Virtual Currencies and the Risks They Bring to Community Banks and the Financial Industry
Virtual currencies are once again at the forefront of discussion about top issues facing community banks and the financial industry as a whole. The Independent Community Bankers of America (“ICBA”), a trade association representing more than 6,500 community banks, recently published its list of top issues for the fourth quarter of 2015. Among them were the risks associated with virtual currencies. These risks have been the subject of ongoing efforts by the ICBA to educate state and federal regulators and agencies about these currencies. Given the lack of understanding and the lack of agreement among regulators on how to govern these currencies, it isn’t hard to see why the ICBA identifies them as a top issue facing the financial industry.To most people, the concept of virtual currencies is synonymous with the name Bitcoin. However, hundreds of virtual currencies exist. Up to now, the terms used to describe the characteristics of virtual currencies have been fluid. However, the term “virtual currency” generally is accepted to encompass a range of products and services that allow for the storing of value digitally and the exchanging of that value for goods and services. What used to be known primarily in the online gaming community now has spread to many walks of life. The rubric of virtual currencies covers everything from rewards programs offered by credit card issuers to credits on social media platforms (such as Facebook’s failed “Credits” program) to Apple Pay, Google Wallet and Android Pay.If all virtual currencies were converted to U.S. dollars, their total value would be about $10 billion. Of that, Bitcoin is the largest, with an estimated value of approximately $3 billion (Bitcoin’s value changes rapidly; for example, its value at one point in 2014 was $6.3 billion). As a result, other virtual currencies have sprung up to follow its lead, borrowing from Bitcoin’s protocol and giving rise to even more currencies in the marketplace. As the virtual currency landscape grows, more opportunities will arise for community banks to provide services to the different entities engaged in activities related to virtual currencies. In fact, it’s possible that community banks ultimately may hold virtual currencies on their balance sheets.The Financial Crimes Enforcement Network (“FinCEN”) became the first federal regulator in the United States to issue guidance on virtual currencies. Its March 2013 publication, “Virtual Currency Guidance,” classified the different types of virtual currencies and highlighted the nomenclature that some commentators and regulators use to gauge the risks associated with them.FinCEN classified virtual currencies by two concepts:
- Can it be converted to legal tender? Virtual currencies are classified as either convertible or non-convertible.
- Who issues the currency? If the currency has only one administrator with authority to issue and redeem it, then it is said to be centrally administered or centralized. Conversely, if it is not bound by a single administrator, it is considered decentralized. Commentators and regulators agree that convertible, decentralized virtual currencies pose the greatest risk to the financial industry and consumers. These currencies are not tethered to any central administrator or limited by its authority. At the same time, these currencies may be converted to legal tender.