be remunerated, offline payment double‑spend prevention, and retail‑versus‑wholesale sequencing. In addition, a quantitative survey of small businesses found that only one‑fifth expressed interest in using digital shekels, citing satisfaction with existing digital payment methods, although they indicated general interest in a digital shekel if it were to offer lower fees than current digital payment methods. A qualitative survey of large corporations also found lukewarm interest in using a digital shekel, with respondents mainly viewing it as potentially relevant for internal settlement and treasury operations rather than for customer‑facing retail payments, and stressing the importance of compatibility with existing systems. [Bank of Israel]
·boi.org.il·
Digital Shekel Project: Progress Report 2025 (Bank of Israel)
eCurrency Launches ISO 20022 Compliant CBDC-to-RTGS Implementation (PR Newswire)
eCurrency Launches ISO 20022 Compliant CBDC-to-RTGS Implementation (PR Newswire)
eCurrency has productized an ISO 20022‑compliant interface between its central bank digital currency (CBDC) platform and a real‑time gross settlement (RTGS) system, now live at the Bank of Jamaica, enabling real‑time CBDC issuance, settlement, and lifecycle management over standard RTGS messaging rails. The implementation embeds the eCurrency retail CBDC platform as a participant in a Montran‑type RTGS environment, using ISO 20022 messages as the interface layer for issuance, redemption, and high‑value CBDC funding movements. In structural terms, the RTGS system continues to operate as the central bank’s settlement asset ledger and queue manager, while the CBDC platform manages retail‑level token creation, destruction, and lifecycle. RTGS accounts are debited or credited in real time when CBDC is issued to, or redeemed from, intermediaries, with those events triggered and synchronized via ISO 20022 messages rather than proprietary APIs. [PR Newswire]
·prnewswire.com·
eCurrency Launches ISO 20022 Compliant CBDC-to-RTGS Implementation (PR Newswire)
BOE DLT Innovation Challenge 2025: Final Report (BOE)
BOE DLT Innovation Challenge 2025: Final Report (BOE)
The Bank of England (BOE) reported on explorations, carried out in September–October 2025 with nine firms, to see if wholesale central bank money can be transacted and settled on an external programmable ledger not controlled by the central bank. It concluded that DLT can technically speed wholesale settlement and improve throughput but only by accepting material trade‑offs in finality, governance, and resilience. Designs that deliver faster, more “deterministic” settlement tend to shift risk and trust assumptions, weakening decentralization or operational robustness relative to established real‑time gross settlement systems. Scalability enhancements add architectural complexity and create new dependencies that interact negatively with control and resilience requirements. Interoperability solutions with other DLT and legacy systems rarely eliminate trust or operational dependencies; instead they reallocate them across networks or third parties, including off‑chain components for permissionless ledgers. Overall, the trials suggest no dominant DLT architecture for wholesale settlement and frame the policy problem as one of choosing which trade‑offs in speed, control, and governance are acceptable. Further targeted DLT experiments are planned for 2026. [BOE]
·bankofengland.co.uk·
BOE DLT Innovation Challenge 2025: Final Report (BOE)
DTCC adopts Chainlink as official data infrastructure for Collateral AppChain (Finextra)
DTCC adopts Chainlink as official data infrastructure for Collateral AppChain (Finextra)
DTCC will use Chainlink’s Runtime Environment and data standard as the data and orchestration layer for its Collateral AppChain, a shared distributed-ledger platform for collateral management. The integration is intended to link asset prices, valuations and collateral movements and to automate eligibility, valuation, margining, optimization and settlement workflows across participants, with go-live targeted for Q4 2026. [Finextra]
·finextra.com·
DTCC adopts Chainlink as official data infrastructure for Collateral AppChain (Finextra)
The GENIUS Act's "Interest" Prohibition: Evidence of Regulatory Arbitrage in Digital Asset Markets (SSRN)
The GENIUS Act's "Interest" Prohibition: Evidence of Regulatory Arbitrage in Digital Asset Markets (SSRN)
[January 2026] Marquette University's David Krause argues that the Guiding and Establishing National Innovation for U.S. Stablecoins (GENIUS) Act’s prohibition on “interest or yield” has been functionally nullified by intermediated distribution of USDC rewards via Coinbase. The paper shows that Coinbase USDC “rewards” track 3‑month Treasury bill yields with 98.7% correlation and about 95.6% pass‑through, leaving a stable roughly 20–25 basis point intermediation spread, and that enactment of the Act in July 2025 produces no statistically significant structural break in this relationship. This implies that prohibition‑only drafting around “interest” and “holders” is easily arbitraged by routing reserve income through exchange “distribution fees,” leaving the economic substance of a yield‑bearing instrument intact and re‑raising Howey and Reves securities classification risks for yield‑enhanced stablecoins. Krause proposes instead principles‑based reforms such as safe‑harbor yield bands, mandatory reserve‑income disclosure, and marketing limits, while highlighting unresolved questions on cross‑platform behavior, contract terms between issuers and exchanges, and robustness across interest‑rate cycles. [SSRN] See also: https://www.promarket.org/2026/03/11/regulatory-attempts-to-ban-stablecoin-yields-cannot-compete-with-economics/
·papers.ssrn.com·
The GENIUS Act's "Interest" Prohibition: Evidence of Regulatory Arbitrage in Digital Asset Markets (SSRN)
Flight to Safety Evaluating Stablecoin’s Role as a Safe-Haven Asset in DeFi Markets (Philadelphia Fed)
Flight to Safety Evaluating Stablecoin’s Role as a Safe-Haven Asset in DeFi Markets (Philadelphia Fed)
The Federal Reserve Bank of Philadelphia published research that used on-chain wallet data, event studies, and nonlinear volatility models to assess whether Tether (USDT) functions as a flight-to-safety asset for Bitcoin (BTC) and Ethereum (ETH) holders during stress periods over 2020–2024. USDT serves as a retail-driven liquidity channel on Ethereum—small wallet holders display consistent defensive reallocation, particularly following the China crypto ban, FTX collapse, and SVB failure—whereas its role on the Bitcoin network is more muted and transactional; Wrapped Bitcoin (WBTC) shows stronger flight evidence than native BTC, confirming that USDT's function is network-dependent. Large wallet holders on Ethereum exhibit profit-maximizing rather than safety-seeking behavior, and results are sensitive to the volatility measure and model specification used. Hence, treating USDT as a uniform instrument for oversight is systematically miscalibrated—chain-specific and investor-type-specific regulation is warranted, with direct implications for the GENIUS Act and MiCA's redemption-at-par requirement. [Philadelphia Fed]
·philadelphiafed.org·
Flight to Safety Evaluating Stablecoin’s Role as a Safe-Haven Asset in DeFi Markets (Philadelphia Fed)
CBDC From Global Challenges to Implementation in Kazakhstan (NPCK)
CBDC From Global Challenges to Implementation in Kazakhstan (NPCK)
The National Payment Corporation of Kazakhstan (NPCK) published a survey of global central bank digital currency (CBDC) implementation experience to frame Kazakhstan's Digital Tenge rollout, arguing that a phased, programmability-first approach centered on government-to-business use cases can overcome five identified adoption barriers: low public awareness, high bank integration costs, uncertain banking-sector benefits, distributed ledger technology scalability limits, and competition from established payment instruments. For institutional design, the report advocates a two-tier model (central bank issues, commercial banks and fintechs distribute), holding limits and a reverse-waterfall mechanism to contain deposit outflow risk, and non-DLT distributed databases for high-volume retail transactions. The Kazakhstan-specific case emphasizes automated VAT refunds, targeted budget fund marking, and agricultural payment escrow as priority use cases. [NPCK]
·npck.kz·
CBDC From Global Challenges to Implementation in Kazakhstan (NPCK)