Technology Law Analysis
October 22, 2018
Digital payments thriving: Ecosystem further liberalized
The Reserve Bank of India (“RBI”), India’s central bank, has recently issued guidelines for interoperability of prepaid instruments (“PPIs”) in India. The RBI had towards the end of last year issued new directions on issuance and operation of PPIs in India1 (“PPI Directions”) which amongst other things aimed to provide for harmonization and interoperability of PPIs. Our detailed write-up on the PPI Directions is available here.
The RBI Guidelines for Interoperability for PPIs2 (“Guidelines”) essentially follow suit from the PPI Directions to facilitate implementation of interoperability of PPIs. Interoperability is the technical compatibility to enable multiple payment systems to be used in conjunction with each other. Interoperability for PPIs would allow issuers, system providers and users in different systems to effect transactions without participating in multiple systems. The Guidelines appear voluntary and apply to PPI issuers opting for interoperability of their PPIs.
For instance, with interoperability, users of e-wallets issued by different issuers would be able to transact with each other. For instance, if a merchant’s website accepts payments via a particular card network and if a prepaid card / wallet is compliant with the technical specifications of such network, then the said prepaid card / wallet could also be used for transacting on the merchant’s website.
RBI Master Directions on Issuance and Operation of PPIs
The PPI Directions contemplate that common standards be adopted by all payment system providers so as to allow customers to use a set of payment instruments seamlessly with other users within the segment, i.e. interoperability of PPIs. This should be enabled in phases.
In the first phase:
In subsequent phases:
No specific timeline was prescribed for these phases.
RBI Guidelines for Interoperability of PPIs
The Guidelines are issued pursuant to the PPI Directions in order to operationally implement the framework mentioned above for interoperability. The Guidelines provide that the PPI issuer should also comply with other security and technical specifications under applicable banking laws (including on KYC, cyber security, fraud prevention etc.) and applicable rules and requirements of the National Payments Corporation of India (NPCI) that develops and operates UPI, and respective card networks.
A snapshot of the same is tabulated below:
The much awaited guidelines from the RBI have finally been released, one that is expected to bring a paradigm shift in the digital payment industry in India which is already worth about USD 200 billion and expected to touch USD 1 billion by 2023.6
The Guidelines should be seen as an upward step for the entire payments ecosystem in India. It is understood to be welcomed by the fin-tech and digital payments industry as it is likely to only increase usage of e-wallets, gift cards and bank account payments via UPI in India. In fact, with interoperability in place, customers would not only be able to transact with others via e-wallets of different issuers, but customers would also be able to use their e-wallets / prepaid cards from various issuers to make online payments on a wide range of websites.
However, given that certain interoperability requirements are optional for PPI issuers, it is left to be seen as to how soon the scope of usage of PPIs is widened. We understand that in the coming days, the industry would come together to discuss additional technical compatibility requirements and logistics to make their PPIs more interoperable.
Also, given that the PPI, especially the e-wallet space is a very competitive market in India, a move like this to increase usage of PPIs across platforms should only drive competition and result in an enhanced customer experience. This would also improve R&D capabilities and investment traction in this space.
Also, cashbacks are an incentive for on-boarding e-wallet users today, but with a wider scope of acceptance of a PPI, this may itself become an added user incentive. In addition, this could also lead to an increase in authorizations from the RBI for issuing and operating semi-closed and open system PPIs.
However, the RBI data localization mandate would continue to apply. Hence, market entrants as well as existing PPI issuers, including MNCs, intending on expanding the scope of usage of their PPI or issuing a new range of PPIs (for instance gift cards, meal vouchers etc.) would need to comply with the existing data localization compliances.
1 Available at: https://rbi.org.in/Scripts/NotificationUser.aspx?Id=11142&Mode=0 . Last accessed: October 17, 2018.
2 Available at: https://rbi.org.in/Scripts/NotificationUser.aspx?Id=11393&Mode=0. Last accessed: October 17, 2018.
3 See: http://cashlessindia.gov.in/upi.html. Last accessed: October 17, 2018.
4 Non-bank PPIs would also be allowed to use the existing *99# USSD.
5 This applies to fresh, reissued and renewed PPI cards.
6 See: https://www.financialexpress.com/industry/facebook-and-google-chase-a-new-1-trillion-indian-digital-payments-market/1294550/. Last accessed: October 17, 2018.
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