海外之声丨IMF副总裁李波:全球监管机构需迅速行动遏制加密货币风险扩散
导读
加密资产是一种主要依赖于密码学和分布式账本或类似技术的私营部门数字资产,近年来受到诸多投资者的热捧。然而,其中最具代表性的加密货币比特币已较2021年末的峰值下跌近三分之二,使约四分之三的投资者出现亏损,反映出当前缺乏对于加密货币资产的保护机制。随着一些国家使用加密资产取代本国货币以规避外汇和资本管制,机构投资者在低利率环境下增持稳定币,加密资产与核心金融系统的联系日益紧密,未来或将引起人们对系统性风险和金融稳定性的担忧。因此,需要加强金融监管和监督,制定可由监管机构一致实施的全球标准加以解决。
本文基于具有相对稳定价值的加密资产级生态系统提出了五项关键建议:1)加密资产服务提供商应该获得许可、注册和授权,其客户资产与公司自身资产需要区分,并与其他职能隔离;2)执行多种职能的实体应该遵守额外的审慎要求,应严格遵守信息披露要求;3)稳定币的发行者应受到严格的审慎要求,根据稳定币的模式和规模,可能需要像银行一样的监管力度;4)对接触和参与加密货币的金融机构应有明确的监管要求;5)需要协调建立全球范围内的加密资产管理和监督,加强跨国与跨部门合作。
作者|李波(国际货币基金组织副总裁),杉本信泰(国际货币基金组织金融监管部副主任)
Stronger financial regulation and supervision, and developing global standards, can help address many concerns about crypto assets
Bo Li, Nobuyasu Sugimoto
18 January 2023
During times of stress, we’ve seen market failures of stablecoins, crypto-focused hedge funds, and crypto exchanges, which in turn raised serious concerns about market integrity and user protection. And with growing and deeper links with the core financial system, there could also be concerns about systemic risk and financial stability in the near future.
Many of these concerns can be addressed by strengthening financial regulation and supervision, and by developing global standards that can be implemented consistently by national regulatory authorities.
Two recent IMF reports on regulating the crypto ecosystem are especially timely amid the severe turmoil and disruption in many parts of the crypto market and the repeated cycles of boom and bust for the ecosystem around such digital assets.
Our reports address the issues noted above at two levels. First, we take a broad approach, looking across key entities that carry out the core functions within the sector, and hence, our conclusions and recommendations apply to the entire crypto asset ecosystem.
Second, we focus more narrowly on stablecoins and their arrangements. These are crypto assets that aim to maintain a stable value relative to a specified asset or a pool of assets.
Advanced economies are also susceptible to financial stability risks from crypto, given that institutional investors have increased stablecoin holdings, attracted by higher rates of return in the previously low interest rate environment. Therefore, we think it’s important for regulatory authorities to quickly manage risks from crypto, while not stifling innovation.
Specifically, we make five key recommendations in two Fintech Notes, Regulating the Crypto Ecosystem: The Case of Unbacked Crypto Assets and Regulating the Crypto Ecosystem: The Case of Stablecoins and Arrangements, both published in September.
1. Crypto asset service providers should be licensed, registered, and authorized. That includes those providing storage, transfer, exchange, settlement, and custody services, with rules like those governing providers of services in the traditional financial sector. It’s particularly important that customer assets are segregated from the firm’s own assets and ring-fenced from other functions. Licensing and authorization criteria should be well defined, and responsible authorities clearly designated.
2. Entities carrying out multiple functions should be subject to additional prudential requirements. In cases where carrying out multiple functions might generate conflicts of interest, authorities should consider whether entities should be prohibited to do so. Where firms are permitted to, and do carry out multiple functions, they should be subject to robust transparency and disclosure requirements so authorities can identify key dependencies.
3. Stablecoin issuers should be subject to strict prudential requirements. Some of these instruments are starting to find acceptance beyond crypto users, and are being used as a store of value. If not properly regulated, stablecoins could undermine monetary and financial stability. Depending on the model and size of the stablecoin arrangement, strong, bank-type regulation might be needed.
4. There should be clear requirements on regulated financial institutions, concerning their exposure to, and engagement with, crypto. If they provide custody services, requirements should be clarified to address the risks arising from those functions. The recent standard by Basel Committee on Banking Supervision on the prudential treatment of banks’ crypto assets exposures recently is very welcome in this respect.
5. Eventually, we need robust, comprehensive, globally consistent crypto regulation and supervision. The cross-sector and cross-border nature of crypto limits the effectiveness of uncoordinated national approaches. For a global approach to work, it must also be able to adapt to a changing landscape and risk outlook.
Containing user risks will be difficult for authorities around the world given the rapid evolution in crypto, and some countries are taking even more drastic steps. For example, sub-Saharan Africa, the smallest but fastest growing region for crypto trading, nearly a fifth of countries have enacted bans of some kind to help reduce risk.
While broad bans might be disproportionate, we believe targeted restrictions offer better policy outcomes provided there is sufficient regulatory capacity. For instance, we can restrict the use of some crypto derivatives, as shown by Japan and the United Kingdom. We can also restrict crypto promotions, as Spain and Singapore have.
Still, while developing global standards takes time, the Financial Stability Board has done excellent work by providing recommendations for crypto assets and stablecoins. Our Fintech Notes draw many of the same conclusions, a testament to our close collaboration and shared observations on the market. For its part, the IMF will continue to work with global bodies and member nations to help leading policy makers working on this topic to best serve individual users as well as the global financial system.
—This blog reflects research contributions by Parma Bains, Fabiana Melo, and Arif Ismail
编译:董铭洁
监制:董熙君
来源|IMF
版面编辑|邸馨逸
责任编辑|李锦璇、蒋旭
总监制|朱霜霜
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作者:IMI财经观察
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