The Case for a Best Execution Principle in Cross-border Payments

D. Zetzsche, Ross P. Buckley, D. Arner, Maria Lucia Passador
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Abstract

Cross-border payments suffer from a lack of speed and transparency and limited access, resulting in higher overall costs than domestic payments. This paper analyses how the best execution principle developed in the context of securities and derivatives could be applied to cross-border payments. Under that principle, financial institutions are legally required to provide the most advantageous order execution in terms of speed, risks and costs for their customers given the prevailing market environment. We argue that introducing best execution could alter the current set-up of cross-border payments which rests, for the most part, on a system of large, globally connected correspondent banks. The current system is best understood as one of “best friends”, in that the relationship among payment institutions determines through which institutions orders are routed. In turn, payment institutions charge their clients on a “cost plus profit” basis. Some of the payment institutions even benefit from rebates based on liquidity volume (kick-backs) and from reduced rates and soft commissions elsewhere in the payment chain. Overall, there is little incentive for payment institutions to truly put their clients first in terms of speed, costs and risks in the current “best friends” environment. Introducing “best execution” is potentially a game changer: it would require payment institutions to focus on their clients’ interests (i.e., when choosing the route the order is to take). Based on experience with the best execution principle enshrined in securities law, we would expect the large-scale introduction of digital routing systems to identify the offer that constitutes best execution. Furthermore, we expect that more links between correspondent banks, new service providers from the FinTech space, and public payment networks (including regional integration systems) would be established and would assist in identifying excess liquidity in infrequently traded currency pairs. While none of this requires distributed ledger technology, strictu sensu, one convenient way, technically, to achieve that purpose is by implementing a distributed ledger that functions, initially, as a digital liquidity marketplace (a pure information sharing device) and, which in time, could be further developed into a “best execution platform”.
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跨境支付最佳执行原则的案例
跨境支付缺乏速度和透明度,准入受限,导致总体成本高于国内支付。本文分析了在证券和衍生品领域发展起来的最佳执行原则如何应用于跨境支付。根据这一原则,金融机构在法律上必须在现行市场环境下,为客户提供在速度、风险和成本方面最有利的订单执行服务。我们认为,引入最佳执行可能会改变目前跨境支付的设置,这种设置在很大程度上依赖于一个由大型、全球联系的代理银行组成的系统。目前的支付系统最好被理解为“最好的朋友”之一,因为支付机构之间的关系决定了订单通过哪些机构路由。反过来,支付机构以“成本加利润”的方式向客户收费。一些支付机构甚至受益于基于流动性的回扣(回扣),以及支付链中其他地方的降低利率和软佣金。总的来说,在当前“最好的朋友”的环境下,支付机构在速度、成本和风险方面几乎没有动力真正把客户放在第一位。引入“最佳执行”可能会改变游戏规则:它将要求支付机构关注客户的利益(即,在选择订单的路线时)。根据证券法中规定的最佳执行原则的经验,我们预计数字路由系统的大规模引入将确定构成最佳执行的报价。此外,我们预计代理银行、金融科技领域的新服务提供商和公共支付网络(包括区域一体化系统)之间将建立更多联系,并有助于识别交易不频繁的货币对中的过剩流动性。虽然这些都不需要分布式账本技术,但严格意义上讲,从技术上讲,实现这一目的的一种方便方法是实现分布式账本,该账本最初作为数字流动性市场(纯粹的信息共享设备),并可以进一步发展成为“最佳执行平台”。
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