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Debevoise & Plimpton Discusses the Policy Debate over Developing a U.S. Central Bank Digital Currency

For much of the past century, consumers and commercial end users could access the Federal Reserve’s balance sheet directly in only one way—by holding physical currency or coin issued or distributed by a Federal Reserve Bank. A major drawback, however, is that Federal Reserve Bank notes and coins are bearer instruments that must be physically held and transferred in order to effect transactions. Although the United States also offers digital money in the form of deposit balances at Federal Reserve Banks, only commercial banks are directly eligible to access this money through Federal Reserve Bank master accounts.

Due to a variety of factors, including declining cash use, competitive pressure from outside the regulatory perimeter, technological innovation and increasing consumer demand for innovative payment methods following the COVID-19 pandemic, central banks, including the Federal Reserve System, are exploring a digital central bank money that could be made widely available to the general public (a “CBDC”).

As of early February, around 100 of the world’s 195 countries have been exploring a CBDC at various stages. While the vast majority of jurisdictions are still in early stages of research or in the process of developing proofs-of-concept, some jurisdictions have launched high-profile pilot programs.[1] In April 2020, China became the first major economy to pilot a digital currency that it hoped would be widely adopted by the 2022 Beijing Winter Olympics. As of February, the digital renminbi (called e-CNY) had over a hundred million individual users and billions of yuan in transactions.

The Federal Reserve has been investigating a U.S. CBDC for years, though development is still exploratory, with no immediate plans for a pilot program. In a long-awaited discussion paper published in January 2022 (the “Discussion Paper”), the Federal Reserve Board (the “FRB”) examines the pros and cons of a potential U.S. CBDC. Although the FRB is careful to disclaim that the paper “is not intended to advance any specific policy outcome” and is not “intended to signal that the Federal Reserve will make any imminent decisions about the appropriateness of issuing a U.S. CBDC,” it offers insight into what the FRB sees as potential benefits and risks of a U.S. CBDC as well as must-have features that may inform its eventual design.

Shortly after, the Federal Reserve Bank of Boston issued a paper on Feb. 3, 2022 (the “Project Hamilton White Paper”) in partnership with the MIT Digital Currency Initiative that provided results of initial design and technical research for a potential U.S. CBDC. Congress has also held numerous hearings on the values and opportunities of a CBDC for the United States.

Below, we summarize key features of the U.S. CBDC policy debate and the current state-of-progress, focusing on the Discussion Paper. We also review the factors that may impact the potential design of a U.S. CBDC and preview upcoming developments.

The FRB has requested comments on its paper by May 20, 2022 (120 days from the date of publication). We’ll be updating this post with additional details. Check back for more updates.

Discussion Paper

As mentioned above, although the FRB does not purport to advocate for a particular policy outcome or CBDC design, the Discussion Paper asserts that any U.S. CBDC must be “privacy-protected, intermediated, widely transferable and identity-verified.”

The Discussion Paper also states that the FRB does not intend to proceed with issuing a CBDC without “clear support” from the executive branch and from Congress, “ideally in the form of a specific authorizing law.”

Advantages of a U.S. CBDC

The Discussion Paper contends that a U.S. CBDC could:

Potential Risks of a U.S. CBDC

The Discussion Paper also identifies several potential risks but notes that these could be addressed by design choices, e.g., by ensuring that a U.S. CBDC is not interest-bearing, or limiting the amount of CBDC an end user could hold or the rate at which they could accumulate tokens. In particular, a U.S. CBDC:

Observations

Token-Based and Account-Based Systems

Monetary and Financial Stability Policy by Design

Role of Intermediaries

Partnerships with Academia

Other Use Cases for CBDC

Critics of the Payment System

ENDNOTES

[1]  A paper published by the International Monetary Fund in early February summarized insights, emerging trends, and policy lessons from six countries that have deployed CBDCs at various stages of development.

[2]  Although the Project Hamilton White Paper asserts that this crude characterization is “lacking and insufficient to surface the complexity of choices in access, intermediation, institutional roles, and data retention in CBDC design,” these distinctions have been adopted elsewhere and serve as a useful pedagogical framework.

This post comes to us from Debevoise & Plimpton LLP. It is based on the firm’s FinTech Blog post, “Developing a U.S. Central Bank Digital Currency: Summary of the Policy Debate,” dated February 17, 2022, and available here.

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