Key Takeaways After Reading New SG Payment Services Bill

Published by Yana on

Regulator provided clear distinction between e-money (formerly stored value) and digital payments tokens.

Digital payment token:

  • Expressed as a unit
  • Not denominated as a currency and isn’t pegged to one
  • Is / will be a medium of exchange, will be accepted as payment for goods and services OR debt service
  • Is transferable, storable or tradeable electronically

E-money:

  • Is denominated as a currency (or pegged to one, meaning stable coins become e-money and therefore fall under the regulatory scope!!!)
  • Has been paid for in advance to enable payment transactions using a payment account
  • Is accepted by someone else than the issuer
  • Represents a claim on the issuer
  • ISN’T a deposit

Licensing types (can be combined within one entity):

A) Payments institution license scope can include

  • Money change (only if coupled with any of the below)
  • Account issuance (e.g. account registration, service registration)
  • Cross-border money transfer
  • Merchant acquisition
  • E-money issuance
  • Digital payment token

B) Major payments institution license is needed if

1) Either

  • $3 million SGD (or FX equivalent) transaction volume/month or higher for any individual services)
  • $6 million SGD (or FX equivalent) transaction volume / month or higher for sum of 2 or more services)

2) Or

  • E-money account issuance services
  • Float average of $5 million SGD or more in total value in e-money over a calendar year

3) Or

  • E-money issuance service
  • Average total value of specified e-money issued is above $5 million SGD per day over a calendar year

License eligibility criteria for both Payments Institution types (A and B):

  • Registered entity (if outside SG)
  • Permanent business address in SG
  • Executive director must be SG national or permanent resident
  • Financial requirements satisfied
  • Fit & Proper satisfied
  • Public interest is served

Obligation to notify MAS of:

  • Civil and criminal proceedings, in SG or anywhere else
  • Any event or an operational irregularity resulting in material disruption of service
  • Being or potentially becoming insolvent or unable to meet obligations
  • Any disciplinary action by any supervisory authority anywhere in the world
  • Changes in regulatory frameworks abroad
  • Way in which customer funds are safeguarded

Within 14 days after the occurrence:

  • Change of director or CEO (except when required to notify in advance)

Obligation to safeguard customer funds for major Payments Institutions (but not for smaller institution under category A)

  • No later than next business day for money transfer and merchant acquisition services (from receipt to withdrawal to e-money issuance services)
  • Safeguarding institution allowed (guarantees or full liability must be in place)
  • Trust accounts allowed
  • Customer funds cannot to be used for debt service or company liquidation

Corporate governance

  • Controllership of 20% or above is subject to MAS approval process (fit & proper + public interest)
  • CEO / Director appointments are subject to MAS approval process
  • Company must appoint an independent auditor (yearly audit)
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