FRB Ends Novel Activities Supervision Program

"Since the Board started its program to supervise certain crypto and fintech activities in banks, the Board has strengthened its understanding of those activities, related risks, and bank risk management practices. As a result, the Board is integrating that knowledge and the supervision of those activities back into the standard supervisory process."
Federal Reserve Board of Governors
"Since the Board started its program to supervise certain crypto and fintech activities in banks, the Board has strengthened its understanding of those activities, related risks, and bank risk management practices. As a result, the Board is integrating that knowledge and the supervision of those activities back into the standard supervisory process."
Federal Reserve Board of Governors

The Federal Reserve ended its Novel Activities Supervision Program, which focused on "certain crypto and fintech activities in banks." The Board said it will "return to monitoring banks' novel activities through the normal supervisory process."

According to the release, the Board rescinded the 2023 supervisory letter that created the program.

Commentary

The withdrawal of this program suggests more crypto normalization across the banking and financial sectors. Given the recent passage of the GENIUS Act and with market structure reform on the horizon, scrapping this program suggests that crypto is well underway to becoming a key component of the banking sector.

Further, this movement stems from a number of President Trump’s recent executive orders, including his most recent one on politicized and unlawful debanking, particularly its focus on ending "Operation Chokepoint 2.0." Expect more regulatory easing to come for crypto.

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Commentary

There is a strong case to be made that the Novel Activities Supervision Program was a form of regulatory and supervisory tailoring, particularly in light of contemporary determinations by both legislators and financial regulators that crypto activities and related financial risks are sufficiently unique such that they require new legal authority and distinct market structuring (see, e.g., the GENIUS Act and proposed market structure legislation). Given FRB Vice Chair for Supervision Bowman's consistent emphasis on tailoring as a "strong foundational principle upon which to apply bank regulation and supervision," query the policy rationale motivating the FRB's sunset of the Novel Activities Supervision Program.

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