Lynn Johannson, Advisor, Sustainability and ESG
January 4th, 2024
Bank of Canada | Timothy Lane Speech at CFA Montréal FinTech RDV2020 | Feb 25, 2020
So let me now talk about some key areas where the Bank of Canada is focusing in order to adapt to this fast-moving world of payments.
First, we are working to make sure that Canadians who wish to use bank notes can continue to do so.
We are working with financial institutions to maintain a state-of-the-art distribution system for cash. This will help ensure that accepting cash remains cost-effective for merchants.
Some other jurisdictions have adopted more prescriptive approaches, including laws requiring acceptance of cash at the point of sale. These approaches have both costs and benefits that should be further examined.
A second area of focus is the Bank’s support for Payments Canada’s payment modernization efforts. The goal is to provide consumers, businesses and financial institutions with a modern, fast and convenient payment system.
One exciting component of this project is the construction of a fast, always-on payment system called Real-Time Rail (RTR).
This system is being designed with building blocks to meet consumers’ payment needs today and in the future.
Based on this, you may imagine paying for groceries as you pick them off the shelf. Or ordering and paying at your favourite shawarma truck by tapping your phone to a code on the menu.
The Bank is working with Payments Canada and stakeholders like Interac to ensure RTR is resilient and promotes competition and innovation in the Canadian payment ecosystem.
To complement RTR, the government is exploring open banking—also known as consumer-directed finance. The intent of open banking is to give customers greater control of their financial data and safe access to a wider range of financial services, while reducing costs.
This too would help foster a more innovative and competitive financial system.
The government is also looking to implement a new Retail Payments Oversight Framework that will require payment service providers to beef up their risk management practices, and better protect end-users from losses.
The Bank has been tapped as the regulatory authority to monitor compliance, including maintaining a public registry of regulated payment service providers.
A third area of focus is an international one—cross-border payments.
The Bank of Canada collaborated with the Bank of England and the Monetary Authority of Singapore to identify the “pain points” in cross-border payments.3 Work on this topic is continuing through domestic and international forums, including the G20.
It goes without saying that any improvements to moving money internationally would need to maintain vital safeguards—such as know-your-customer regulations—that detect and deter exploitation of the system for criminal or terrorist purposes.
A fourth important area of focus is private digital currencies, some of which have been touted as the answer to the challenges of cross-border payments.
While the future of Libra and other stablecoins is uncertain, private digital currencies are a global phenomenon. A global effort is required to understand the wide-ranging implications and ensure the regulatory framework is fit for purpose.
To this end, the Bank of Canada is pleased to be working with the Financial Stability Board, alongside 23 other jurisdictions, to identify supervisory and regulatory issues posed by fintech innovations.4
We are holding fast to the principles that innovation, competition and consumer choice are good, and that disruption is not the enemy.
But it is essential to understand and manage the risks to individuals, businesses and the entire financial system that arise from any product offered to the public.
All of this leads me to my final area of focus.
In the context of the issues I’ve raised today, there has been increasing discussion around a central bank digital currency (CBDC). We can think of this as a digital version of cash.
Digital currencies are designed to provide the same benefits as cash—safety, universal access, resilience, privacy and competition—but in an electronic format that could be used for online transactions or at the point of sale, using a mobile phone or a special card or device.
It would be truly equivalent to cash.
Today we have released a comprehensive document that outlines in greater detail our recommendations with respect to a CBDC.
I encourage you to visit our website and read some of our thinking, but I’ll share the highlights with you.
We have concluded that there is not a compelling case to issue a CBDC at this time. Canadians will continue to be well-served by the existing payment ecosystem, provided it is modernized and remains fit for purpose. This means that:
All this being said, the world can change very quickly. The Bank of Canada can imagine scenarios in which we would consider issuing a CBDC so we can continue to provide Canadians with trustworthy methods of payment.
One scenario would be if we ever reach the tipping point where cash could no longer be used for a sufficiently wide range of transactions.
That scenario would raise several potential concerns:
Of course, even such a shift toward a cashless society does not automatically mean the Bank would issue a CBDC. That’s a choice that Canadians and their elected representatives would need to make at the time.
A second scenario that may lead to considering a CBDC is widespread use of private digital currencies.
This could be one dominant digital currency created by a big tech company—a monopoly that would erode competition and privacy and pose an unacceptable challenge to Canadian monetary sovereignty.
We could also imagine not one, but several, private digital currencies emerging. In this case, consumers and merchants would face an assortment of different methods of payment—reminiscent of a time before the Bank of Canada was created, when the country had multiple issuers of bank notes.
In both scenarios, there would be an argument for the Bank of Canada to step in. The Bank would do this as a trusted public institution, creating an official digital currency that is designed with the interest of the public as its top priority, with no commercial motive.
This last point is important, according to a poll published a few weeks ago by the Official Monetary and Financial Institutions Forum. More than half of the people surveyed in 13 countries said they would prefer a digital currency issued by their central bank. Major internet technology companies ranked lowest in public confidence.5
Beyond this, it is central to both our monetary sovereignty and the Bank’s ability to conduct monetary policy that we preserve our Canadian dollar as the unit of account—meaning that prices are quoted in Canadian dollars. That could be challenged if a private digital currency denominated in another currency, or basket of currencies, made serious inroads.
There are many aspects to consider in this contingency planning.
How could a CBDC be integrated with other methods of payment yet be resilient so that it still works during a power failure, for example?
What business model might work? Would the Bank try to develop it mainly in-house, or would it make more sense to partner with the private sector?
How would a CBDC work for cross-border transactions?
And, perhaps most importantly, how could we ensure that Canadians could continue to transact privately for legitimate purposes, while guarding against illicit activities like money laundering, terrorist financing and tax evasion?
Answering these questions is part of our work. And we’re not alone—a recent survey by the Bank for International Settlements covering 66 central banks found that about 80 percent of them are currently engaged in CBDC work and 10 percent are likely to issue a CBDC within three years.6
We have formed a working group with the central banks of England, Japan, the European Union, Sweden and Switzerland, as well as the Bank for International Settlements. We will use this platform to share experiences as we assess potential cases for a CBDC in our home jurisdictions.
But a CBDC could only be launched successfully if Canadians want it. So we will be consulting with governments and key stakeholders in provinces and territories across Canada, like those of you in the audience today.
We’ll also consider which design features might make a CBDC attractive as payment technologies and the financial system evolve.
We will consult with payment service providers and merchants to ensure the business model is valid and roles are clear.
In addition, we are consulting with various government agencies, recognizing that many areas relevant to a CBDC are outside the responsibility of the Bank of Canada. This will include discussions on how to combine privacy with adequate safeguards against illicit use.
Another essential element is that the Bank would need proper legislative authority to issue a CBDC should the decision be made to issue one.
In our work, we will continue to take a holistic view across the whole payment ecosystem to ensure that all aspects—payment systems, cash and any future CBDC—would continue to function together to provide Canadians with the efficient, safe and secure payment services they need.
All of this will be undertaken while ensuring we manage any risks raised by a CBDC if a decision is ever taken to issue one—not just for the Bank of Canada but also for banks, payment service providers and end-users.
In conclusion, it is clear that technology is changing the world around us. And while we cannot perfectly predict the future, we can certainly plan for contingencies. This includes readying ourselves in case a decision is made some day to issue a Bank of Canada digital currency.
Some out there may question why we would even need a CBDC when so much of our money appears to flow electronically now anyway.
Let’s go back to the two scenarios I presented earlier that could warrant the launch of a CBDC.
The first is where the use of physical cash is reduced or eliminated altogether. The second is where private cryptocurrencies make serious inroads.
If either scenario came to pass, society may be well-served with a digital currency:
Our intent would not be to issue a CBDC to replace bank notes or chartered bank deposits. The public still wants both of these products, and we will support them.
In fact, we are actively planning for the design of a new $5 bank note. The Bank is in the midst of a wide consultation process to ask Canadians who they want as the portrait subject of this new bank note.
And as the world changes, the Bank will continue to fulfill its mandate to support secure, reliable and efficient payment options that benefit all Canadians.
The National Crowdfunding & Fintech Association (NCFA Canada) is a financial innovation ecosystem that provides education, market intelligence, industry stewardship, networking and funding opportunities and services to thousands of community members and works closely with industry, government, partners and affiliates to create a vibrant and innovative fintech and funding industry in Canada. Decentralized and distributed, NCFA is engaged with global stakeholders and helps incubate projects and investment in fintech, alternative finance, crowdfunding, peer-to-peer finance, payments, digital assets and tokens, blockchain, cryptocurrency, regtech, and insurtech sectors. Join Canada's Fintech & Funding Community today FREE! Or become a contributing member and get perks. For more information, please visit: www.ncfacanada.org
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