Editorial Analysis for 22nd October 2020

  1. Home
  2. »
  3. Editorial Analysis October 2020
  4. »
  5. Editorial Analysis for 22nd October 2020

Potholes on the digital payment superhighway

Paper:

Mains: General Studies-III: Technology, Economic Development, Bio diversity, Environment, Security and Disaster Management

Context

  • Digital payments have found strong ground, especially in India, increasingly relegating all other modes of payments to the background.
  • It is through a faster system of simultaneous debits and credits that the money value is transferred from one account to the other across banks.
  • It embraces all kinds of operators (including direct benefit transfer by the government) across the country and even internationally, subject to regulatory forbearance.
  • With such versatility and ease of settling financial transactions, the growth of digital payments is going to be phenomenal, supported by banks and Fin-Tech, or financial technology, companies.

Steered by the RBI

  • India’s digital payments system – has been evolving robustly over the past many years, spurred by developments in information and communication technology, and fostered in consonance with the path envisioned by the Reserve Bank of India.
  • A major thrust toward large value payments was effected through the Real Time Gross Settlement System, or RTGS, launched by the RBI in March 2004.
  • The large value payments on stock trading, government bond trading and other customer payments were covered under the RTGS, providing finality of settlement, thereby reducing huge risks such as the Harshad Mehta scam.
  • The RBI introduced National Electronic Funds Transfer, or NEFT, and bulk debits and credits to support retail payments around the same time.
  • Now, NEFT is available round the clock and RTGS will follow from December 2020 – only a few countries have achieved this.
  • Such historical changes brought about by the RBI triggered major changes in the corporate and capital market transactions as well.

SEBI T+1 settlement

  • Today, the Securities and Exchange Board of India (SEBI), the market regulator, is contemplating a T+1 settlement (T is for transaction date) because the underlying consideration of the sale proceeds of the shares get exchanged very fast under the payments system.
  • This is expected to attract more international capital into the Indian market, in turn broadening and deepening the financial market.

An umbrella system

  • The sterling contribution of this robust payment system, especially retail payments, was seeded and reinforced with the setting up of the National Payments Corporation of India (NPCI) by 10 lead banks at the instance of the RBI in 2009.
  • It is an initiative of Reserve Bank of India (RBI) and Indian Banks’ Association (IBA) under the provisions of the Payment and Settlement Systems Act, 2007.

Background

  • In 2004, a four-member team visited the Riksbank, the central bank of Sweden, on a study tour.
  • This included a visit to the Bankgirocentralen (BGC AB), a not-for-profit organisation owned by eight Swedish banks for providing retail payment and related services.
  • The model appeared as an attractive proposition as payments is basically a public good.
  • Thus, the idea of the NPCI as a not-for-profit company has a link from the BGC.
  • NPCI aims to spread digital payments and protect consumer interest.
  • However, there were many within and outside the RBI, including in the Indian Banks’ Association, who had apprehensions about the success of such a model for the NPCI.

Indicators of Success

  • With digital payment being a public good like currency notes, it was necessary that the corporation was fully supported by the RBI and the government as an extended arm of the sovereign.
  • The ten core promoter banks are State Bank of India, Punjab National Bank, Canara Bank, Bank of Baroda, Union Bank of India, Bank of India, ICICI Bank, HDFC Bank, Citibank and HSBC.
  • It was necessary to contain expectations on profits, avoiding gyrations of the stock market along with direct or indirect control by powerful private interests which had the potential to dilute the public good character of the outfit.
  • The NPCI’s success against deeply entranced formidable international players, supported by innovative technology, viz. Unified Payments Interface (UPI) and Immediate Payment Service (IMPS), is well recognised by central banks in many other countries.
  • If the NPCI has gained such a rare distinction in just 10 years of its successful and path breaking journey, we should be proud to preserve this precious jewel.

Implications of a change in structure

  • There is a demand from some quarters that the NPCI should be converted into a for-profit company to withstand competition. The shareholders of the NPCI can have windfall gains too.
  • But this will be a retrograde step with huge potential for loss of consumer surplus along with other strategic implications.
  • Instead, like the RBI providing free use of the RTGS and other products, the strategy should be to assist the NPCI financially, either by the RBI or the government, to provide retail payment services at reduced price (in certain priority areas).
  • This may also help support expansion of the payment system network and infrastructure in rural and semi-urban areas in partnership with Fin-Tech companies and banks.

On merchant discount rate

  • In Budget 2020-21, the government prescribed zero Merchant Discount Rate (MDR), the rate merchants pay to scheme providers, for RuPay and UPI, both NPCI products, to popularise digital payments benefitting both customers and merchants.
  • There is justification in this prescription by the government because depositors implicitly pay around 3% to banks as net interest margin, being the difference between saving and risk free bond rate, for enjoying certain payments services traditionally.
  • For reasons unknown, the government left out other providers of digital payment products from this MDR prescription, which is unjustified and had adverse effects.
  • Taking advantage of this dichotomy, many issuing banks switched to mainly Visa and Master cards for monetary gains.
  • As customers were induced by such supplier banks, it created a kind of indirect market segmentation and cartel formation, though there is hardly any quality difference in payment products.
  • It is hoped that the government will take corrective action in the next Budget to ensure a level playing field and to relieve the NPCI from such policy-induced market imperfection.

Settle the pricing

  • The ideal pricing for digital payments products should be based on an analysis of producer surplus, consumer surplus (i.e. gain or loss of utility due to pricing) and social welfare for which we need cost-volume-price data.
  • A factor which needs to be noted is the float funds digital payments allow (cash withdrawal is a drain on the banking system), which is a source of sizeable income for banks.
  • The RBI will do well to study and arrive at a rational structure of pricing including Merchant Discount Rate (MDR) (possibly also penalty on default by customer), given that for the digital payment system, the government has a crucial role to play in protecting consumers against exploitation.
  • This can run into a huge amount when digital payments become all pervasive.
  • It is not the intention to deny a fair amount of return to payment service providers including Fin-Tech companies.

 

Current Affairs

Recent Posts