Crypto-assets: a new standard for banks (2024)

  • SUPERVISION NEWSLETTER

15 February 2023

Crypto-assets are subject to significant risk and boom-and-bust cycles, as the current “crypto winter” shows. They are not widely used in mainstream banking operations, yet the expansion of the crypto industry can also lead to crypto-asset risks spilling over into the banking sector. Most banks under ECB supervision have so far largely stayed away from crypto-assets, while some have explored opportunities to use distributed ledger technology (DLT) to increase efficiency, reduce costs and offer new services to clients (see the Survey on digital transformation and the use of fintech for more details). DLT has been used successfully for tokenised security issuances, such as the European Investment Bank’s issuance of digital bonds, while other initiatives are also under development. However, if a bank were to acquire exposures to crypto-assets – either directly or indirectly – they would face significant risks not specifically covered by the current prudential framework. Therefore, a conservative global minimum prudential framework is vital to protect the banking system from these risks. The finalisation of the Basel Committee on Banking Supervision’s (BCBS) standard on the prudential treatment of banks’ crypto-asset exposures marks an important milestone in this respect. It provides a harmonised international regulatory and supervisory approach to banks’ crypto-assets exposures and aims to balance responsible private sector innovation with sound bank risk management and financial stability. From a European Union perspective, the BCBS standard complements the forthcoming regulation of the crypto-asset sector through the Markets in Crypto-Asset regulation. As a next step, it will be key for the European Union and other Basel jurisdictions to transpose the Basel standard into their legislation by the 1 January 2025 deadline.

The crypto-asset concept includes a broad range of various products with different risk profiles. The BCBS standard divides crypto-assets into two groups (Figure 1).

Figure 1

Main elements for treating banks’ crypto-asset exposures

Crypto-assets: a new standard for banks (1)

Group 1 includes tokenised traditional assets and crypto-assets with effective stabilisation mechanisms (stablecoins). These crypto-assets must meet four classification conditions to ensure they pose a lower risk. These conditions include assigning the legally enforceable rights arising from the crypto-asset, ensuring that the asset’s underlying network sufficiently mitigates material risks, as well as considerations regarding money laundering and the soundness of the information and communications technology arrangements. Group 1 crypto-assets are subject to capital requirements based on the risk weights of the underlying exposures (i.e. the traditional assets) as set out in the existing Basel Framework. As an additional measure, supervisors can introduce an add-on to the capital requirement for Group 1 exposures if weaknesses in the underlying infrastructure, such as the distributed ledger technology, are observed.

Group 2 includes all crypto-assets that do not meet any of the four classification conditions, including tokenised traditional assets and stablecoins with ineffective stabilisation mechanisms and all so-termed unbacked crypto-assets such as bitcoin. As these crypto-assets pose additional and higher risks compared with Group 1 crypto-assets, they are subject to a newly prescribed conservative capital treatment with a risk weight of 1250%. However, for Group 2 crypto-assets that meet certain hedging recognition criteria, a limited degree of hedging (i.e. offsetting long and short positions) is permitted, with the capital charge applicable to the net position, and they are classified as Group 2a. These criteria include various thresholds, relating to the market capitalisation, trading volume and price observations that these crypto-assets and their related hedging instruments need to meet to be included in Group 2a.

In addition to the conservative capital treatment for Group 2 crypto-assets, the BCBS standard includes an exposure limit. This constrains the total amount of Group 2 crypto-assets a bank can hold to generally below 1% of Tier 1 capital. Once banks breach the 1% limit the more conservative Group 2b capital treatment will apply to the amount above 1%. If the 2% limit is breached, the entire Group exposures are subject to the Group 2b capital treatment to ensure banks have strong incentives to not significantly exceed the 1% threshold. This back-stop measure is a key policy tool to prevent the transmission of shocks from the crypto-asset market to the banking sector and hence mitigate future financial stability risks.

Other elements of the BCBS standard include clarity on applying the operational risk, liquidity, leverage and large exposures requirements to banks’ crypto-asset exposures, as well as rules on Pillar 3 disclosures. Moreover, the standard stresses that banks wishing to engage in crypto-related business need suitable governance and risk management arrangements. In particular, the decision to engage in such a business must be fully consistent with the bank’s risk appetite and its strategic objectives as set down and approved by the bank’s board. In addition, banks are expected to consider the crypto-related business in their stress test analysis.

Finally, one element of the BCBS standard is intended for supervisory authorities and includes rules on how to update supervisory practices to cater for the challenges posed by crypto-related operations. Supervisory authorities may use a range of powers to tackle shortcomings in bank’s risk management, from additional capital charges (Pillar 2) to imposing limits on risk taking and business operations.

Given the rapid pace of market developments, it is important to remain vigilant to the build-up and emergence of new risks. Over time, the Basel Committee will likely issue additional refinements or clarifications to the framework to ensure a consistent understanding and implementation of the standard, or to address emerging risks. In any case, banks should follow a cautious and gradual approach when opening up to these markets. The BCBS standard is not yet legally binding pending its transposition in the European Union. However, should banks wish to engage in this market, they are expected to comply with the standard and take it into account in their business and capital planning.

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Directorate General Communications

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Crypto-assets: a new standard for banks (2024)

FAQs

Why crypto will replace banks? ›

The Disruption of Cryptocurrency

They offer borderless transactions, increased security, and financial inclusion, challenging the conventional role of traditional banks. Cryptocurrencies operate on technology that eliminates the need for intermediaries, providing users with direct control over their assets.

How does cryptocurrency affect the banking industry? ›

Cryptocurrencies offer faster and cheaper cross-border transactions compared to traditional banking systems. Using cryptocurrencies, individuals and businesses can easily transfer funds across borders without the need for intermediaries or exorbitant fees.

What is the accounting standard for crypto? ›

Overview. On December 13, 2023, the FASB issued ASU 2023-08,1 which addresses the accounting and disclosure requirements for certain crypto assets. The new guidance requires entities to subsequently measure certain crypto assets at fair value, with changes in fair value recorded in net income in each reporting period.

Are banks allowed to hold crypto? ›

The existing guidance directs public companies, including banks, to count crypto they custody as liabilities on their corporate balance sheets. That means banks have to set aside assets worth a similar amount to protect against losses to comply with their capital requirements.

Will digital currency replace cash? ›

Will a U.S. CBDC replace cash or paper currency? The Federal Reserve is committed to ensuring the continued safety and availability of cash and is considering a CBDC as a means to expand safe payment options, not to reduce or replace them.

Will crypto ever replace cash? ›

It's unlikely that cryptocurrency, in its current form, will replace fiat currency in developed countries. However, it is possible in financially struggling nations.

Why are banks investing in crypto? ›

Banks with digital asset offerings gain from financial inclusion advantages and benefits, such as greater transaction speed and certainty, automation through smart contracts, enhanced security and the operational efficiencies that blockchain technology brings.

Which banks are adopting crypto? ›

JPMorgan Chase & Co., Goldman Sachs Group Inc. and other banks are experimenting with or already offering private blockchain services, a concept that strikes many crypto lovers as oxymoronic.

What are the threats that cryptocurrencies hold for banks? ›

What threats does cryptocurrency pose to banks?
  • Banks risk losing a generation of customers. ...
  • Banks risk losing an important source of inexpensive funding as over time, crypto will capture core deposits from consumers.
Sep 22, 2022

Does the IRS consider crypto an asset? ›

You may have to report transactions with digital assets such as cryptocurrency and non-fungible tokens (NFTs) on your tax return. Income from digital assets is taxable.

Is crypto a currency or an asset? ›

Cryptocurrency (or virtual currency) is likely the most well-known type of crypto asset. Cryptocurrency is a digital currency or medium of exchange. It can be used: To exchange for products or services, like fiat currency (such as Canadian dollars or US dollars)

Are crypto assets financial assets? ›

If a crypto asset provides a contractual right to receive cash or another financial instrument, it would be classified as a financial asset. See CA 2.1. 2 for the classification and measurement of crypto assets that meet the definition of a financial asset.

What do banks think of crypto? ›

Traditional financial institutions are afraid of cryptocurrency because they cannot control it. However, they see the digital writing on the virtual wall and realize they must act soon or risk being left behind.

Are banks moving to crypto? ›

But over a span of two years, the world's leading central banks have gone from skeptical to serious about a government form of digital currency. When the Atlantic Council's GeoEconomics Center began this project in 2020, thirty-five central banks were exploring a CBDC; as of today, that number is 114.

Why won't my bank let me buy crypto? ›

Some banks do not support card purchases, digital wallet and instant buys of crypto. You can check the first six digits of your card number against the list below to determine if it's supported. Cards starting with any of the six digits, shown on the list below, may not be supported.

Why is crypto better than banking? ›

Unlike traditional banks, where control and authority lie with centralized institutions, cryptocurrencies are built on blockchain technology, which allows for peer-to-peer transactions without the need for intermediaries.

Is blockchain going to replace banks? ›

Blockchain is expected to revolutionize the banking business, and it's no surprise that it is changing how customers conduct transactions. It replaces and streamlines the traditional banking processes with innovative approaches that are more secure, efficient, cost-effective, and transparent.

Why is crypto safer than banks? ›

Banks have security measures in place, but they can still be vulnerable to cyberattacks or internal errors. Cryptocurrencies use advanced encryption and decentralized ledgers. Hacking one account in a decentralized system is like trying to change a page in a thousand books stored worldwide — nearly impossible.

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