80_FR_58435 80 FR 58248 - Enhancements to Federal Reserve Bank Same-Day ACH Service

80 FR 58248 - Enhancements to Federal Reserve Bank Same-Day ACH Service

FEDERAL RESERVE SYSTEM

Federal Register Volume 80, Issue 187 (September 28, 2015)

Page Range58248-58253
FR Document2015-24551

The Board of Governors (Board) has approved enhancements to the Federal Reserve Banks' (Reserve Banks) same-day automated clearing house (ACH) service. The enhancements require receiving depository financial institutions (RDFIs) to participate in the service and originating depository financial institutions (ODFIs) to pay a fee to RDFIs for each same-day ACH forward transaction. The enhancements will be adopted by incorporation of NACHA's amended operating rules into Operating Circular 4, governing the Reserve Banks' ACH services.

Federal Register, Volume 80 Issue 187 (Monday, September 28, 2015)
[Federal Register Volume 80, Number 187 (Monday, September 28, 2015)]
[Notices]
[Pages 58248-58253]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-24551]


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FEDERAL RESERVE SYSTEM

[Docket No. OP-1515]


Enhancements to Federal Reserve Bank Same-Day ACH Service

SUMMARY: The Board of Governors (Board) has approved enhancements to 
the Federal Reserve Banks' (Reserve Banks) same-day automated clearing 
house (ACH) service. The enhancements require receiving depository 
financial institutions (RDFIs) to participate in the service and 
originating depository financial institutions (ODFIs) to pay a fee to 
RDFIs for each same-day ACH forward transaction. The enhancements will 
be adopted by incorporation of NACHA's amended operating rules into 
Operating Circular 4, governing the Reserve Banks' ACH services.

DATES: Effective September 23, 2016.

FOR FURTHER INFORMATION CONTACT: Ian C.B. Spear, Senior Financial 
Services Analyst (202/452-3959); or Jessica Stahl, Economist (202/452-
6452), Division of Reserve Bank Operations and Payment Systems; Evan H. 
Winerman, Senior Attorney (202/872-7578), Legal Division; for users of 
Telecommunication Devices for the Deaf (TDD) only, contact 202/263-
4869.

SUPPLEMENTARY INFORMATION:

I. Background

    On May 27, 2015, the Board requested comment on proposed 
enhancements to the Reserve Banks' FedACH[supreg] SameDay Service 
(FedACH SameDay Service).\1\ The proposed enhancements were intended to 
align the existing FedACH SameDay Service with amendments to NACHA's 
Operating Rules and Guidelines that were approved by NACHA membership 
on May 19, 2015 (amended operating rules).\2\
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    \1\ 80 FR 30246 (May 27, 2015).
    \2\ The amendments become effective in three phases, beginning 
with same-day credits in September 2016, same-day debits in 2017, 
and faster funds availability in March 2018. Next-day settlement 
will also remain available.
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    The ACH network serves as a ubiquitous, nationwide mechanism for 
processing batch-based credit and debit transfers electronically. The 
private sector and the Federal Reserve jointly developed the ACH 
network as an electronic alternative to checks, the growth of which in 
the late 1960s and early 1970s was creating operational and cost 
burdens. Currently, the ACH network consists of two network operators: 
The Reserve Banks, through FedACH, and The Clearing House (TCH), 
through the Electronic Payments Network (EPN). Both operators provide 
services to enable ODFIs to originate and RDFIs to receive ACH 
transactions. The Reserve Banks and TCH work together to exchange 
inter-operator ACH payments in which the ODFI and RDFI are served by 
different operators.
    The ACH network is governed by the rules of the ACH operators, 
which generally incorporate the NACHA Operating Rules and Guidelines 
adopted by NACHA's members.\3\ As an ACH operator, the Reserve Banks, 
through Operating Circular 4, incorporate NACHA's Operating Rules and 
Guidelines as rules that govern clearing and settlement of commercial 
ACH items by the Reserve Banks, except for those provisions 
specifically excluded in the Operating Circular.\4\ The Reserve Banks' 
Operating Circular 4 does not govern ACH transactions conducted through 
EPN.
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    \3\ NACHA's membership consists of insured financial 
institutions and regional payment associations.
    \4\ Operating Circular 4, Section 1.4, https://www.frbservices.org/files/regulations/pdf/operating_circular_4_11042013.pdf.
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    The Reserve Banks' current FedACH SameDay Service is an optional 
service that allows ODFI participants to originate same-day payments to 
all RDFI participants that agree to accept such payments.\5\ The 
Reserve Banks began offering the service in 2010 to address growing 
market demand for intraday ACH processing and settlement. In the five 
years since its introduction, the FedACH SameDay Service has 
experienced limited adoption; 78 depository institutions (less than 1 
percent of FedACH customers) are currently using the service. A number 
of factors may account for this low adoption rate. RDFIs typically need 
to upgrade internal processing capabilities to post same-day 
transactions. Although ODFIs may be able to realize value from the 
service through enhanced ACH product offerings, such as emergency bill 
pay, these services may be unappealing to originators because of low 
RDFI participation and corresponding limited receiver reach. The 
current FedACH SameDay Service does not have an interbank fee.
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    \5\ As part of the service, the Reserve Banks charge 
participating ODFIs a per-item surcharge on the normal ACH 
processing fee and provide RDFIs a discount on the normal ACH 
processing fee for receipt of forward items.
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    Two aspects of NACHA's amended operating rules differ materially 
from the Reserve Banks' current FedACH SameDay Service. First, under 
NACHA's amended operating rules, receipt of same-day ACH transactions 
is mandatory and RDFIs must make funds available from same-day ACH 
credits to their depositors by 5:00 p.m.\6\ Second, NACHA's amended 
operating rules establish an interbank fee, paid by ODFIs to RDFIs for 
each forward same-day transaction.\7\ As described in greater detail 
below, NACHA designed the interbank fee, initially 5.2 cents per 
forward transaction, to allow RDFIs to offset costs associated with the 
up-front investments and ongoing operating costs necessary for 
accepting, posting, and making funds available from same-day 
transactions. The amended operating rules provide that the interbank 
fee will be reduced if actual same-day transaction volume exceeds 
original projections by more than 25 percent during regularly required 
review periods.\8\ Ten years after the final phase

[[Page 58249]]

of implementation is effective, and every ten years thereafter, NACHA 
will reevaluate the interbank fee.\9\ Under NACHA's amended operating 
rules the interbank fee may not be increased from its initial level of 
5.2 cents per forward transaction.
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    \6\ RDFIs' local time.
    \7\ The amended operating rules refer to the interbank fee as 
the ``Same Day Entry Fee.'' Only forward same-day transactions 
originated by or through the ODFI are subject to the fee; same-day 
returns will also be available but are not subject to the interbank 
fee.
    \8\ Same-day ACH volume will be reviewed five years and eight 
years after the final phase of implementation is effective.
    \9\ NACHA's reevaluation will not include implementation costs 
recovered through payment of the interbank fee during the preceding 
period, and will be based on the average costs incurred by RDFIs, 
same-day ACH volumes, projected future developments, and the extent 
to which the fee satisfied RDFI costs.
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    These differences require enhancements to the Reserve Banks' 
existing FedACH SameDay Service that may have a significant longer-run 
effect on the nation's payment system.\10\ Therefore, the Board 
requested comment on the following:
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    \10\ The amended operating rules contain other elements that 
would require modifications to the Reserve Banks' current FedACH 
SameDay Service. The Board believes these changes are operational in 
nature and will not have significant longer-run effects on the 
nation's payment system. These include updated submission and 
settlement windows (an estimated morning submission deadline at 
10:30 a.m. ET with settlement occurring at 1:00 p.m. ET and an 
estimated afternoon submission deadline at 3:00 p.m. ET with 
settlement occurring at 5:00 p.m. ET). International ACH 
transactions and transactions above $25,000 are not eligible for the 
same-day service.
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     Making receipt of same-day ACH transactions mandatory for 
all RDFIs. If commenters believed that participation by RDFIs should 
not be mandatory, the Board requested comment on why the Reserve Banks' 
same-day ACH service should remain optional and whether there are non-
mandatory alternatives to achieving ubiquity.
     Whether the interbank fee included in NACHA's amended 
operating rules equitably reapportions the initial implementation costs 
and ongoing operating costs between ODFIs and RDFIs.

II. Summary of Comments and Analysis

    The Board received forty comments in response to its request. 
Comments were submitted by depository institutions, depository 
institution trade associations, national and regional payments 
associations, associations representing end users (consumers and 
businesses) and third-party payment processors, a private-sector ACH 
operator, and an individual. Twenty-two commenters stated that receipt 
of same-day ACH transactions should be mandatory and that the interbank 
fee appropriately reapportions costs between ODFIs and RDFIs. Three 
commenters generally supported same-day ACH services but did not 
specifically address mandatory receipt or the equity of the interbank 
fee. Fifteen commenters expressed some concern with one or both of the 
topics on which the Board requested comment.

A. Mandatory Participation of RDFIs

    Thirty-seven commenters addressed mandatory receipt of same-day ACH 
transactions. Twenty-nine commenters believed that mandatory receipt is 
critical to the success of a same-day ACH service. These commenters, 
including seven small depository institutions or associations 
representing such institutions, generally agreed that mandating receipt 
is necessary to achieve a ubiquitous same-day ACH service that provides 
value to end users and depository institutions and achieves the 
associated public benefits that come from the enhanced efficiency of 
the ACH network. Making receipt of same-day transactions optional, they 
argue, would severely limit the benefits of any same-day ACH service. 
One commenter (one letter representing two merchant associations), 
which agreed that mandatory receipt is necessary to achieve a 
ubiquitous same-day ACH service, requested that the Board abandon same-
day ACH services to develop real-time ACH processing.
    Eight commenters, all credit unions or credit union associations, 
expressed concern that mandatory receipt of same-day ACH transactions 
would be overly burdensome on smaller depository institutions. These 
commenters indicated that technical and operational changes are 
necessary to receive same-day ACH transactions, and that small 
institutions will be disproportionately affected because they would be 
unable to adequately offset the associated costs of receiving such 
transactions because of their lower same-day ACH volume. Only three of 
these commenters suggested alternatives: Two commenters suggested that 
the Board exempt smaller depository institutions from any mandatory 
receipt requirements, and one commenter suggested limiting same-day ACH 
transactions to a single morning submission and afternoon settlement 
deadline to reduce the burden on smaller depository institutions.\11\ 
The commenters that supported making receipt mandatory included seven 
small depository institutions or associations representing such 
institutions, including a community-bank trade group. These commenters 
supported mandatory receipt even in light of the associated costs.
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    \11\ Unlike the Board's current FedACH SameDay Service, NACHA 
estimates that same-day ACH services under the amended operating 
rules will include two updated submission and settlement windows (an 
estimated morning submission deadline at 10:30 a.m. ET with 
settlement occurring at 1:00 p.m. and an estimated afternoon 
submission deadline at 3:00 p.m. ET with settlement occurring at 
5:00 p.m.). However, exact schedules and timing will be determined 
by each ACH operator and are not set by the amended operating rules.
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    The Board believes that the benefits of same-day ACH service 
outweigh the costs institutions would incur to implement such a 
service. Same-day ACH capability will facilitate the use of the ACH 
network for certain time-critical payments, accelerate final 
settlement, and improve funds availability to payment recipients.\12\ 
The Board believes that these capabilities will in turn provide a more 
efficient electronic payment option for person-to-person payments, 
expedited bill payments, same-day payroll payments, and other types of 
transactions.\13\ In light of the widespread industry support for a 
same-day ACH service with an interbank fee, as evidenced by the 
approval of the NACHA amended operating rules, the Board believes that 
the costs incurred to implement such a service are outweighed by the 
enhanced efficiency of the ACH network and the broader U.S. payment 
system.
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    \12\ One commenter that supported same-day ACH noted that 
payments processed through the check system may clear and settle 
faster than some ACH transactions today.
    \13\ Same-day ACH may facilitate certain transactions for which 
next-day ACH is not feasible. For example, companies with limited 
windows for processing payroll payments, such as payments to hourly 
employees, may be able to process transactions via same-day ACH that 
otherwise would be conducted using checks or prepaid cards.
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    The Board also believes that ubiquity is necessary to achieve these 
benefits. As with existing next-day ACH services, same-day ACH will be 
most efficient if originators can be certain that same-day ACH 
transactions will reach any banked receiver. If the same-day ACH 
service lacks this ubiquity, originators would be able to use the 
service to reach only a subset of their intended receivers, 
substantially reducing the attractiveness of the service. The Board 
believes, and commenters supporting mandatory receipt agreed, that the 
limited adoption of the Reserve Banks' current FedACH SameDay Service 
demonstrates an optional service cannot achieve the ubiquity necessary 
to establish a successful same-day ACH service. The Board agrees with 
the majority of commenters that mandating receipt of same-day ACH 
transactions is the only practical method to achieve that necessary 
ubiquity and the corresponding benefits. Moreover, the interbank fee, 
discussed below, is designed to address the concerns of RDFIs about 
same-day ACH implementation and operating costs.
    Although the Board acknowledges the concerns raised by some 
commenters

[[Page 58250]]

regarding the burden of mandatory receipt of same-day ACH transactions 
for small depository institutions, the Board does not believe that any 
of the commenters provided a viable alternative for achieving ubiquity 
without such burdens. The Board believes that exempting small 
institutions would undermine the ubiquity--and therefore the utility--
of the service. Finally, the Board believes that limiting same-day ACH 
transactions to a single morning submission and afternoon settlement 
deadline would reduce the utility of a same-day ACH service, 
particularly for West Coast depository institutions.
    The Board believes that a ubiquitous same-day ACH service will 
offer considerable pro-competitive benefits. Ubiquitous same-day ACH 
service could create a new mechanism to compete with payment methods 
other than ACH, and may do so at a lower cost. As stated above, for 
example, same-day ACH capability will facilitate the use of the ACH 
network for certain time-critical payments, accelerate final 
settlement, and improve funds availability to payment recipients. The 
Board believes that these capabilities will in turn provide a more 
efficient electronic payment option for person-to-person payments, 
expedited bill payments, same-day payroll payments, and other types of 
transactions.
    The Board also does not believe that same-day ACH capabilities 
should be abandoned to pursue real-time ACH payments as suggested by 
the merchant associations' letter, but rather believes that both 
services would be complementary. As outlined in the Federal Reserve's 
Strategies for Improving the U.S. Payment System paper (Strategies 
Paper), the Federal Reserve recently convened two task forces--faster 
payments and secure payments--where private-sector participants can 
collaborate to create approaches that will serve the public.\14\ The 
faster payments task force, with input from the secure payments task 
force, will identify and evaluate alternative approaches for 
implementing safe, ubiquitous, faster payments capabilities in the 
United States. The Board believes that these efforts are the most 
appropriate channels to further consider real-time ACH capabilities.
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    \14\ Federal Reserve System (2015), ``Strategies for Improving 
the U.S. Payment System,'' (Federal Reserve System, January), 
fedpaymentsimprovement.org/wp-content/uploads/strategies-improving-us-payment-system.pdf.
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    For these reasons, the Board has approved enhancements to the 
Reserve Banks' existing FedACH SameDay Service that make receipt of 
forward same-day ACH transactions mandatory for all RDFIs.

B. Interbank Fee

    Thirty-four commenters addressed whether the interbank fee included 
in NACHA's amended operating rules equitably reapportions the initial 
implementation costs and ongoing operating costs between ODFIs and 
RDFIs.\15\ Thirty-two commenters supported an interbank fee as an 
appropriate method for allocating costs between parties.
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    \15\ One additional commenter stated it was unable to assess the 
equity of the interbank fee due to variables that it believed were 
not adequately addressed or evaluated by NACHA's calculation, 
including the potential for higher initial implementation costs and 
lower incremental costs. One payments association commenter that did 
not specifically address the equity of the interbank fee stated that 
its membership was split as to whether to support NACHA's amended 
operating rules without the fee. One additional financial 
institution commenter did not address the equity of the fee or 
express clear support but suggested that the fee would not 
sufficiently address extended staffing hours necessary to meet same-
day posting times.
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    Twenty-one commenters argued that an interbank fee of 5.2 cents is 
appropriate.\16\ These commenters generally stated that the interbank 
fee is necessary for achieving a ubiquitous same-day ACH service; 
without an interbank fee these commenters concluded that many RDFIs 
would have opposed NACHA's amended operating rules. Several commenters 
cited the failure of NACHA's Expedited Processing and Settlement (EPS) 
proposal in 2011 as evidence that a same-day ACH service lacking an 
interbank fee could not succeed.\17\
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    \16\ One commenter that supported an interbank fee as an 
appropriate method for allocating costs between parties did not 
specifically address whether the current interbank fee amount of 5.2 
cents was appropriate.
    \17\ The initial proposal to create a ubiquitous, same-day 
framework failed to receive the number of votes required for 
adoption under NACHA voting rules. According to NACHA's same-day ACH 
request for comment (December 2014), one reason for the proposal's 
failure was that it created significant implementation costs for 
RDFIs without adequate options to offset those costs. Other reasons 
cited for the failure of the earlier proposal were the insufficient 
value to originators, and the uncertainty around when funds would be 
available to receivers.
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    Ten commenters (nine credit unions or credit union associations and 
one bank holding company) supported an interbank fee but argued that 
the 5.2 cent fee is too low to allow smaller RDFIs to recover costs in 
a reasonable amount of time, particularly small RDFIs with limited 
same-day ACH volume. Two of these commenters suggested that the Board 
create a tiered fee structure instead of a flat fee, allowing smaller 
RDFIs to receive higher fees.
    Two commenters (a large bank and one letter representing two 
merchant associations) opposed an interbank fee of any amount. The 
large bank commenter argued that any interbank fee will 
disproportionately compensate the largest RDFIs, resulting in 
unintended negative effects such as higher end-user fees. The merchant 
associations expressed concerns that the interbank fee will impair 
competition and may have antitrust implications. The large bank 
commenter requested that the Board proceed with a mandatory same-day 
ACH service without any interbank fee. The merchant associations 
believed that the Board lacks authority to require the Reserve Banks to 
collect and transfer an interbank fee. Several commenters expressed 
other concerns with the interbank fee: That NACHA would increase the 
interbank fee in the future, and that ODFIs would pass the interbank 
fee on to their customers using the service.
    After considering the comments received, and given the rejection of 
NACHA's 2011 EPS proposal, the Board has concluded that in this 
specific instance an interbank fee is necessary to achieve a ubiquitous 
same-day ACH service.\18\ Many commenters argued that the inclusion of 
an interbank fee increased RDFIs' willingness to approve NACHA's 
amended operating rules because without an interbank fee, RDFIs would 
have lacked the needed business justification to approve the mandatory 
receipt requirement that is critical to achieving ubiquity. In 
addition, as noted above, the Federal Reserve's current same-day ACH 
service, which is not mandatory and does not include an interbank fee, 
is not widely used. The Board considered whether a ubiquitous same-day 
ACH service could be achieved by mandating in the Reserve Banks' 
Operating Circular 4 that FedACH customers receive same-day ACH 
transactions without providing for an interbank fee. The Board does not 
believe that this is a viable alternative. As described above, the 
Reserve Banks' Operating Circular 4 applies only to FedACH customers 
and does not govern ACH transactions conducted through the other ACH 
operator, EPN. Therefore, any mandate adopted by the Reserve Banks 
would apply only to FedACH customers and not to EPN customers,

[[Page 58251]]

resulting in a same-day service that is not ubiquitous.\19\ The Board 
also believes that the interbank fee must be implemented by the Reserve 
Banks as ACH operator, as it would be infeasible for thousands of 
depository institutions to collect interbank fees bilaterally. The 
Board has authority to require the Reserve Banks to collect and 
transfer this fee under the Federal Reserve Act.\20\
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    \18\ The Board's belief that, on balance, the interbank fee is 
necessary in this instance is based on circumstances specific to the 
nature of the existing ACH network, its governance, and the 
requirements of the amended operating rules. Interbank fees may not 
be necessary or appropriate in the implementation of other payment 
services or systems.
    \19\ NACHA made the implementation of the amended operating 
rules contingent on the Federal Reserve's support. If the Board had 
determined that the Reserve Banks should not adopt the proposed 
enhancements and provide same-day ACH service under the amended 
operating rules, they would not go into effect.
    \20\ Specifically, the Board has authority to require the 
Reserve Banks to collect and transfer this fee under the following 
provisions of the Federal Reserve Act: Section 11A (12 U.S.C. 248a), 
section 11(j) (12 U.S.C. 248(j)), and paragraph 14 of section 16 (12 
U.S.C. 248-1). The Board's general supervisory authority over 
Reserve Banks, along with its specific authority to require Reserve 
Banks to act as a clearing house for financial institutions, 
includes the ability to devise methods to cover the costs incident 
to the Reserve Banks' clearing activities. See Fraternal Order of 
Police v. Board of Governors of the Federal Reserve System, 391 F. 
Supp.2d 1 (D.D.C. 2005). Moreover, an interbank fee for same-day ACH 
transactions is no different, in effect, from a situation in which 
the Reserve Bank is required to pay a fee to an RDFI and therefore 
requires ODFIs to pay the fee to the Reserve Bank in order to 
recover Reserve Bank costs.
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    In order to calculate a per-transaction interbank fee that would 
allow RDFIs in the aggregate to recover implementation and ongoing 
operational costs associated with the receipt of same-day ACH 
transactions, the Board believes that an appropriate methodology 
requires certain inputs: A projection of one-time implementation costs 
associated with same-day ACH receipt, a projection of ongoing costs 
associated with same-day ACH receipt, and projections of future same-
day ACH volume. The process would include obtaining data from 
participants in the ACH system, estimating the relationship between 
costs and transaction volume, extrapolating those estimates to the 
broader universe of ACH participants, and projecting future costs and 
transaction volume.
    NACHA commissioned a consultant to calculate the interbank fee. The 
Board has reviewed the consultant's methodology, which contained the 
inputs discussed above. The Board also reviewed the consultant's 
assumptions and judgments necessary to construct these inputs and use 
them to construct the fee. The Board believes the data and analysis 
provide a reasonable basis for the interbank fee, given the fact that 
NACHA had to collect data from voluntary respondents, make various 
projections into the future, and deal with significant non-
response.\21\
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    \21\ The Board would likely have encountered similar limitations 
had it undertaken this survey and calculation directly.
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    To facilitate its projections, the consultant surveyed a sample of 
RDFIs to obtain those banks' projected implementation and ongoing 
operational costs. The consultant also interviewed banks and third-
party processors to understand the potential uses of same-day ACH. 
Based on interviews, the consultant determined that the largest RDFIs 
typically use internal systems to process ACH transactions, while other 
RDFIs typically outsource to third-party processors. Accordingly, the 
consultant asked only large RDFIs and third-party processors about one-
time implementation costs. All surveyed RDFIs were asked about ongoing 
operational costs under three different same-day volume scenarios. 
Fourteen large RDFIs and 175 smaller RDFIs responded to the survey, 
yielding a sample with reasonable representation across RDFI sizes. The 
Board reviewed the survey instruments and cost data aggregated in seven 
groups according to RDFI size; NACHA did not make cost data of 
individual survey respondents available, citing confidentiality 
provisions under which the data were provided by RDFIs. The Board 
believes the survey instrument was reasonably designed to obtain the 
necessary data.
    Using data from these RDFIs, the consultant estimated relationships 
between costs and volumes, and used these relationships to extrapolate 
to non-responding RDFIs. Projections of same-day ACH volume were based 
upon information from ODFIs, NACHA, and other subject matter experts. 
Projected adoption rates for ten broad use cases formed the basis for 
the projections of total same-day ACH volume. Given its projections of 
costs and volumes, the consultant chose a fee that, by its calculation, 
sets the present discounted value of aggregate projected RDFI interbank 
fee revenues equal to the present discounted value of aggregate 
projected RDFI costs for all RDFIs as a whole.\22\
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    \22\ NACHA used a 12.2 percent rate of return to discount future 
revenue and cost streams associated with same-day ACH. The Board has 
determined that that a 12.2 percent rate of return is not 
unreasonable for a new, relatively high-risk venture such as same-
day ACH.
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    The Board recognizes that projections of future costs and volumes 
are inherently subjective, but believes the approach used to determine 
the interbank fee is reasonable. Specifically, interviews with industry 
participants and extensive review of potential use cases provided a 
reasonable basis for estimating future demand for a product that has 
not yet been introduced. Also, the collection of data from a sample of 
RDFIs of varying sizes through a survey was a sensible way to assess 
potential costs of the service. The Board not only reviewed the 
methodology used to calculate the fee, but also considered the 
implications of the fee for the ACH industry. The Board found the fee 
to be reasonable once NACHA addressed issues with respect to 
opportunity costs in the fee and the potential for the fee to rise over 
time, as described below.
    NACHA issued its same-day ACH rule for public comment in December 
2014. At that time, NACHA proposed an interbank fee of 8.2 cents. The 
calculation of that fee included opportunity costs resulting from the 
movement of transactions from higher-margin payments methods, such as 
wire, to same-day ACH, essentially transferring to same-day ACH the 
high margins that result from banks having market power in other 
services. In its final rule, NACHA removed the opportunity cost 
component of the fee, thereby lowering the fee from 8.2 to 5.2 cents.
    The Board believes that the lower interbank fee of 5.2 cents 
reasonably balances depository institutions' ability to offset costs 
with the needs of ACH end users. As discussed above, a 5.2 cent 
interbank fee would allow cost recovery for RDFIs as a whole. Although 
the fee may not allow full cost recovery for all RDFIs, it will allow 
all RDFIs to offset a portion of their costs. The Board expects that, 
in most cases, the interbank fee will ultimately be borne by end users 
that originate same-day ACH transactions, a concern echoed by several 
commenters. For some originators, faster settlement or funds 
availability associated with same-day ACH may be worth these 
potentially higher costs, and their same-day ACH costs (even with the 
pass-through of the interbank fee) may still be substantially lower 
than the costs they would incur using other payment methods, such as 
wire transfers. Originators that wish to avoid such potential costs can 
continue to use existing lower-cost next-day ACH options and the 
Federal Reserve has no plans to eliminate its next-day ACH settlement. 
The Board believes that a higher interbank fee would likely result in 
higher costs being passed to originators and may reduce demand for

[[Page 58252]]

same-day ACH services, resulting in a ubiquitous but lesser-used 
service.\23\
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    \23\ Four of the five commenters representing end users 
supported adoption of the proposed enhancements, including the 
interbank fee. This support, however, was based on an interbank fee 
of 5.2 cents.
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    The Board has not adopted the suggestion to tier the fee to allow 
smaller institutions to recover more than the 5.2 cent fee because it 
does not believe there is a clear correlation between institution size 
and implementation costs. As described above, smaller RDFIs often 
outsource their ACH and transaction account processing, and may not 
incur costs as material as those RDFIs that do not outsource this 
processing.
    The Board does not believe that the interbank fee will rise over 
time, as has been the experience in the card industry. To address this 
concern, NACHA proposed provisions that provided for the potential 
reduction in the fee, and adopted a rule to ensure that the fee could 
not be increased in the future. The Board recognizes that NACHA members 
could vote to amend NACHA's operating rules to allow the interbank fee 
to increase above 5.2 cents, but no such increase would apply to FedACH 
same-day volume unless the Board and the Reserve Banks (as ACH 
operator) agree to such an increase.
    NACHA's amended operating rules also include a 5-year review and 8-
year review of the fee. At each of these reviews, if the volume of 
same-day transactions exceeds the NACHA projection by more than 25 
percent, the fee will be lowered to a level pre-calculated by NACHA and 
intended to allow RDFIs achieve cost recovery on an aggregate basis. A 
schedule of possible fee decreases is available on the Board's Web 
site.\24\ If the fee is lowered as a result of such reviews, the lower 
fee amount establishes a new ceiling, above which the interbank fee 
cannot rise. The Board believes that the lower interbank fee of 5.2 
cents, combined with regularly scheduled reviews to determine any 
necessary reduction in the fee in pre-calculated intervals, allow cost 
recovery for RDFIs over time while maintaining the attractiveness of 
the same-day service to ODFIs and originators.
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    \24\ http://www.federalreserve.gov/paymentsystems/fedach_about.htm.
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    Based on its review of these comments, the Board has approved 
enhancements to the Reserve Banks' existing FedACH SameDay Service to 
include an interbank fee paid by ODFIs to RDFIs not to exceed 5.2 cents 
for each forward same-day transaction and to decrease that fee 
according to the fee schedules published on the Board's public Web site 
in the event that same-day ACH volume exceeds projections by more than 
25 percent during one of the regularly scheduled review periods. Any 
other changes to the interbank fee will require additional 
consideration and action by the Board.

C. Other Topics Raised

    The Board received comments on several other topics related to 
enhancements to the Reserve Banks' existing FedACH SameDay Service.
(i) Processing Windows
    Several commenters raised questions about the processing and 
settlement windows for same-day ACH transactions. As noted above, one 
commenter asked the Board to consider a single morning submission and 
afternoon settlement deadline, while another commenter argued that 
institutions outside the Eastern Time Zone will only gain limited 
benefits from same-day ACH. A third commenter requested that the Board 
consider extending its National Settlement Service deadline to be 
inclusive of business hours in all U.S. time zones.
    The Reserve Banks are reviewing the same-day ACH processing windows 
and will work with NACHA and EPN to establish processing schedules that 
are convenient for as many institutions as possible across the network. 
The Board has also previously expressed its intent to enhance the 
National Settlement Service and will review extended deadlines and 
potential enhancements as described in the Strategies Paper.\25\
---------------------------------------------------------------------------

    \25\ As described in the Strategies Paper (1) the first phase, 
which went into effect in January 2015, expanded the operating hours 
of the National Settlement Service by opening the settlement window 
one hour earlier (at 7:30 a.m. ET) and closing it one half-hour 
later (at 5:30 p.m. ET); (2) the second phase, projected for year-
end 2015, will accelerate the opening time to coincide with the 9:00 
p.m. ET opening of the Fedwire[supreg] Funds Service (on the prior 
calendar date); (3) the third phase, projected for 2016 or beyond, 
will explore the technology, infrastructure and operational and 
resource changes required to support weekend and/or 24x7 operating 
hours. Federal Reserve System (2015), ``Strategies for Improving the 
U.S. Payment System,'' (Federal Reserve System, January), 
fedpaymentsimprovement.org/wp-content/uploads/strategies-improving-us-payment-system.pdf.
---------------------------------------------------------------------------

 (ii) Fraud Risks
    Several commenters noted an increased potential for fraud with 
same-day ACH transactions related to shorter processing windows. The 
Board recognizes that same-day ACH transactions may have a different 
risk profile than existing next-day ACH transactions. The Reserve Banks 
have in place alert services that can assist RDFIs in monitoring risk 
profiles specific to same-day ACH transactions, and the Board is aware 
that NACHA and the regional payment associations have already started 
reviewing risk management issues related to same-day ACH transactions. 
The Board believes that any risks related to same-day ACH can be 
appropriately mitigated by the industry in collaboration with NACHA and 
the ACH operators.
(iii) Continued Availability of Existing ACH Capabilities
    Several commenters expressed concerns that the availability of 
same-day ACH services would lead to the discontinuation or unnecessary 
migration away from low-cost next-day ACH services. The Board believes 
that next-day ACH services will remain relevant in light of likely 
continued demand by end users for low cost and efficient options for 
payments that do not require same-day settlement or processing, such as 
regularly scheduled payroll files or bill payments. Retaining next-day 
ACH service also reduces operational risk by allowing ODFIs and 
operators an opportunity to recover from disruptions without delaying 
the settlement of transactions.
    The Federal Reserve has no plans to discontinue next-day services, 
but it cannot ensure that any given depository institution would 
continue to offer next-day ACH origination services to its customers. 
In a competitive marketplace for deposit and payment services, however, 
if a depository institution were to stop offering next-day ACH 
origination to its customers, the demand for that service would likely 
be met by other depository institutions.
    The Board does not believe that ODFIs will cease offering next-day 
ACH origination in an effort to drive volume to same-day ACH 
transactions, thus increasing RDFI interbank fee revenue. If that were 
to happen, same-day ACH volume would far exceed the volume expectations 
used in calculating the 5.2 cent interbank fee, which would result in a 
reduction of the fee following the regularly scheduled reviews. The 
Board intends to monitor the adoption of same-day ACH and the continued 
availability of next-day ACH services. The Board will reevaluate the 
amount and appropriateness of any interbank fee if low-cost next-day 
ACH origination services are widely replaced by same-day ACH services, 
increasing costs to originators.

[[Page 58253]]

III. Criteria for Evaluating the Federal Reserve's Role in the Payment 
System

A. New Services and Service Enhancements

    In considering new services and major service enhancements to 
existing Reserve Bank services, the Board requires the following 
criteria be met: the service must enable full long-run recovery of 
costs by the Reserve Banks; the service must yield a clear public 
benefit; and the service must be one that other providers alone cannot 
be expected to provide with reasonable effectiveness, scope, and 
equity.\26\
---------------------------------------------------------------------------

    \26\ See The Federal Reserve in the Payments System (issued 
1984; revised 1990), Federal Reserve Regulatory Service 9-1557, 
http://www.federalreserve.gov/paymentsystems/pfs_frpaysys.htm. Clear 
public benefits include promoting the integrity of the payments 
system, improving the effectiveness of financial markets, reducing 
the risk associated with payments and securities-transfer services, 
or improving the efficiency of the payments system. Id.
---------------------------------------------------------------------------

    The Board believes that the introduction of a FedACH same-day 
service with mandatory participation by RDFIs and an interbank fee 
meets these criteria.\27\ The service will not adversely affect the 
Reserve Banks' ability to recover the cost of providing the ACH service 
over the long run as operating costs can be recovered through fees 
charged for using the Reserve Banks' ACH services.\28\
---------------------------------------------------------------------------

    \27\ Although comment was not specifically requested on whether 
adoption of the service satisfied the Board's criteria, several 
commenters addressed the subject and all agreed with the Board's 
analysis that the criteria would be met.
    \28\ The Reserve Banks intend to review current FedACH SameDay 
Service fees to determine whether any changes are appropriate as a 
result of the enhancements.
---------------------------------------------------------------------------

    The service also offers clear public benefits. Same-day ACH 
capability will facilitate the use of the ACH network for certain time-
critical payments, accelerate final settlement, and improve funds 
availability to payment recipients. The Board believes that a 
ubiquitous same-day ACH service would enhance the efficiency of the ACH 
network and the broader U.S. payment system by providing a more 
efficient electronic payment option for person-to-person payments, 
expedited bill payments, same-day payroll payments, and other types of 
transactions. As several commenters noted, this is consistent with the 
strategic goals identified in the Strategies Paper.\29\
---------------------------------------------------------------------------

    \29\ The Strategies Paper communicates desired outcomes for the 
payment system and outlines the strategies the Federal Reserve will 
pursue, in collaboration with stakeholders, to help the country 
achieve these outcomes. One of the specific strategies for improving 
the U.S. payment system in the Strategies Paper is enhanced Reserve 
Bank payment, settlement, and risk-management services through 
promoting greater use of same-day ACH capabilities. Federal Reserve 
System (2015), ``Strategies for Improving the U.S. Payment System,'' 
(Federal Reserve System, January), fedpaymentsimprovement.org/wp-content/uploads/strategies-improving-us-payment-system.pdf.
---------------------------------------------------------------------------

    The Board also believes that the private sector cannot be expected 
to provide the service alone with reasonable effectiveness, scope, or 
equity. Without incorporation of NACHA's amended operating rules by the 
Reserve Banks, a viable same-day ACH service would be unlikely.\30\ 
Without the ability to reach any RDFI in the ACH network, the Board 
believes that any same-day ACH service would be ineffective and any 
corresponding public benefits would be limited.
---------------------------------------------------------------------------

    \30\ This is evidenced by the limited adoption of the Reserve 
Banks' current optional FedACH SameDay Service.
---------------------------------------------------------------------------

B. Competitive Impact Analysis

    When considering changes to an existing service, the Board also 
conducts a competitive impact analysis to determine whether there will 
be a direct and material adverse effect on the ability of other service 
providers to compete effectively with the Federal Reserve in providing 
similar services due to differing legal powers or the Federal Reserve's 
dominant market position deriving from such legal differences.\31\ The 
Board believes that there are no adverse effects to other service 
providers resulting from adoption of the amended operating rules. The 
changes to the Reserve Banks' existing service conform the service to 
industry-wide ACH operating rules that can be adopted by both ACH 
operators.\32\ The changes are not the result of any differing legal 
powers or any dominant market position resulting from legal 
differences.
---------------------------------------------------------------------------

    \31\ See The Federal Reserve in the Payments System (issued 
1984; revised 1990), Federal Reserve Regulatory Service 9-1558, 
http://www.federalreserve.gov/paymentsystems/pfs_frpaysys.htm.
    \32\ TCH, owner of EPN, indicated its strong support for the 
enhancements in two separate comments submitted to the Board.
---------------------------------------------------------------------------

IV. Conclusion

    Based on its review of comments received, the Board has approved 
enhancements to the Reserve Banks' FedACH SameDay Service that require 
RDFIs to participate in the service and ODFIs to pay a fee to RDFIs for 
each same-day ACH forward transaction. The enhancements will be adopted 
by incorporation of NACHA's amended operating rules into Operating 
Circular 4, governing the Reserve Banks' ACH services.

    By order of the Board of Governors of the Federal Reserve 
System, September 23, 2015.
Robert deV. Frierson,
Secretary of the Board.
[FR Doc. 2015-24551 Filed 9-25-15; 8:45 am]
BILLING CODE 6210-01-P



                                              58248                     Federal Register / Vol. 80, No. 187 / Monday, September 28, 2015 / Notices

                                              public health continues to be protected                 Division of Reserve Bank Operations                      The Reserve Banks’ current FedACH
                                              from the hazards of radionuclides by                    and Payment Systems; Evan H.                          SameDay Service is an optional service
                                              compliance with health based                            Winerman, Senior Attorney (202/872–                   that allows ODFI participants to
                                              standards. This information is required                 7578), Legal Division; for users of                   originate same-day payments to all RDFI
                                              for those facilities meeting the                        Telecommunication Devices for the Deaf                participants that agree to accept such
                                              definition of each Subpart. EPA’s                       (TDD) only, contact 202/263–4869.                     payments.5 The Reserve Banks began
                                              compliance monitoring activities vary                   SUPPLEMENTARY INFORMATION:                            offering the service in 2010 to address
                                              widely. EPA could issue a letter                                                                              growing market demand for intraday
                                              requesting information about                            I. Background                                         ACH processing and settlement. In the
                                              compliance or could conduct a full-                        On May 27, 2015, the Board requested               five years since its introduction, the
                                              scale investigation, including on site                  comment on proposed enhancements to                   FedACH SameDay Service has
                                              inspections. The information required to                the Reserve Banks’ FedACH® SameDay                    experienced limited adoption; 78
                                              be submitted is not confidential in                     Service (FedACH SameDay Service).1                    depository institutions (less than 1
                                              nature.                                                 The proposed enhancements were                        percent of FedACH customers) are
                                                 Respondents/affected entities: The                   intended to align the existing FedACH                 currently using the service. A number of
                                              NAICS Codes of facilities associated                    SameDay Service with amendments to                    factors may account for this low
                                              with the activity of the respondents are:               NACHA’s Operating Rules and                           adoption rate. RDFIs typically need to
                                              (1) Elemental Phosphorous 325188, (2)                   Guidelines that were approved by                      upgrade internal processing capabilities
                                              Phosphogypsum Stacks 212392, (3)                        NACHA membership on May 19, 2015                      to post same-day transactions. Although
                                              Underground Uranium Mines 212291,                       (amended operating rules).2                           ODFIs may be able to realize value from
                                              and (4) Uranium Mill Tailings 212291.                      The ACH network serves as a                        the service through enhanced ACH
                                                 Respondent’s obligation to respond:                  ubiquitous, nationwide mechanism for                  product offerings, such as emergency
                                              Mandatory.                                              processing batch-based credit and debit               bill pay, these services may be
                                                 Estimated number of respondents: 20                  transfers electronically. The private                 unappealing to originators because of
                                              (total).                                                sector and the Federal Reserve jointly                low RDFI participation and
                                                 Frequency of response: Initially                     developed the ACH network as an                       corresponding limited receiver reach.
                                              (Once), Annually, Random                                electronic alternative to checks, the                 The current FedACH SameDay Service
                                              (Occasionally)                                          growth of which in the late 1960s and                 does not have an interbank fee.
                                                 Total estimated burden: 3,000 hours                  early 1970s was creating operational                     Two aspects of NACHA’s amended
                                              (per year). Burden is defined at 5 CFR                  and cost burdens. Currently, the ACH                  operating rules differ materially from
                                              1320.03(b)                                              network consists of two network                       the Reserve Banks’ current FedACH
                                                 Total estimated cost: $500,000, which                operators: The Reserve Banks, through                 SameDay Service. First, under NACHA’s
                                              includes $300,000 in annualized capital                 FedACH, and The Clearing House                        amended operating rules, receipt of
                                              and O&M costs.                                          (TCH), through the Electronic Payments                same-day ACH transactions is
                                                                                                      Network (EPN). Both operators provide                 mandatory and RDFIs must make funds
                                              Courtney Kerwin,                                                                                              available from same-day ACH credits to
                                                                                                      services to enable ODFIs to originate
                                              Acting Director, Collection Strategies                                                                        their depositors by 5:00 p.m.6 Second,
                                              Division.
                                                                                                      and RDFIs to receive ACH transactions.
                                                                                                      The Reserve Banks and TCH work                        NACHA’s amended operating rules
                                              [FR Doc. 2015–24500 Filed 9–25–15; 8:45 am]                                                                   establish an interbank fee, paid by
                                                                                                      together to exchange inter-operator ACH
                                              BILLING CODE 6560–50–P
                                                                                                      payments in which the ODFI and RDFI                   ODFIs to RDFIs for each forward same-
                                                                                                      are served by different operators.                    day transaction.7 As described in greater
                                                                                                         The ACH network is governed by the                 detail below, NACHA designed the
                                              FEDERAL RESERVE SYSTEM                                  rules of the ACH operators, which                     interbank fee, initially 5.2 cents per
                                                                                                      generally incorporate the NACHA                       forward transaction, to allow RDFIs to
                                              [Docket No. OP–1515]                                                                                          offset costs associated with the up-front
                                                                                                      Operating Rules and Guidelines adopted
                                                                                                      by NACHA’s members.3 As an ACH                        investments and ongoing operating costs
                                              Enhancements to Federal Reserve
                                                                                                      operator, the Reserve Banks, through                  necessary for accepting, posting, and
                                              Bank Same-Day ACH Service
                                                                                                      Operating Circular 4, incorporate                     making funds available from same-day
                                              SUMMARY:   The Board of Governors                       NACHA’s Operating Rules and                           transactions. The amended operating
                                              (Board) has approved enhancements to                    Guidelines as rules that govern clearing              rules provide that the interbank fee will
                                              the Federal Reserve Banks’ (Reserve                     and settlement of commercial ACH                      be reduced if actual same-day
                                              Banks) same-day automated clearing                      items by the Reserve Banks, except for                transaction volume exceeds original
                                              house (ACH) service. The enhancements                   those provisions specifically excluded                projections by more than 25 percent
                                              require receiving depository financial                  in the Operating Circular.4 The Reserve               during regularly required review
                                              institutions (RDFIs) to participate in the              Banks’ Operating Circular 4 does not                  periods.8 Ten years after the final phase
                                              service and originating depository                      govern ACH transactions conducted
                                              financial institutions (ODFIs) to pay a                 through EPN.
                                                                                                                                                              5 As part of the service, the Reserve Banks charge

                                              fee to RDFIs for each same-day ACH                                                                            participating ODFIs a per-item surcharge on the
                                                                                                                                                            normal ACH processing fee and provide RDFIs a
                                              forward transaction. The enhancements                     1 80  FR 30246 (May 27, 2015).                      discount on the normal ACH processing fee for
                                              will be adopted by incorporation of                       2 The  amendments become effective in three         receipt of forward items.
                                              NACHA’s amended operating rules into                    phases, beginning with same-day credits in              6 RDFIs’ local time.

                                              Operating Circular 4, governing the                     September 2016, same-day debits in 2017, and            7 The amended operating rules refer to the
tkelley on DSK3SPTVN1PROD with NOTICES




                                                                                                      faster funds availability in March 2018. Next-day     interbank fee as the ‘‘Same Day Entry Fee.’’ Only
                                              Reserve Banks’ ACH services.                            settlement will also remain available.                forward same-day transactions originated by or
                                              DATES: Effective September 23, 2016.                       3 NACHA’s membership consists of insured           through the ODFI are subject to the fee; same-day
                                              FOR FURTHER INFORMATION CONTACT: Ian                    financial institutions and regional payment           returns will also be available but are not subject to
                                                                                                      associations.                                         the interbank fee.
                                              C.B. Spear, Senior Financial Services                      4 Operating Circular 4, Section 1.4, https://        8 Same-day ACH volume will be reviewed five
                                              Analyst (202/452–3959); or Jessica                      www.frbservices.org/files/regulations/pdf/            years and eight years after the final phase of
                                              Stahl, Economist (202/452–6452),                        operating_circular_4_11042013.pdf.                    implementation is effective.



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                                                                        Federal Register / Vol. 80, No. 187 / Monday, September 28, 2015 / Notices                                                    58249

                                              of implementation is effective, and                     concern with one or both of the topics                community-bank trade group. These
                                              every ten years thereafter, NACHA will                  on which the Board requested comment.                 commenters supported mandatory
                                              reevaluate the interbank fee.9 Under                                                                          receipt even in light of the associated
                                                                                                      A. Mandatory Participation of RDFIs
                                              NACHA’s amended operating rules the                                                                           costs.
                                              interbank fee may not be increased from                    Thirty-seven commenters addressed                     The Board believes that the benefits of
                                              its initial level of 5.2 cents per forward              mandatory receipt of same-day ACH                     same-day ACH service outweigh the
                                              transaction.                                            transactions. Twenty-nine commenters                  costs institutions would incur to
                                                 These differences require                            believed that mandatory receipt is                    implement such a service. Same-day
                                              enhancements to the Reserve Banks’                      critical to the success of a same-day                 ACH capability will facilitate the use of
                                              existing FedACH SameDay Service that                    ACH service. These commenters,                        the ACH network for certain time-
                                              may have a significant longer-run effect                including seven small depository                      critical payments, accelerate final
                                              on the nation’s payment system.10                       institutions or associations representing             settlement, and improve funds
                                              Therefore, the Board requested                          such institutions, generally agreed that              availability to payment recipients.12 The
                                              comment on the following:                               mandating receipt is necessary to                     Board believes that these capabilities
                                                 • Making receipt of same-day ACH                     achieve a ubiquitous same-day ACH                     will in turn provide a more efficient
                                              transactions mandatory for all RDFIs. If                service that provides value to end users              electronic payment option for person-to-
                                              commenters believed that participation                  and depository institutions and achieves              person payments, expedited bill
                                              by RDFIs should not be mandatory, the                   the associated public benefits that come              payments, same-day payroll payments,
                                              Board requested comment on why the                      from the enhanced efficiency of the                   and other types of transactions.13 In
                                              Reserve Banks’ same-day ACH service                     ACH network. Making receipt of same-                  light of the widespread industry support
                                              should remain optional and whether                      day transactions optional, they argue,                for a same-day ACH service with an
                                              there are non-mandatory alternatives to                 would severely limit the benefits of any              interbank fee, as evidenced by the
                                              achieving ubiquity.                                     same-day ACH service. One commenter                   approval of the NACHA amended
                                                 • Whether the interbank fee included                 (one letter representing two merchant                 operating rules, the Board believes that
                                              in NACHA’s amended operating rules                      associations), which agreed that                      the costs incurred to implement such a
                                              equitably reapportions the initial                      mandatory receipt is necessary to                     service are outweighed by the enhanced
                                              implementation costs and ongoing                        achieve a ubiquitous same-day ACH                     efficiency of the ACH network and the
                                              operating costs between ODFIs and                       service, requested that the Board                     broader U.S. payment system.
                                              RDFIs.                                                  abandon same-day ACH services to                         The Board also believes that ubiquity
                                              II. Summary of Comments and Analysis                    develop real-time ACH processing.                     is necessary to achieve these benefits.
                                                                                                         Eight commenters, all credit unions or             As with existing next-day ACH services,
                                                 The Board received forty comments in                 credit union associations, expressed                  same-day ACH will be most efficient if
                                              response to its request. Comments were                  concern that mandatory receipt of same-               originators can be certain that same-day
                                              submitted by depository institutions,                   day ACH transactions would be overly                  ACH transactions will reach any banked
                                              depository institution trade                            burdensome on smaller depository                      receiver. If the same-day ACH service
                                              associations, national and regional                     institutions. These commenters                        lacks this ubiquity, originators would be
                                              payments associations, associations                     indicated that technical and operational              able to use the service to reach only a
                                              representing end users (consumers and                   changes are necessary to receive same-                subset of their intended receivers,
                                              businesses) and third-party payment                     day ACH transactions, and that small                  substantially reducing the attractiveness
                                              processors, a private-sector ACH                        institutions will be disproportionately               of the service. The Board believes, and
                                              operator, and an individual. Twenty-                    affected because they would be unable                 commenters supporting mandatory
                                              two commenters stated that receipt of                   to adequately offset the associated costs             receipt agreed, that the limited adoption
                                              same-day ACH transactions should be                     of receiving such transactions because                of the Reserve Banks’ current FedACH
                                              mandatory and that the interbank fee                    of their lower same-day ACH volume.                   SameDay Service demonstrates an
                                              appropriately reapportions costs                        Only three of these commenters                        optional service cannot achieve the
                                              between ODFIs and RDFIs. Three                          suggested alternatives: Two commenters                ubiquity necessary to establish a
                                              commenters generally supported same-                    suggested that the Board exempt smaller               successful same-day ACH service. The
                                              day ACH services but did not                            depository institutions from any                      Board agrees with the majority of
                                              specifically address mandatory receipt                  mandatory receipt requirements, and                   commenters that mandating receipt of
                                              or the equity of the interbank fee.                     one commenter suggested limiting                      same-day ACH transactions is the only
                                              Fifteen commenters expressed some                       same-day ACH transactions to a single                 practical method to achieve that
                                                                                                      morning submission and afternoon                      necessary ubiquity and the
                                                 9 NACHA’s reevaluation will not include
                                                                                                      settlement deadline to reduce the                     corresponding benefits. Moreover, the
                                              implementation costs recovered through payment of
                                              the interbank fee during the preceding period, and
                                                                                                      burden on smaller depository                          interbank fee, discussed below, is
                                              will be based on the average costs incurred by          institutions.11 The commenters that                   designed to address the concerns of
                                              RDFIs, same-day ACH volumes, projected future           supported making receipt mandatory                    RDFIs about same-day ACH
                                              developments, and the extent to which the fee           included seven small depository                       implementation and operating costs.
                                              satisfied RDFI costs.                                                                                            Although the Board acknowledges the
                                                 10 The amended operating rules contain other
                                                                                                      institutions or associations representing
                                              elements that would require modifications to the        such institutions, including a                        concerns raised by some commenters
                                              Reserve Banks’ current FedACH SameDay Service.
                                              The Board believes these changes are operational in        11 Unlike the Board’s current FedACH SameDay          12 One commenter that supported same-day ACH

                                              nature and will not have significant longer-run         Service, NACHA estimates that same-day ACH            noted that payments processed through the check
                                              effects on the nation’s payment system. These           services under the amended operating rules will       system may clear and settle faster than some ACH
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                                              include updated submission and settlement               include two updated submission and settlement         transactions today.
                                              windows (an estimated morning submission                windows (an estimated morning submission                 13 Same-day ACH may facilitate certain

                                              deadline at 10:30 a.m. ET with settlement occurring     deadline at 10:30 a.m. ET with settlement occurring   transactions for which next-day ACH is not feasible.
                                              at 1:00 p.m. ET and an estimated afternoon              at 1:00 p.m. and an estimated afternoon submission    For example, companies with limited windows for
                                              submission deadline at 3:00 p.m. ET with                deadline at 3:00 p.m. ET with settlement occurring    processing payroll payments, such as payments to
                                              settlement occurring at 5:00 p.m. ET). International    at 5:00 p.m.). However, exact schedules and timing    hourly employees, may be able to process
                                              ACH transactions and transactions above $25,000         will be determined by each ACH operator and are       transactions via same-day ACH that otherwise
                                              are not eligible for the same-day service.              not set by the amended operating rules.               would be conducted using checks or prepaid cards.



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                                              58250                      Federal Register / Vol. 80, No. 187 / Monday, September 28, 2015 / Notices

                                              regarding the burden of mandatory                       same-day ACH transactions mandatory                        Two commenters (a large bank and
                                              receipt of same-day ACH transactions                    for all RDFIs.                                           one letter representing two merchant
                                              for small depository institutions, the                                                                           associations) opposed an interbank fee
                                                                                                      B. Interbank Fee
                                              Board does not believe that any of the                                                                           of any amount. The large bank
                                              commenters provided a viable                               Thirty-four commenters addressed                      commenter argued that any interbank
                                              alternative for achieving ubiquity                      whether the interbank fee included in                    fee will disproportionately compensate
                                              without such burdens. The Board                         NACHA’s amended operating rules                          the largest RDFIs, resulting in
                                              believes that exempting small                           equitably reapportions the initial                       unintended negative effects such as
                                              institutions would undermine the                        implementation costs and ongoing                         higher end-user fees. The merchant
                                              ubiquity—and therefore the utility—of                   operating costs between ODFIs and                        associations expressed concerns that the
                                              the service. Finally, the Board believes                RDFIs.15 Thirty-two commenters                           interbank fee will impair competition
                                              that limiting same-day ACH transactions                 supported an interbank fee as an                         and may have antitrust implications.
                                              to a single morning submission and                      appropriate method for allocating costs                  The large bank commenter requested
                                              afternoon settlement deadline would                     between parties.                                         that the Board proceed with a
                                              reduce the utility of a same-day ACH                       Twenty-one commenters argued that                     mandatory same-day ACH service
                                              service, particularly for West Coast                    an interbank fee of 5.2 cents is                         without any interbank fee. The
                                              depository institutions.                                appropriate.16 These commenters                          merchant associations believed that the
                                                 The Board believes that a ubiquitous                 generally stated that the interbank fee is               Board lacks authority to require the
                                              same-day ACH service will offer                         necessary for achieving a ubiquitous                     Reserve Banks to collect and transfer an
                                              considerable pro-competitive benefits.                  same-day ACH service; without an                         interbank fee. Several commenters
                                              Ubiquitous same-day ACH service could                   interbank fee these commenters                           expressed other concerns with the
                                              create a new mechanism to compete                       concluded that many RDFIs would have                     interbank fee: That NACHA would
                                              with payment methods other than ACH,                    opposed NACHA’s amended operating                        increase the interbank fee in the future,
                                              and may do so at a lower cost. As stated                rules. Several commenters cited the                      and that ODFIs would pass the
                                              above, for example, same-day ACH                        failure of NACHA’s Expedited                             interbank fee on to their customers
                                              capability will facilitate the use of the               Processing and Settlement (EPS)                          using the service.
                                              ACH network for certain time-critical                   proposal in 2011 as evidence that a                        After considering the comments
                                              payments, accelerate final settlement,                  same-day ACH service lacking an                          received, and given the rejection of
                                              and improve funds availability to                       interbank fee could not succeed.17                       NACHA’s 2011 EPS proposal, the Board
                                              payment recipients. The Board believes                     Ten commenters (nine credit unions                    has concluded that in this specific
                                              that these capabilities will in turn                    or credit union associations and one                     instance an interbank fee is necessary to
                                              provide a more efficient electronic                     bank holding company) supported an                       achieve a ubiquitous same-day ACH
                                              payment option for person-to-person                     interbank fee but argued that the 5.2                    service.18 Many commenters argued that
                                              payments, expedited bill payments,                      cent fee is too low to allow smaller                     the inclusion of an interbank fee
                                              same-day payroll payments, and other                    RDFIs to recover costs in a reasonable                   increased RDFIs’ willingness to approve
                                              types of transactions.                                  amount of time, particularly small                       NACHA’s amended operating rules
                                                 The Board also does not believe that                 RDFIs with limited same-day ACH                          because without an interbank fee, RDFIs
                                              same-day ACH capabilities should be                     volume. Two of these commenters                          would have lacked the needed business
                                              abandoned to pursue real-time ACH                       suggested that the Board create a tiered                 justification to approve the mandatory
                                              payments as suggested by the merchant                   fee structure instead of a flat fee,                     receipt requirement that is critical to
                                              associations’ letter, but rather believes               allowing smaller RDFIs to receive higher                 achieving ubiquity. In addition, as noted
                                              that both services would be                             fees.                                                    above, the Federal Reserve’s current
                                              complementary. As outlined in the                                                                                same-day ACH service, which is not
                                              Federal Reserve’s Strategies for                           15 One additional commenter stated it was unable      mandatory and does not include an
                                              Improving the U.S. Payment System                       to assess the equity of the interbank fee due to         interbank fee, is not widely used. The
                                              paper (Strategies Paper), the Federal                   variables that it believed were not adequately           Board considered whether a ubiquitous
                                              Reserve recently convened two task                      addressed or evaluated by NACHA’s calculation,           same-day ACH service could be
                                              forces—faster payments and secure                       including the potential for higher initial
                                                                                                      implementation costs and lower incremental costs.        achieved by mandating in the Reserve
                                              payments—where private-sector                           One payments association commenter that did not          Banks’ Operating Circular 4 that
                                              participants can collaborate to create                  specifically address the equity of the interbank fee     FedACH customers receive same-day
                                              approaches that will serve the public.14                stated that its membership was split as to whether       ACH transactions without providing for
                                              The faster payments task force, with                    to support NACHA’s amended operating rules
                                                                                                      without the fee. One additional financial institution    an interbank fee. The Board does not
                                              input from the secure payments task                                                                              believe that this is a viable alternative.
                                                                                                      commenter did not address the equity of the fee or
                                              force, will identify and evaluate                       express clear support but suggested that the fee         As described above, the Reserve Banks’
                                              alternative approaches for implementing                 would not sufficiently address extended staffing         Operating Circular 4 applies only to
                                              safe, ubiquitous, faster payments                       hours necessary to meet same-day posting times.
                                                                                                                                                               FedACH customers and does not govern
                                                                                                         16 One commenter that supported an interbank fee
                                              capabilities in the United States. The                                                                           ACH transactions conducted through
                                                                                                      as an appropriate method for allocating costs
                                              Board believes that these efforts are the               between parties did not specifically address             the other ACH operator, EPN. Therefore,
                                              most appropriate channels to further                    whether the current interbank fee amount of 5.2          any mandate adopted by the Reserve
                                              consider real-time ACH capabilities.                    cents was appropriate.
                                                                                                                                                               Banks would apply only to FedACH
                                                 For these reasons, the Board has                        17 The initial proposal to create a ubiquitous,

                                                                                                      same-day framework failed to receive the number          customers and not to EPN customers,
                                              approved enhancements to the Reserve
                                                                                                      of votes required for adoption under NACHA voting
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                                              Banks’ existing FedACH SameDay                          rules. According to NACHA’s same-day ACH                   18 The Board’s belief that, on balance, the
                                              Service that make receipt of forward                    request for comment (December 2014), one reason          interbank fee is necessary in this instance is based
                                                                                                      for the proposal’s failure was that it created           on circumstances specific to the nature of the
                                                 14 Federal Reserve System (2015), ‘‘Strategies for   significant implementation costs for RDFIs without       existing ACH network, its governance, and the
                                              Improving the U.S. Payment System,’’ (Federal           adequate options to offset those costs. Other reasons    requirements of the amended operating rules.
                                              Reserve System, January),                               cited for the failure of the earlier proposal were the   Interbank fees may not be necessary or appropriate
                                              fedpaymentsimprovement.org/wp-content/uploads/          insufficient value to originators, and the uncertainty   in the implementation of other payment services or
                                              strategies-improving-us-payment-system.pdf.             around when funds would be available to receivers.       systems.



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                                                                         Federal Register / Vol. 80, No. 187 / Monday, September 28, 2015 / Notices                                               58251

                                              resulting in a same-day service that is                  projections into the future, and deal                    and extensive review of potential use
                                              not ubiquitous.19 The Board also                         with significant non-response.21                         cases provided a reasonable basis for
                                              believes that the interbank fee must be                     To facilitate its projections, the                    estimating future demand for a product
                                              implemented by the Reserve Banks as                      consultant surveyed a sample of RDFIs                    that has not yet been introduced. Also,
                                              ACH operator, as it would be infeasible                  to obtain those banks’ projected                         the collection of data from a sample of
                                              for thousands of depository institutions                 implementation and ongoing                               RDFIs of varying sizes through a survey
                                              to collect interbank fees bilaterally. The               operational costs. The consultant also                   was a sensible way to assess potential
                                              Board has authority to require the                       interviewed banks and third-party                        costs of the service. The Board not only
                                              Reserve Banks to collect and transfer                    processors to understand the potential                   reviewed the methodology used to
                                                                                                       uses of same-day ACH. Based on
                                              this fee under the Federal Reserve Act.20                                                                         calculate the fee, but also considered the
                                                                                                       interviews, the consultant determined
                                                 In order to calculate a per-transaction                                                                        implications of the fee for the ACH
                                                                                                       that the largest RDFIs typically use
                                              interbank fee that would allow RDFIs in                                                                           industry. The Board found the fee to be
                                                                                                       internal systems to process ACH
                                              the aggregate to recover implementation                  transactions, while other RDFIs                          reasonable once NACHA addressed
                                              and ongoing operational costs                            typically outsource to third-party                       issues with respect to opportunity costs
                                              associated with the receipt of same-day                  processors. Accordingly, the consultant                  in the fee and the potential for the fee
                                              ACH transactions, the Board believes                     asked only large RDFIs and third-party                   to rise over time, as described below.
                                              that an appropriate methodology                          processors about one-time                                   NACHA issued its same-day ACH rule
                                              requires certain inputs: A projection of                 implementation costs. All surveyed                       for public comment in December 2014.
                                              one-time implementation costs                            RDFIs were asked about ongoing                           At that time, NACHA proposed an
                                              associated with same-day ACH receipt,                    operational costs under three different                  interbank fee of 8.2 cents. The
                                              a projection of ongoing costs associated                 same-day volume scenarios. Fourteen                      calculation of that fee included
                                              with same-day ACH receipt, and                           large RDFIs and 175 smaller RDFIs                        opportunity costs resulting from the
                                              projections of future same-day ACH                       responded to the survey, yielding a                      movement of transactions from higher-
                                              volume. The process would include                        sample with reasonable representation                    margin payments methods, such as
                                              obtaining data from participants in the                  across RDFI sizes. The Board reviewed                    wire, to same-day ACH, essentially
                                              ACH system, estimating the relationship                  the survey instruments and cost data                     transferring to same-day ACH the high
                                              between costs and transaction volume,                    aggregated in seven groups according to                  margins that result from banks having
                                              extrapolating those estimates to the                     RDFI size; NACHA did not make cost
                                                                                                                                                                market power in other services. In its
                                              broader universe of ACH participants,                    data of individual survey respondents
                                                                                                                                                                final rule, NACHA removed the
                                              and projecting future costs and                          available, citing confidentiality
                                                                                                                                                                opportunity cost component of the fee,
                                              transaction volume.                                      provisions under which the data were
                                                                                                       provided by RDFIs. The Board believes                    thereby lowering the fee from 8.2 to 5.2
                                                 NACHA commissioned a consultant                       the survey instrument was reasonably                     cents.
                                              to calculate the interbank fee. The Board                designed to obtain the necessary data.                      The Board believes that the lower
                                              has reviewed the consultant’s                               Using data from these RDFIs, the                      interbank fee of 5.2 cents reasonably
                                              methodology, which contained the                         consultant estimated relationships                       balances depository institutions’ ability
                                              inputs discussed above. The Board also                   between costs and volumes, and used                      to offset costs with the needs of ACH
                                              reviewed the consultant’s assumptions                    these relationships to extrapolate to                    end users. As discussed above, a 5.2
                                              and judgments necessary to construct                     non-responding RDFIs. Projections of                     cent interbank fee would allow cost
                                              these inputs and use them to construct                   same-day ACH volume were based upon                      recovery for RDFIs as a whole. Although
                                              the fee. The Board believes the data and                 information from ODFIs, NACHA, and                       the fee may not allow full cost recovery
                                              analysis provide a reasonable basis for                  other subject matter experts. Projected                  for all RDFIs, it will allow all RDFIs to
                                              the interbank fee, given the fact that                   adoption rates for ten broad use cases                   offset a portion of their costs. The Board
                                              NACHA had to collect data from                           formed the basis for the projections of                  expects that, in most cases, the
                                              voluntary respondents, make various                      total same-day ACH volume. Given its
                                                                                                                                                                interbank fee will ultimately be borne
                                                                                                       projections of costs and volumes, the
                                                                                                                                                                by end users that originate same-day
                                                 19 NACHA made the implementation of the               consultant chose a fee that, by its
                                                                                                       calculation, sets the present discounted                 ACH transactions, a concern echoed by
                                              amended operating rules contingent on the Federal
                                              Reserve’s support. If the Board had determined that      value of aggregate projected RDFI                        several commenters. For some
                                              the Reserve Banks should not adopt the proposed          interbank fee revenues equal to the                      originators, faster settlement or funds
                                              enhancements and provide same-day ACH service                                                                     availability associated with same-day
                                              under the amended operating rules, they would not        present discounted value of aggregate
                                              go into effect.                                          projected RDFI costs for all RDFIs as a                  ACH may be worth these potentially
                                                 20 Specifically, the Board has authority to require   whole.22                                                 higher costs, and their same-day ACH
                                              the Reserve Banks to collect and transfer this fee          The Board recognizes that projections                 costs (even with the pass-through of the
                                              under the following provisions of the Federal                                                                     interbank fee) may still be substantially
                                              Reserve Act: Section 11A (12 U.S.C. 248a), section
                                                                                                       of future costs and volumes are
                                              11(j) (12 U.S.C. 248(j)), and paragraph 14 of section    inherently subjective, but believes the                  lower than the costs they would incur
                                              16 (12 U.S.C. 248–1). The Board’s general                approach used to determine the                           using other payment methods, such as
                                              supervisory authority over Reserve Banks, along          interbank fee is reasonable. Specifically,               wire transfers. Originators that wish to
                                              with its specific authority to require Reserve Banks
                                              to act as a clearing house for financial institutions,
                                                                                                       interviews with industry participants                    avoid such potential costs can continue
                                              includes the ability to devise methods to cover the                                                               to use existing lower-cost next-day ACH
                                                                                                         21 The Board would likely have encountered
                                              costs incident to the Reserve Banks’ clearing                                                                     options and the Federal Reserve has no
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                                              activities. See Fraternal Order of Police v. Board of    similar limitations had it undertaken this survey
                                              Governors of the Federal Reserve System, 391 F.          and calculation directly.                                plans to eliminate its next-day ACH
                                              Supp.2d 1 (D.D.C. 2005). Moreover, an interbank fee        22 NACHA used a 12.2 percent rate of return to         settlement. The Board believes that a
                                              for same-day ACH transactions is no different, in        discount future revenue and cost streams associated      higher interbank fee would likely result
                                              effect, from a situation in which the Reserve Bank       with same-day ACH. The Board has determined that         in higher costs being passed to
                                              is required to pay a fee to an RDFI and therefore        that a 12.2 percent rate of return is not unreasonable
                                              requires ODFIs to pay the fee to the Reserve Bank        for a new, relatively high-risk venture such as same-    originators and may reduce demand for
                                              in order to recover Reserve Bank costs.                  day ACH.



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                                              58252                     Federal Register / Vol. 80, No. 187 / Monday, September 28, 2015 / Notices

                                              same-day ACH services, resulting in a                   schedules published on the Board’s                         in monitoring risk profiles specific to
                                              ubiquitous but lesser-used service.23                   public Web site in the event that same-                    same-day ACH transactions, and the
                                                 The Board has not adopted the                        day ACH volume exceeds projections by                      Board is aware that NACHA and the
                                              suggestion to tier the fee to allow                     more than 25 percent during one of the                     regional payment associations have
                                              smaller institutions to recover more                    regularly scheduled review periods.                        already started reviewing risk
                                              than the 5.2 cent fee because it does not               Any other changes to the interbank fee                     management issues related to same-day
                                              believe there is a clear correlation                    will require additional consideration                      ACH transactions. The Board believes
                                              between institution size and                            and action by the Board.                                   that any risks related to same-day ACH
                                              implementation costs. As described
                                                                                                      C. Other Topics Raised                                     can be appropriately mitigated by the
                                              above, smaller RDFIs often outsource
                                                                                                                                                                 industry in collaboration with NACHA
                                              their ACH and transaction account                         The Board received comments on
                                              processing, and may not incur costs as                                                                             and the ACH operators.
                                                                                                      several other topics related to
                                              material as those RDFIs that do not                     enhancements to the Reserve Banks’                         (iii) Continued Availability of Existing
                                              outsource this processing.                              existing FedACH SameDay Service.                           ACH Capabilities
                                                 The Board does not believe that the
                                              interbank fee will rise over time, as has               (i) Processing Windows                                        Several commenters expressed
                                              been the experience in the card                            Several commenters raised questions                     concerns that the availability of same-
                                              industry. To address this concern,                      about the processing and settlement                        day ACH services would lead to the
                                              NACHA proposed provisions that                          windows for same-day ACH                                   discontinuation or unnecessary
                                              provided for the potential reduction in                 transactions. As noted above, one                          migration away from low-cost next-day
                                              the fee, and adopted a rule to ensure                   commenter asked the Board to consider                      ACH services. The Board believes that
                                              that the fee could not be increased in                  a single morning submission and                            next-day ACH services will remain
                                              the future. The Board recognizes that                   afternoon settlement deadline, while                       relevant in light of likely continued
                                              NACHA members could vote to amend                       another commenter argued that                              demand by end users for low cost and
                                              NACHA’s operating rules to allow the                    institutions outside the Eastern Time                      efficient options for payments that do
                                              interbank fee to increase above 5.2                     Zone will only gain limited benefits                       not require same-day settlement or
                                              cents, but no such increase would apply                 from same-day ACH. A third commenter
                                              to FedACH same-day volume unless the                                                                               processing, such as regularly scheduled
                                                                                                      requested that the Board consider                          payroll files or bill payments. Retaining
                                              Board and the Reserve Banks (as ACH                     extending its National Settlement
                                              operator) agree to such an increase.                                                                               next-day ACH service also reduces
                                                                                                      Service deadline to be inclusive of
                                                 NACHA’s amended operating rules                                                                                 operational risk by allowing ODFIs and
                                                                                                      business hours in all U.S. time zones.
                                              also include a 5-year review and 8-year                    The Reserve Banks are reviewing the                     operators an opportunity to recover
                                              review of the fee. At each of these                     same-day ACH processing windows and                        from disruptions without delaying the
                                              reviews, if the volume of same-day                      will work with NACHA and EPN to                            settlement of transactions.
                                              transactions exceeds the NACHA                          establish processing schedules that are                       The Federal Reserve has no plans to
                                              projection by more than 25 percent, the                 convenient for as many institutions as                     discontinue next-day services, but it
                                              fee will be lowered to a level pre-                     possible across the network. The Board                     cannot ensure that any given depository
                                              calculated by NACHA and intended to                     has also previously expressed its intent                   institution would continue to offer next-
                                              allow RDFIs achieve cost recovery on an                 to enhance the National Settlement                         day ACH origination services to its
                                              aggregate basis. A schedule of possible                 Service and will review extended                           customers. In a competitive marketplace
                                              fee decreases is available on the Board’s               deadlines and potential enhancements
                                              Web site.24 If the fee is lowered as a                                                                             for deposit and payment services,
                                                                                                      as described in the Strategies Paper.25                    however, if a depository institution
                                              result of such reviews, the lower fee
                                              amount establishes a new ceiling, above                 (ii) Fraud Risks                                           were to stop offering next-day ACH
                                              which the interbank fee cannot rise. The                                                                           origination to its customers, the demand
                                                                                                         Several commenters noted an
                                              Board believes that the lower interbank                                                                            for that service would likely be met by
                                                                                                      increased potential for fraud with same-
                                              fee of 5.2 cents, combined with                                                                                    other depository institutions.
                                                                                                      day ACH transactions related to shorter
                                              regularly scheduled reviews to                          processing windows. The Board                                 The Board does not believe that
                                              determine any necessary reduction in                    recognizes that same-day ACH                               ODFIs will cease offering next-day ACH
                                              the fee in pre-calculated intervals, allow              transactions may have a different risk                     origination in an effort to drive volume
                                              cost recovery for RDFIs over time while                 profile than existing next-day ACH                         to same-day ACH transactions, thus
                                              maintaining the attractiveness of the                   transactions. The Reserve Banks have in                    increasing RDFI interbank fee revenue.
                                              same-day service to ODFIs and                           place alert services that can assist RDFIs                 If that were to happen, same-day ACH
                                              originators.                                                                                                       volume would far exceed the volume
                                                 Based on its review of these                            25 As described in the Strategies Paper (1) the first
                                                                                                                                                                 expectations used in calculating the 5.2
                                              comments, the Board has approved                        phase, which went into effect in January 2015,
                                                                                                      expanded the operating hours of the National
                                                                                                                                                                 cent interbank fee, which would result
                                              enhancements to the Reserve Banks’
                                                                                                      Settlement Service by opening the settlement               in a reduction of the fee following the
                                              existing FedACH SameDay Service to
                                              include an interbank fee paid by ODFIs
                                                                                                      window one hour earlier (at 7:30 a.m. ET) and              regularly scheduled reviews. The Board
                                                                                                      closing it one half-hour later (at 5:30 p.m. ET); (2)
                                              to RDFIs not to exceed 5.2 cents for each               the second phase, projected for year-end 2015, will
                                                                                                                                                                 intends to monitor the adoption of
                                              forward same-day transaction and to                     accelerate the opening time to coincide with the           same-day ACH and the continued
                                                                                                      9:00 p.m. ET opening of the Fedwire® Funds                 availability of next-day ACH services.
                                              decrease that fee according to the fee                  Service (on the prior calendar date); (3) the third
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                                                                                                                                                                 The Board will reevaluate the amount
                                                                                                      phase, projected for 2016 or beyond, will explore
                                                23 Four of the five commenters representing end
                                                                                                      the technology, infrastructure and operational and         and appropriateness of any interbank
                                              users supported adoption of the proposed                resource changes required to support weekend and/          fee if low-cost next-day ACH origination
                                              enhancements, including the interbank fee. This         or 24x7 operating hours. Federal Reserve System            services are widely replaced by same-
                                              support, however, was based on an interbank fee of      (2015), ‘‘Strategies for Improving the U.S. Payment
                                              5.2 cents.                                              System,’’ (Federal Reserve System, January),               day ACH services, increasing costs to
                                                24 http://www.federalreserve.gov/                     fedpaymentsimprovement.org/wp-content/uploads/             originators.
                                              paymentsystems/fedach_about.htm.                        strategies-improving-us-payment-system.pdf.



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                                                                        Federal Register / Vol. 80, No. 187 / Monday, September 28, 2015 / Notices                                                  58253

                                              III. Criteria for Evaluating the Federal                  The Board also believes that the                      By order of the Board of Governors of the
                                              Reserve’s Role in the Payment System                    private sector cannot be expected to                  Federal Reserve System, September 23, 2015.
                                                                                                      provide the service alone with                        Robert deV. Frierson,
                                              A. New Services and Service
                                                                                                      reasonable effectiveness, scope, or                   Secretary of the Board.
                                              Enhancements
                                                                                                      equity. Without incorporation of                      [FR Doc. 2015–24551 Filed 9–25–15; 8:45 am]
                                                 In considering new services and major                NACHA’s amended operating rules by                    BILLING CODE 6210–01–P
                                              service enhancements to existing                        the Reserve Banks, a viable same-day
                                              Reserve Bank services, the Board                        ACH service would be unlikely.30
                                              requires the following criteria be met:
                                                                                                      Without the ability to reach any RDFI in              DEPARTMENT OF DEFENSE
                                              the service must enable full long-run
                                                                                                      the ACH network, the Board believes
                                              recovery of costs by the Reserve Banks;                                                                       GENERAL SERVICES
                                              the service must yield a clear public                   that any same-day ACH service would
                                                                                                      be ineffective and any corresponding                  ADMINISTRATION
                                              benefit; and the service must be one that
                                              other providers alone cannot be                         public benefits would be limited.
                                                                                                                                                            NATIONAL AERONAUTICS AND
                                              expected to provide with reasonable                     B. Competitive Impact Analysis                        SPACE ADMINISTRATION
                                              effectiveness, scope, and equity.26
                                                 The Board believes that the                            When considering changes to an                      [Docket 2015–0055; Sequence 16; OMB
                                              introduction of a FedACH same-day                       existing service, the Board also conducts             Control No. 9000–0107]
                                              service with mandatory participation by                 a competitive impact analysis to
                                              RDFIs and an interbank fee meets these                                                                        Information Collection; Notice of
                                                                                                      determine whether there will be a direct
                                              criteria.27 The service will not adversely                                                                    Radioactive Materials
                                                                                                      and material adverse effect on the
                                              affect the Reserve Banks’ ability to                    ability of other service providers to                 AGENCY:  Department of Defense (DOD),
                                              recover the cost of providing the ACH                   compete effectively with the Federal                  General Services Administration (GSA),
                                              service over the long run as operating                  Reserve in providing similar services                 and National Aeronautics and Space
                                              costs can be recovered through fees                     due to differing legal powers or the                  Administration (NASA).
                                              charged for using the Reserve Banks’                    Federal Reserve’s dominant market                     ACTION: Notice of request for comments
                                              ACH services.28
                                                                                                      position deriving from such legal                     regarding the extension of a previously
                                                 The service also offers clear public
                                              benefits. Same-day ACH capability will                  differences.31 The Board believes that                existing OMB clearance.
                                              facilitate the use of the ACH network for               there are no adverse effects to other
                                                                                                      service providers resulting from                      SUMMARY:    Under the provisions of the
                                              certain time-critical payments,                                                                               Paperwork Reduction Act, the
                                              accelerate final settlement, and improve                adoption of the amended operating
                                                                                                      rules. The changes to the Reserve Banks’              Regulatory Secretariat Division will be
                                              funds availability to payment recipients.                                                                     submitting to the Office of Management
                                              The Board believes that a ubiquitous                    existing service conform the service to
                                                                                                      industry-wide ACH operating rules that                and Budget (OMB) a request to review
                                              same-day ACH service would enhance                                                                            and approve an extension of a
                                              the efficiency of the ACH network and                   can be adopted by both ACH
                                                                                                      operators.32 The changes are not the                  previously approved information
                                              the broader U.S. payment system by                                                                            collection requirement concerning
                                              providing a more efficient electronic                   result of any differing legal powers or
                                                                                                                                                            Notice of Radioactive Materials.
                                              payment option for person-to-person                     any dominant market position resulting
                                                                                                      from legal differences.                               DATES: Submit comments on or before
                                              payments, expedited bill payments,
                                              same-day payroll payments, and other                                                                          November 27, 2015.
                                                                                                      IV. Conclusion                                        ADDRESSES: Submit comments
                                              types of transactions. As several
                                              commenters noted, this is consistent                       Based on its review of comments                    identified by Information Collection
                                              with the strategic goals identified in the              received, the Board has approved                      9000–0107, Notice of Radioactive
                                              Strategies Paper.29                                     enhancements to the Reserve Banks’                    Materials, by any of the following
                                                                                                      FedACH SameDay Service that require                   methods:
                                                 26 See The Federal Reserve in the Payments                                                                    • Regulations.gov: http://
                                                                                                      RDFIs to participate in the service and
                                              System (issued 1984; revised 1990), Federal Reserve                                                           www.regulations.gov.
                                              Regulatory Service 9–1557, http://                      ODFIs to pay a fee to RDFIs for each
                                                                                                                                                               Submit comments via the Federal
                                              www.federalreserve.gov/paymentsystems/pfs_              same-day ACH forward transaction. The
                                              frpaysys.htm. Clear public benefits include                                                                   eRulemaking portal by searching the
                                                                                                      enhancements will be adopted by
                                              promoting the integrity of the payments system,                                                               OMB control number. Select the link
                                                                                                      incorporation of NACHA’s amended
                                              improving the effectiveness of financial markets,                                                             ‘‘Submit a Comment’’ that corresponds
                                              reducing the risk associated with payments and          operating rules into Operating Circular               with ‘‘Information Collection 9000–
                                              securities-transfer services, or improving the          4, governing the Reserve Banks’ ACH                   0107, Notice of Radioactive Materials’’.
                                              efficiency of the payments system. Id.                  services.
                                                 27 Although comment was not specifically                                                                   Follow the instructions provided at the
                                              requested on whether adoption of the service                                                                  ‘‘Submit a Comment’’ screen. Please
                                              satisfied the Board’s criteria, several commenters      capabilities. Federal Reserve System (2015),          include your name, company name (if
                                              addressed the subject and all agreed with the           ‘‘Strategies for Improving the U.S. Payment
                                              Board’s analysis that the criteria would be met.        System,’’ (Federal Reserve System, January),          any), and ‘‘Information Collection 9000–
                                                 28 The Reserve Banks intend to review current        fedpaymentsimprovement.org/wp-content/uploads/        0107, Notice of Radioactive Materials’’
                                              FedACH SameDay Service fees to determine                strategies-improving-us-payment-system.pdf.           on your attached document.
                                              whether any changes are appropriate as a result of         30 This is evidenced by the limited adoption of
                                                                                                                                                               • Mail: General Services
                                              the enhancements.                                       the Reserve Banks’ current optional FedACH
                                                 29 The Strategies Paper communicates desired         SameDay Service.
                                                                                                                                                            Administration, Regulatory Secretariat
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                                              outcomes for the payment system and outlines the           31 See The Federal Reserve in the Payments         Division (MVCB), 1800 F Street NW.,
                                              strategies the Federal Reserve will pursue, in          System (issued 1984; revised 1990), Federal Reserve   Washington, DC 20405. ATTN: Ms.
                                              collaboration with stakeholders, to help the country    Regulatory Service 9–1558, http://                    Flowers/IC 9000–0107, Notice of
                                              achieve these outcomes. One of the specific             www.federalreserve.gov/paymentsystems/pfs_            Radioactive Materials.
                                              strategies for improving the U.S. payment system in     frpaysys.htm.
                                              the Strategies Paper is enhanced Reserve Bank              32 TCH, owner of EPN, indicated its strong            Instructions: Please submit comments
                                              payment, settlement, and risk-management services       support for the enhancements in two separate          only and cite Information Collection
                                              through promoting greater use of same-day ACH           comments submitted to the Board.                      9000–0107, Notice of Radioactive


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Document Created: 2018-02-26 10:21:41
Document Modified: 2018-02-26 10:21:41
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionNotices
DatesEffective September 23, 2016.
ContactIan C.B. Spear, Senior Financial Services Analyst (202/452-3959); or Jessica Stahl, Economist (202/452- 6452), Division of Reserve Bank Operations and Payment Systems; Evan H. Winerman, Senior Attorney (202/872-7578), Legal Division; for users of Telecommunication Devices for the Deaf (TDD) only, contact 202/263- 4869.
FR Citation80 FR 58248 

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