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Heralding a new wave in crypto asset custody services.
The Office of the Comptroller of the Currency (OCC) released Interpretive Letter #1170 on July 22, 2020, authorizing “national banks” and federal savings associations under its supervision to provide crypto asset custody services to their customers. The letter also affirmed such banks to provide their services to lawful crypto asset businesses. These clarifications are crucial in providing US banks with the confidence to better integrate crypto assets into the US financial sector.
Private keys granting access to crypto asset portfolios are stored in a “wallet” that secures it from third party discovery. These wallets can be “hot” (connected to the internet thus more liquid but susceptible to hacking) or “cold” (liquidation takes more time but completely offline - most secure method).
• The acceptance procedure for custodians should provide sufficient review of the customer’s needs and wants while considering the operational needs of the account
• Assessment of the custodian’s expected duties to check they are within its capabilities and are compliant with all applicable laws and regulations
• Understanding of risks of crypto assets and that different crypto currencies might require different risk management procedures as they are subject to different OCC and non-OCC regulations
• Due diligence process including comprehensive review of compliance with AML rules
Regulatory stamp of approval: The publishing of this letter by the OCC is evidence of their detailed understanding of how cryptocurrencies and crypto custody work, as well as the challenges faced by crypto companies in obtaining traditional banking services. This sets an important precedent for more cautious regulators to follow suit, while paving the way for a positive and progressive embrace of the crypto industry.
Heralding new investment into crypto market: As banks begin to enter the crypto custody market, such custodian services will become more common, thereby leading to cost reduction (due to increased competition) and increased investment into this space, while proliferating trust. This gives banks the unique opportunity to build technology pipelines for more customers to be able to access their crypto assets more expediently. Moreover, companies previously structured as trust companies, can now be structured as banks, thereby enjoying advantages such as a direct connection to USD payment systems.
Fraud reduction by allowing big banks to service crypto companies: Formerly, Silvergate Bank was the only player in the crypto industry and was very selective in their choice of clients. A few months ago, J.P. Morgan became the only bank to provide services to crypto exchanges – Coinbase and Gemini Trust. As a result of the slow growth seen in the crypto custody industry, many companies have turned to unregulated offshore payment processors for their cash management needs. This was well evidenced in the issues surrounding the under collateralization of the stablecoin Tether (USDT) which began mainly because the issuing company could not secure a traditional banking relationship.
In the constantly changing landscape of crypto-currency regulatory guidance, Sia Partners is ready to assist our clients with their crypto-currency regulation and implementation needs with innovative and comprehensive solutions. Our crypto-currency regulatory capabilities include:
Crypto-Currency AML/BSA/KYC Policies
Relevant trainings
AML Risk Assessment for cryptocurrency firms
Implementing new procedures related to new crypto-currency usage, systems, and regulations
Cryptocurrency regulatory guidance
Assistance with Crypto-Currency related licenses and regulatory approvals
This letter provides regulatory clarity and approval around the fast-growing crypto industry, while opening the doors for expansion into a new client base, offering crypto asset banking services to their existing customers who want to get involved in crypto assets, creating new revenue streams and develop cutting edge innovative technology to service crypto asset offerings.
Daniel Connor
CEO US
+ 1 862-596-0649
Daniel.Connor@sia-partners.com
Jonathan Gold
Manager
+ 1 914-320-4039
Jonathan.Gold@sia-partners.com
Gayatri Choudhury
Junior Consultant
+ 1 929 217 2167
Gayatri.Choudhury@sia-partners.com