Future of e-wallets under RBI’s new guidelines
By Jayashri Ramesh Sundaram
(Image Courtesy: LiveMint)
In February 2019, bringing relief to digital wallet companies, the
Reserve Bank of India (RBI) extended the deadline for them to meet the Know
Your Customer (KYC) norms. KYC guidelines help prevent fraudulent activities
like money laundering and risks that may arise in the light of expanding
technology. An emerging market dealing with money, especially in the digital
space, is prone to risk and this attracts warnings by the RBI. Hence, it should
be of no surprise seeing the RBI taking measures to prevent fraud via digital
wallets. But what has come to everyone’s surprise is the announcement of
deadlines to meet KYC with only a non-descript regulation without stating a
clear road map. Along with this, RBI specifying on the subject of
interoperability mandates the incorporation of Unified Payment Interface (UPI) into
the application for the feature to be enabled in respective e-wallets.
This post will examine the future of the wallet
business for a digital economy mindful of the recent RBI guidelines in the context
of UPI.
Digital wallets can be categorised into four types.
(1) Open wallet that allows a user to buy goods and services, withdraw cash at
ATMS or banks, transfer funds, and send money to any mobile number bank account
(2) Closed wallet, where money is restricted to use for merchandise. The wallet
can be used to get cash back, avail gift cards or refunds. (3) Semi-closed
wallet that does not permit cash withdrawal or redemption, but allows users to
buy goods and services at the listed merchants (4) Device-specific wallets that
work based on a combination of software and hardware.
Wallet business has come to be seen as having the
potential to disrupt the status quo of the payment structure of India that is
transpiring to become a cashless economy. The digital economy of India,
according to a report by Business Today,
is at 8 per cent of the GDP and is expected to grow further in the upcoming
years. Estimates show that the mobile wallet transactions alone increased 40
times in the past five years.
There is no doubt that regulatory and monitory
policies are necessary to ensure smooth working of platforms to reduce the
disruption of the economy. However, currently, KYC norms for these prepaid
instruments cannot be undertaken with biometrics as per the Justice K S
Puttaswamy (Retd) vs Union of India judgment. Extending deadlines alone to give
time for operators to complete physical KYC (or strategise new efforts) will
not suffice. To make security a reality, unintended consequences faced by
wallet companies and users have to be addressed.
One of the important aspects to aid the e-wallet
business is the provision of interoperability. Interoperability is one of the
essentials for any business dealing with money to work. RBI’s “Vision Statement
On Payments & Settlement" for 2018 recognised the need to promote
interoperability as the basis for a seamless payment experience. Although the
Central Bank did address the issue, e-wallet companies are still caught in an
unfavourable position since interoperability, as per the regulations, can be
added as a feature only if they adopted UPI.
Source: National
Payments Corporation of India
This signals that there has been
dissatisfaction in using an application that provides only a single interface
-- UPI. By adopting UPI, leading platforms use it as an opportunity to grab the
market. This can also help broaden their customer base that looks for options.
Illustrating this, BHIM that had enjoyed over 40 per cent of the share in UPI
till August 2017, saw Phonepe taking over BHIM’s share and soon becoming the
highest contributor of UPI transactions.
In a nutshell,
instead of killing mobile wallet companies, UPI has created a potential
opportunity for them to develop strategies that offer multi-use payment needs
instead of operating as a standalone UPI app.
(Jayashri Ramesh Sundaram is a Research Intern at CPPR Centre for Strategic Studies. Views expressed by the author are personal and need not reflect or represent the views of Centre for Public Policy Research)
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