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Data protection: Commission starts process to adopt adequacy decision for safe data flows with the US

The European Commission launched the process towards the adoption of an adequacy decision for the EU-U.S. Data Privacy Framework, which will foster safe trans-Atlantic data flows and address the concerns raised by the Court of Justice of the European Union in its Schrems II decision of July 2020.
Today’s draft decision follows the signature of a US Executive Order by President Biden on 7 October 2022, along with the regulations issued by the US Attorney General Merrick Garland. These two instruments implemented into US law the agreement in principle announced by President von der Leyen and President Biden in March 2022.
The draft adequacy decision, which reflects the assessment by the Commission of the US legal framework and concludes that it provides comparable safeguards to those of the EU, has now been published and transmitted to the European Data Protection Board (EDPB) for its opinion. The draft decision concluded that the United States ensures an adequate level of protection for personal data transferred from the EU to US companies.
Key elements
US companies will be able to join the EU-U.S. Data Privacy Framework by committing to comply with a detailed set of privacy obligations, for instance, the requirement to delete personal data when it is no longer necessary for the purpose for which it was collected, and to ensure continuity of protection when personal data is shared with third parties. EU citizens will benefit from several redress avenues if their personal data is handled in violation of the Framework, including free of charge before independent dispute resolution mechanisms and an arbitration panel.
In addition, the US legal framework provides for a number of limitations and safeguards regarding the access to data by US public authorities, in particular for criminal law enforcement and national security purposes. This includes the new rules introduced by the US Executive Order, which addressed the issues raised by the Court of Justice of the EU in the Schrems II judgment:

Access to European data by US intelligence agencies will be limited to what is necessary and proportionate to protect national security;
EU individuals will have the possibility to obtain redress regarding the collection and use of their data by US intelligence agencies before an independent and impartial redress mechanism, which includes a newly created Data Protection Review Court. The Court will independently investigate and resolve complaints from Europeans, including by adopting binding remedial measures.

European companies will be able to rely on these safeguards for trans-Atlantic data transfers, also when using other transfer mechanisms, such as standard contractual clauses and binding corporate rules.
Next steps
The draft adequacy decision will now go through its adoption procedure. As a first step, the Commission submitted its draft decision to the European Data Protection Board (EDPB). Afterwards, the Commission will seek approval from a committee composed of representatives of the EU Member States. In addition, the European Parliament has a right of scrutiny over adequacy decisions. Once this procedure is completed, the Commission can proceed to adopting the final adequacy decision.
The functioning of the EU-U.S. Data Privacy Framework will be subject to periodic reviews, which will be carried out by the European Commission, together with European data protection authorities, and the competent US authorities. The first review will take place within one year after the entry into force of the adequacy decision, to verify whether all relevant elements of the US legal framework have been fully implemented and are functioning effectively in practice.
Background
Article 45(3) of the General Data Protection Regulation grants the Commission the power to decide, by means of an implementing act, that a non-EU country ensures ‘an adequate level of protection’, i.e. a level of protection for personal data that is essentially equivalent to the level of protection within the EU. The effect of adequacy decisions is that personal data can flow freely from the EU (and Norway, Liechtenstein and Iceland) to a third country without further obstacles.
After the invalidation of the previous adequacy decision on the EU-US Privacy Shield by the Court of Justice of the EU, the European Commission and the US government entered into discussions on a new framework that addressed the issues raised by the Court.
In March 2022, following intense negotiations between the lead negociators, Commissioner Reynders and Secretary Raimondo, President von der Leyen and President Biden announced an agreement in principle on a new transatlantic data transfer framework. In October 2022, President Biden signed an Executive Order on ‘Enhancing Safeguards for United States Signals Intelligence Activities’, which was complemented by regulations adopted by the US Attorney General. Together, these two instruments implemented the US commitments into US law, as well as complemented the obligations for US companies. On this basis, the Commission is now proposing a draft adequacy decision on the EU-U.S. Data Privacy Framework.
Once the adequacy decision is adopted, European entities will be able to transfer personal data to participating companies in the United States, without having to put in place additional data protection safeguards.
For More Information
Draft adequacy decision
Q&A
Factsheet – Transatlantic Data Privacy Framework
The post Data protection: Commission starts process to adopt adequacy decision for safe data flows with the US first appeared on European American Chamber of Commerce New York [EACCNY] | Your Partner for Transatlantic Business Resources.

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Digital Rights and Principles: Presidents of the Commission, the European Parliament and the Council sign European Declaration

Today, the EU’s work on its ‘digital DNA’ – the European Declaration on Digital Rights and Principles – has culminated: In the margins of the European Council, Commission President Ursula von der Leyen signed the text together with the President of the European Parliament Roberta Metsola, and Czech Prime Minister Petr Fiala for the rotating Council presidency.
The Declaration, put forward by the Commission in January this year, presents the EU’s commitment to a secure, safe and sustainable digital transformation that puts people at the centre, in line with EU core values and fundamental rights. The Declaration shows citizens that European values, as well as the rights and freedoms enshrined in the EU’s legal framework, must be respected online as they are offline. Shaped around six chapters, the text will guide policy makers and companies dealing with new technologies. The Declaration will also steer the EU’s approach to the digital transformation throughout the world.
President of the Commission, Ursula von der Leyen, said: “The signature of the European Declaration on Digital Rights and Principles reflects our shared goal of a digital transformation that puts people first. The rights put forward in our Declaration are guaranteed for everybody in the EU, online as they are offline. And the digital principles enshrined in the Declaration will guide us in our work on all new initiatives.”
Rights and principles to guide the digital transformation
The digital transformation affects every aspect of people’s lives. It offers opportunities for greater personal wellbeing, sustainability and growth, but can also raise risks to which a public policy response is needed. With the Declaration on digital rights and principles, the EU wants to secure European values by:

 Putting people at the centre of the digital transformation;
 Supporting solidarity and inclusion through connectivity, digital education, training and skills, fair and just working conditions and access to digital public services;
 Restating the importance of freedom of choice and a fair digital environment;
 Fostering participation in the digital public space;
 Increasing safety, security and empowerment in the digital environment, in particular for young people;
 Promoting sustainability.

Concretely, these rights and principles mean: affordable and high-speed digital connectivity everywhere and for everybody, well-equipped classrooms and digitally skilled teachers, seamless access to public services online, a safe digital environment for children, disconnecting after working hours, obtaining easy-to-understand information on the environmental impact of our digital products, control about how personal data is used and with whom it is shared.
Next Steps
The signature of the European Declaration of digital rights and principles at the highest level reflects the shared political commitment of the EU and its Member States to promote and implement these principles in all areas of digital life, and to reach the objectives of the 2030 Digital Compass. The Declaration will also guide the concrete work on the Digital Decade Policy Programme, the monitoring and cooperation mechanism to attain the common digital objectives for the end of this decade. To achieve the 2030 goals, and for the Declaration to produce concrete effects, the Commission will monitor progress and report through the annual ‘State of the Digital Decade’ report. Furthermore, the Declaration will guide the EU in its international relations on how to shape a digital transformation that puts people and human rights at its centre.
Background
On 9 March 2021, the Commission laid out its vision for Europe’s digital transformation by 2030 in its Digital Compass: the European way for the Digital Decade Communication. In September 2021, the Commission put forward a Path to the Digital Decade, a robust governance framework to reach these digital targets.
The Commission proposed the Declaration of Digital Rights and Principles in January 2022. The Commission, Parliament and the Council reached an agreement on the Declaration in November 2022. The Declaration adds to previous digital initiatives from Member States, such as the Tallinn Declaration on eGovernment, the Berlin Declaration on Digital Society and Value-based Digital Government, and the Lisbon Declaration – Digital Democracy with a purpose.
The Commission also conducted an open public consultation which showed broad support for European Digital Principles – 8 EU citizens out of 10 consider it useful for the EU to define and promote a common European vision on digital rights and principles – as well as a special Eurobarometer survey.
The declaration, and the rights contained within, is rooted in the treaties and the Charter of Fundamental Rights. It builds on existing digital policies, such as data protection, ePrivacy, workers’ rights and case law of the Court of Justice. It complements the European Pillar of Social Rights.
Compliments of the European Commission.
The post Digital Rights and Principles: Presidents of the Commission, the European Parliament and the Council sign European Declaration first appeared on European American Chamber of Commerce New York [EACCNY] | Your Partner for Transatlantic Business Resources.

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Christine Lagarde, President of the ECB, Luis de Guindos, Vice-President of the ECB

Good afternoon, the Vice-President and I welcome you to our press conference.
The Governing Council today decided to raise the three key ECB interest rates by 50 basis points and, based on the substantial upward revision to the inflation outlook, we expect to raise them further. In particular, we judge that interest rates will still have to rise significantly at a steady pace to reach levels that are sufficiently restrictive to ensure a timely return of inflation to our two per cent medium-term target. Keeping interest rates at restrictive levels will over time reduce inflation by dampening demand and will also guard against the risk of a persistent upward shift in inflation expectations. Our future policy rate decisions will continue to be data-dependent and follow a meeting-by-meeting approach.
The key ECB interest rates are our primary tool for setting the monetary policy stance. The Governing Council today also discussed principles for normalising the Eurosystem’s monetary policy securities holdings. From the beginning of March 2023 onwards, the asset purchase programme (APP) portfolio will decline at a measured and predictable pace, as the Eurosystem will not reinvest all of the principal payments from maturing securities. The decline will amount to €15 billion per month on average until the end of the second quarter of 2023 and its subsequent pace will be determined over time.
At its February meeting the Governing Council will announce the detailed parameters for reducing the APP holdings. The Governing Council will regularly reassess the pace of the APP portfolio reduction to ensure it remains consistent with the overall monetary policy strategy and stance, to preserve market functioning, and to maintain firm control over short-term money market conditions. By the end of 2023, we will also review our operational framework for steering short-term interest rates, which will provide information regarding the endpoint of the balance sheet normalisation process.
We decided to raise interest rates today, and expect to raise them significantly further, because inflation remains far too high and is projected to stay above our target for too long. According to Eurostat’s flash estimate, inflation was 10.0 per cent in November, slightly lower than the 10.6 per cent recorded in October. The decline resulted mainly from lower energy price inflation. Food price inflation and underlying price pressures across the economy have strengthened and will persist for some time. Amid exceptional uncertainty, Eurosystem staff have significantly revised up their inflation projections. They now see average inflation reaching 8.4 per cent in 2022 before decreasing to 6.3 per cent in 2023, with inflation expected to decline markedly over the course of the year. Inflation is then projected to average 3.4 per cent in 2024 and 2.3 per cent in 2025. Inflation excluding energy and food is projected to be 3.9 per cent on average in 2022 and to rise to 4.2 per cent in 2023, before falling to 2.8 per cent in 2024 and 2.4 per cent in 2025.
The euro area economy may contract in the current quarter and the next quarter, owing to the energy crisis, high uncertainty, weakening global economic activity and tighter financing conditions. According to the latest Eurosystem staff projections, a recession would be relatively short-lived and shallow. Growth is nonetheless expected to be subdued next year and has been revised down significantly compared with the previous projections. Beyond the near term, growth is projected to recover as the current headwinds fade. Overall, the Eurosystem staff projections now see the economy growing by 3.4 per cent in 2022, 0.5 per cent in 2023, 1.9 per cent in 2024 and 1.8 per cent in 2025.
The decisions taken today are set out in a press release available on our website.
I will now outline in more detail how we see the economy and inflation developing and will then explain our assessment of financial and monetary conditions.
Economic activity

Economic growth in the euro area slowed to 0.3 per cent in the third quarter of the year. High inflation and tighter financing conditions are dampening spending and production by reducing real household incomes and pushing up costs for firms.
The world economy is also slowing, in a context of continued geopolitical uncertainty, especially owing to Russia’s unjustified war against Ukraine and its people, and tighter financing conditions worldwide. The past deterioration in the terms of trade, reflecting the faster rise in import prices than in export prices, continues to weigh on purchasing power in the euro area.
On the positive side, employment increased by 0.3 per cent in the third quarter, and unemployment hit a new historical low of 6.5 per cent in October. Rising wages are set to restore some lost purchasing power, supporting consumption. As the economy weakens, however, job creation is likely to slow, and unemployment could rise over the coming quarters.
Fiscal support measures to shield the economy from the impact of high energy prices should be temporary, targeted and tailored to preserving incentives to consume less energy. Fiscal measures falling short of these principles are likely to exacerbate inflationary pressures, which would necessitate a stronger monetary policy response. Moreover, in line with the EU’s economic governance framework, fiscal policies should be oriented towards making our economy more productive and gradually bringing down high public debt. Policies to enhance the euro area’s supply capacity, especially in the energy sector, can help reduce price pressures in the medium term. To that end, governments should swiftly implement their investment and structural reform plans under the Next Generation EU programme. The reform of the EU’s economic governance framework should be concluded rapidly.
Inflation
Inflation declined to 10.0 per cent in November, mainly on the back of lower energy price inflation, while services inflation also edged down. Food price inflation rose further to 13.6 per cent, however, as high input costs in food production were passed through to consumer prices.
Price pressures remain strong across sectors, partly as a result of the impact of high energy costs throughout the economy. Inflation excluding energy and food was unchanged in November, at 5.0 per cent, and other measures of underlying inflation are also high. Fiscal measures to compensate households for high energy prices and inflation are set to dampen inflation over next year but will raise it once they are withdrawn.
Supply bottlenecks are gradually easing, although their effects are still contributing to inflation, pushing up goods prices in particular. The same holds true for the lifting of pandemic-related restrictions: while weakening, the effect of pent-up demand is still driving up prices, especially in the services sector. The depreciation of the euro this year is also continuing to feed through to consumer prices.
Wage growth is strengthening, supported by robust labour markets and some catch-up in wages to compensate workers for high inflation. As these factors are set to remain in place, the Eurosystem staff projections see wages growing at rates well above historical averages and pushing up inflation throughout the projection period. Most measures of longer-term inflation expectations currently stand at around two per cent, although further above-target revisions to some indicators warrant continued monitoring.
Risk assessment
Risks to the economic growth outlook are on the downside, especially in the near term. The war against Ukraine remains a significant downside risk to the economy. Energy and food costs could also remain persistently higher than expected. There could be an additional drag on growth in the euro area if the world economy were to weaken more sharply than we expect.
The risks to the inflation outlook are primarily on the upside. In the near term, existing pipeline pressures could lead to stronger than expected rises in retail prices for energy and food. Over the medium term, risks stem primarily from domestic factors such as a persistent rise in inflation expectations above our target or higher than anticipated wage rises. By contrast, a decline in energy costs or a further weakening of demand would lower price pressures.
Financial and monetary conditions
As we tighten monetary policy, borrowing is becoming more expensive for firms and households. Bank lending to firms remains robust, as firms replace bonds with bank loans and use credit to finance the higher costs of production and investment. Households are borrowing less, because of tighter credit standards, rising interest rates, worsening prospects for the housing market and lower consumer confidence.
In line with our monetary policy strategy, twice a year the Governing Council assesses in depth the interrelation between monetary policy and financial stability. The financial stability environment has deteriorated since our last review in June 2022 owing to a weaker economy and rising credit risk. In addition, sovereign vulnerabilities have risen amid the weaker economic outlook and weaker fiscal positions. Tighter financing conditions would mitigate the build-up of financial vulnerabilities and lower tail risks to inflation over the medium term, at the cost of a higher risk of systemic stress and greater downside risks to growth in the short term. In addition, the liquidity needs of non-bank financial institutions may amplify market volatility. At the same time, euro area banks have comfortable levels of capital, which helps to reduce the side effects of tighter monetary policy on financial stability. Macroprudential policy remains the first line of defence in preserving financial stability and addressing medium-term vulnerabilities.
Conclusion
Summing up, we have today raised the three key ECB interest rates by 50 basis points and, based on the substantial upward revision to our inflation outlook, we expect to raise them further. In particular, we judge that interest rates will still have to rise significantly at a steady pace to reach levels that are sufficiently restrictive to ensure a timely return of inflation to our two per cent medium-term target. Keeping interest rates at restrictive levels will over time reduce inflation by dampening demand and will also guard against the risk of a persistent upward shift in inflation expectations. Moreover, from the beginning of March 2023 onwards, the APP portfolio will decline at a measured and predictable pace, as the Eurosystem will not reinvest all of the principal payments from maturing securities.
Our future policy rate decisions will continue to be data-dependent and determined meeting by meeting. We stand ready to adjust all of our instruments within our mandate to ensure that inflation returns to our medium-term inflation target.
We are now ready to take your questions.
Compliments of the European Central Bank.
The post Christine Lagarde, President of the ECB, Luis de Guindos, Vice-President of the ECB first appeared on European American Chamber of Commerce New York [EACCNY] | Your Partner for Transatlantic Business Resources.

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U.S. FED | Speech by Vice Chair for Supervision Barr on why bank capital matters

“Why Bank Capital Matters” | Vice Chair for Supervision Michael S. Barr at the American Enterprise Institute, Washington, D.C. (virtual) | December 01, 2022 |
In my first speech as Vice Chair for Supervision in September, I said that the Federal Reserve Board would soon engage in a holistic review of capital standards. My argument, then and now, is that our review of regulatory policy must be a periodic feature of bank oversight. Banking and the financial system continuously evolve, and regulation must adapt to address emerging risks. Bank capital is strong, but in doing our review, we should and are being humble about our ability—or that of bank managers—to predict how a future financial crisis might unfold, how losses might be incurred, and what the effect might be on the financial system and our broader economy. That humility, that skepticism, will serve us well in crafting a capital framework that is enduring and effective. It will help make sure that we do not lose the hard-fought gains in resilience over the past decade and that we prepare for the future.
That review is still underway, and I have no firm conclusions to announce today. Rather, I thought it would be helpful at this early stage to offer my views on capital regulation and the role that capital standards play in helping to advance the safety and soundness of banks and the stability of the financial system.1
By “holistic,” I mean not looking only at each of the individual parts of capital standards, but also at how those parts may interact with each other—as well as other regulatory requirements—and what their cumulative effect is on safety and soundness and risks to the financial system. This is not an easy task, because finance is a complex system. And to make the task even harder, we are looking not only at how capital standards are working today, but also how they may work in the future, when conditions are different.
As I mentioned, we are approaching the task with humility—not with the illusion that there is an immutable capital framework to be discovered, but rather, with the awareness that revisions we conceive of today will reflect our current understanding and will inevitably require updating as our understanding evolves.
Why Do Banks Have Capital?
Let me start by explaining why banks have capital. Banks play a critical role in the economy by connecting those seeking to borrow with those seeking to save.2 A bank lends to its customers, including individuals and businesses, based on its assessment of the customer’s creditworthiness. A bank’s depositors benefit from having bank accounts that allow them to easily make payments to others and to maintain a balance of money in a safe and liquid form. A healthy banking sector is central to a healthy economy.
The nature of banking, however, along with the interconnectedness of the financial system, can pose vulnerabilities. Even if a bank is fundamentally sound, it can suddenly be threatened with failure if its customers lose confidence and withdraw deposits.3 This inherent vulnerability can pose risks to the entire economy.
In the 19th and early 20th centuries, before the creation of the Federal Reserve and the Federal Deposit Insurance Corporation (FDIC), banking panics were frequent and costly to the economy.4 Based on this experience—and similar experiences around the globe—many countries employ deposit insurance and other forms of a safety net to protect depositors and banks.5 But offering this protection, shielding depositors and banks from risk, can have the perverse effect of encouraging risk-taking, creating what is called “moral hazard.” Supervision and regulation—including capital regulation—provides a critical counterbalance, to ensure that banks, not the taxpayers, internalize the costs to society of that risk-taking.
The impact of inadequate supervision and regulation was starkly revealed in the Global Financial Crisis, as banks and their functional substitutes in the nonbank sector borrowed too much to fund their operations.6 While nearly all were “adequately capitalized” in theory, many were undercapitalized in practice, since their capital levels did not reflect future losses that would severely weaken their capital positions. And banks lacked appropriate controls and systems to measure and manage their risks.
That crisis also exposed the extent to which banks and broader financial system had become reliant on short-term wholesale funding and prone to destabilizing dynamics.7 The sudden shutdown of short-term wholesale funding posed severe liquidity challenges to large financial intermediaries, both banks and nonbanks, and caused significant dislocations in financial markets.8
The cost to society was enormous, with widespread devastation to households and businesses. Even with an unprecedentedly large response by government, six million individuals and families lost their homes to foreclosure. The crisis brought on the worst and longest recession since the Great Depression. It took six years for employment to recover, during which long-term unemployment ran for long periods at a record high, and more than 10 million people fell into poverty. The crisis left scars on families and businesses that are evident even today, and it was in part driven by imprudent risk taking by banks and nonbank financial institutions. This experience prompted the United States and other jurisdictions to revisit how supervision and regulation, including capital regulation, could have better contained that risk in both the bank and nonbank sectors. That is why capital levels today are strong. While we have learned from and adapted to the lessons from the Global Financial Crisis, this experience underscores the need for humility and continued vigilance about the risks we may not fully appreciate today.
What Bank Capital Is and Isn’t
Capital regulation—requiring a bank to operate with what is deemed to be an adequate level of equity based on its asset size and its risks—is a useful tool to strengthen the incentives for banks to lend safely and prudently.
First, I’ll begin with what capital is—essentially shareholder equity in the bank. People sometimes use the shorthand of banks “holding capital” when speaking of capital requirements; however, it’s helpful to remember that capital is not an asset to be held, reserves to be set aside, or money in a vault; rather, it is the way, along with debt, that banks fund loans and other assets. Without adequate capital, banks can’t lend. Higher levels of capital mean that a bank’s managers and shareholders have more “skin in the game”—and have incentives to prudently manage their risks—because they bear more of the risk of the bank’s activities.
Next, let me speak to how capital and debt work together to fund a firm’s operations. In theory, companies should be indifferent to the mix of equity and debt they use to fund themselves, since the creditors of a safer firm will lend to it at lower rates and shareholders of a safer firm will accept a lower return on their investment.9 That may not fully hold for banks because insured depositors are made risk-insensitive through deposit insurance and other creditors may provide lower cost funding if they believe the government may bail out banks in distress.10 Forcing banks to fund more of their activities with equity, instead of debt, could raise the private costs of funding to the bank, and cause banks to pass those higher costs of credit to consumers. These considerations must be balanced against the public benefits of higher capital.
Empirical research supports the social benefits of strong capital requirements at banks, particularly when economic conditions weaken. While poorly capitalized banks may be forced to shrink during bad times, better capitalized banks have the capacity to support the economy by continuing to lend to households and businesses through stressful conditions.11 And to the extent bank capital reduces the frequency or severity of financial crises, the public is much better off with strong capital.12
Last, the highest standards should apply to the highest risk firms. Larger, more complex banks pose the greatest risk and impose greater costs on society when they fail. Higher capital requirements help to ensure that larger, more complex banks internalize this greater risk and counterbalance the greater costs to society by making these firms more resilient. Further, matching higher capital standards with higher risk appropriately limits the regulatory burden on smaller, less complex banks whose activities pose less risk to the financial system. This helps to promote a diverse banking sector that provides consumers greater choice and access to banking services.
Interactions with the Nonbank Sector
Banks, of course, are part of a broader financial system. The share of credit intermediated outside of banks has grown considerably over the past 40 years. In fact, nonbank financial intermediaries, broadly defined, fund nearly 60 percent of the credit to the U.S. economy today as compared to approximately 30 percent in 1980.13 Nonbank financial firms include money market funds, the insurance sector, the government-sponsored enterprises (Fannie Mae, Freddie Mac, and the Federal Home Loan Bank system), hedge funds and other investment vehicles, and still other nonbank lenders.
There are lots of reasons for these trends, including technological advancements, financial innovation, regulatory arbitrage, and quirks of history. Bank capital requirements, combined with the lack of strong or sometimes any capital requirements in the nonbank sector, are part of that.14 We should monitor the migration of activities from banks to the nonbank sector carefully, but we shouldn’t lower bank capital requirements in a race to the bottom. In times of stress, banks serve as central sources of strength to the economy, and they need capital to do so.
We need to worry, a lot, about nonbank risks to financial stability. During the Global Financial Crisis, many nonbank financial firms had woefully inadequate capital and liquidity, engaged in high-risk activities, and were faced with devastating runs that crushed the financial system and caused enormous harm to households and businesses. The collapse of Bear Stearns and Lehman Brothers, the failure of Fannie Mae and Freddie Mac, the implosion of the insurance conglomerate AIG, and many others, laid bare the weakness of nonbank intermediation, and the need to regulate risks outside the banking system.15 Many of those risks remain today. In far too many cases, nonbanks rely on funding sources that are prone to runs and do not maintain sufficient capital to internalize their risks to society.
The answer, however, is not lower capital requirements for banks, but more attention to those very risks. Further, as stress in nonbank financial markets is often transmitted to the banking system, both directly and indirectly, it is critical that banks have enough capital to remain resilient to those stresses.
Calibration of Bank Capital Requirements
One of the threshold questions is how should we think about calibrating bank capital to a socially optimal level? There is not an easy answer to that question. In my mind, as I said at the outset, it starts with humility. Bank capital should be sufficient to enable the bank to absorb unexpected losses and continue operations through severely stressful but plausible events. Yet translating that principle into a quantum of capital involves an estimate of what future risks will emerge and what losses banks will suffer. I’m skeptical that regulators—or bank managers—know the answers to these questions. Despite complex regulatory risk-weights, or simple leverage ratios, or the internal models used by banks, at bottom bank capital ought to be calibrated based on that humility, that skepticism. Capital provides a cushion against unexpected risks and unforeseen losses, those a humble and skeptical person might be careful to not try to predict with too much precision. Those a humble and skeptical person might guard against.
That is the spirit in which I am approaching the Fed’s holistic review of capital standards. There is a body of empirical and theoretical research on optimal capital, which attempts to determine the level of capital that equalizes the marginal benefits of capital with the marginal costs. While the estimates vary widely, and are highly contingent on the assumptions made, the current U.S. requirements are toward the low end of the range described in most of the research literature.16 International comparisons also suggest strong capital requirements support banks and the U.S. economy. We have strong capital levels today, and generally higher bank capital requirements in the United States after the Dodd-Frank Act have corresponded with healthy economic growth and have supported the competitiveness of U.S. firms in the global economy.17
Finally, some banks have asserted that the resilience of the banking system in the pandemic suggests that bank capital is already high enough. There were some positive signs from a Federal Reserve-conducted sensitivity analysis and subsequent stress test.18 Banks did their part and lent strongly, based on their strong capital positions and widespread government support. But we didn’t get a real test of resilience because Congress, the President, and the Federal Reserve rightly stepped in with massive assistance to avert an economic disaster. Furthermore, I’d observe that the recent experience of the pandemic suggests that large, unexpected shocks can occur with little notice. Our inability to predict such events would argue for a higher overall capital level than one based solely on historical experience. So let me return to where I began on this topic: figuring out the right level of capital requires one to be humble and skeptical.
Components of Bank Capital Requirements
Let’s turn to the design of capital requirements. U.S. capital rules contain many individual elements, including risk-based requirements, leverage standards, stress testing, and long-term debt requirements for the largest banks.
The risk-based capital requirement is premised on the fact that a firm is likely to experience higher losses from its riskier activities; thus, sizing capital requirements based on risk will better estimate a firm’s capital needs so that it internalizes the risks of its activities. The Basel III capital reforms, as implemented in the United States, aimed to address many of the shortcomings identified during the Global Financial Crisis. The international standards were developed to enhance the quantity and quality of regulatory capital, better reflect risks of banks’ activities, impose a heightened capital requirement on global systemically important firms, and reduce procyclicality and promote countercyclical buffers,19 among others. The last set of comprehensive adjustments to the Basel III Accord, now under consideration in the United States, would further strengthen capital rules by reducing reliance on internal bank models and better reflect risks from a bank’s trading book and operational risks. I am working closely with my counterparts at the FDIC and the Office of the Comptroller of the Currency on the U.S. version of the Basel III endgame reforms. Any rule changes that might be proposed in capital standards would be deliberate, adopted through the notice and comment process so that we have the benefit of public perspectives, and implemented with appropriate transition periods to achieve the long-term goal of improving the capital regulation.
Risk-based capital requirements are important tools; however, they are complex, underinclusive under some conditions, and like all capital requirements, can be gamed. Thus, a non-risk-based leverage measure can provide transparency and a further measure of resilience. Of course, one also needs to pay attention to how different capital measures interact with one another, and some have indicated that the leverage requirement for large banks is overly binding and may contribute to lower liquidity in Treasury markets, especially in stressed scenarios. We are exploring the empirical evidence and examining whether adjustments to the leverage ratio might be appropriate in the context of our holistic capital review, as well as in the context of broader reforms being undertaken by the Federal Reserve and a range of other agencies.
In addition to risk-based capital requirements, the Federal Reserve Board implemented a supervisory stress test that is used to set dynamic and risk-sensitive capital requirements for large banks.20 The stress test adds risk sensitivity to the capital requirements and provides the public with information about the banks’ risks and resilience. Moreover, the stress test can achieve a higher degree of risk sensitivity than the standard Basel risk weights. The stress test can also be more dynamic than the capital rules because a new test is conducted each year, reflecting a new set of hypothetical financial and economic conditions and updates to the banks risk profile. Lastly, the stress test can potentially counteract actions by a bank to “optimize” against the capital regime—for instance, lowering its risk-weighted assets without reducing its risk.21 In this way, the stress test—along with strong supervision—can serve as a check on excessive bank risk-taking. As I’ll return to in a moment, we are focused on ensuring that stress testing remains forward-looking and effective at requiring banks to have capital to cushion losses from emerging risks.
A final prudential requirement—a long-term debt requirement—complements the regulatory capital regime. Unlike regulatory capital—which helps a firm absorb losses as it continues operations through times of stress—long-term debt becomes especially relevant once a firm has already entered bankruptcy or resolution. At the point of resolution, equity can be written off and certain long-term debt claims can be written down to absorb losses. The remaining debt claims can be effectively converted to equity to provide flexibility to the bankruptcy court or resolution authority in managing the firm’s path through resolution. In particular, this equity can be used to help the firm continue critical operations as its operations are restructured, wound down, or sold, in order to minimize disruptions to the larger financial system. Long-term debt requirements were initially applied to global systemically important banks (GSIBs). The Board and the FDIC are currently considering whether the costs of a resolution of a large, non-GSIB may also justify the imposition of long-term debt requirements on such firms as well.22
Role of Stress Testing in the Forward-Looking Regime
As I’ve said before, it is critical that our capital regime is forward-looking. And while the stress test is the most risk-sensitive and dynamic component of our regulatory capital framework, history has taught us not to become complacent or to shed our humility. In an environment of ever-changing risks, stress tests can quickly lose their relevance if their assumptions and scenarios remain static. Let’s not forget that for some years before the financial crisis, the agency regulating Fannie Mae and Freddie Mac conducted a regular stress test. Unfortunately, that test used models and scenarios that weren’t regularly updated, a key reason why the test failed to detect risks building for years before the Global Financial Crisis, and why capital levels at Fannie and Freddie proved to be woefully inadequate.23
Stress tests are not meant to be predictions about the future. Humility suggests caution in that regard. But they should be stressful: poking and prodding at the system so we can attempt to uncover hidden risks that could become manifest under certain scenarios. This is particularly important in today’s complex and interconnected financial system, in which problems can spread and lead to unexpected losses. For instance, we recently saw how exposure to interest rate risk at a set of leveraged pension funds in the United Kingdom, coupled with unprecedented large movements in rates, caused significant disruptions to the gilt market. This was not a risk that anyone saw coming, but it spilled over to the U.K. financial markets in a way that required a large-scale intervention by the government. Other recent examples, to name a few, include the messy failure of Archegos last year; Russia’s war against Ukraine; tensions in and with China; the implosion of the crypto-asset exchange FTX and the resulting crypto-asset market dislocations; and volatility in the markets for fixed-income securities, affecting market liquidity.
We are currently evaluating whether the supervisory stress test that is used to set capital requirements for large banks reflects an appropriately wide range of risks. In addition, we are considering the potential for stress testing to be a tool to explore different sources of financial stress and uncover channels for contagion that lead to unanticipated consequences. Using multiple scenarios or adapting the stress test in other ways to better account for the high degree of interconnectedness between banks and other financial entities could allow supervisors and banks to identify those conditions and take action to address them. And banks should continue to invest in and prioritize development of their own stress testing and scenario design capabilities, regularly run scenarios to understand the changing risk environment, and incorporate the results of these stress tests into the bank’s assessment of its risks and capital needs.
Conclusion
Stress testing and all the other aspects of capital regulation that I have discussed today will be considered as part of our holistic review. We’re starting from a good place because capital today is strong. I hope to have more to say about that review early in the new year. As I have argued today, capital plays a central role in how a bank manages its risks, and capital regulation is fundamental to bank oversight. History shows the deep costs to society when bank capital is inadequate, and thus how urgent it is for the Federal Reserve to get capital regulation right. In doing so, we need to be humble about our ability, or that of bank managers or the market, to fully anticipate the risks that our financial system might face in the future.
Compliments of the United States Federal Reserve.

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1. The views expressed here are my own and are not those of the Board of Governors or any of my fellow Board colleagues. Return to text

2. Kashyap, Rajan and Stein (2002) describe the dual role that banks play in the economy, providing liquidity to both households and businesses. Fama (1985) notes that banks are special on both the asset and liability side of the bank’s balance sheet. Return to text

3. See the bank run literature developed by Diamond and Dybvig (1983) and others. Return to text

4. Jalil (2015) concludes that “major banking panics either caused or amplified nearly half of all business cycle downturns between 1825 and 1914.” Bernanke (1983) shows that bank failures did economic harm during the Great Depression. Return to text

5. According to the World Bank, 112 countries had explicit deposit insurance plans in 2013, up from 84 countries in 2003. http://blogs.worldbank.org/allaboutfinance/deposit-insurance-database-newly-updated. Furthermore, other elements of a government safety net for banks often include measures to support a well-functioning payments system and a collateralized lender of last resort facility. Return to text

6. For another example, see the widespread failures of savings and loan institutions in the United States in the 1980s, Kane (1989). High leverage and lax supervision were key contributors to this crisis. Return to text

7. Among other things, in the period leading up to the financial crisis, commercial and investment banks, as well as the government-sponsored enterprises, securitized a broad range of assets, including risky mortgages. This activity was largely funded by short-term wholesale funding, including overnight repo, provided by both banks and nonbank participants, including money market mutual funds and other institutional investors. These funding sources quickly pulled back when investors began to question the value of the underlying assets. This activity was, in part, driven by regulatory arbitrage. Banks that securitized assets benefitted from lower risk weights, even if they did not transfer the risk of those assets. See Acharya, Schnabl, and Suarez (2013). Return to text

8. See Gorton and Metrick (2012) for a discussion of the role of repo markets during the crisis; He and Xiong (2012) for a theoretical treatment of the risks posed by short-term wholesale funding; and Barr (2012) and Duffie (2019) for retrospectives. Return to text

9. See Modigliani and Miller (1958). Return to text

10. See Stern and Feldman (2004). Return to text

11. See Bernanke, Lown, and Friedman (1991); Hancock and Wilcox (1993, 1994); Berrospide and Edge (2010); Carlson, Shan, and Warusawitharana (2013), and Karmakar and Mok (2015) for papers that document this relationship for the United States and Košak, Li, Lončarski, and Marinč (2015) and Gambacorta and Shin (2018) for papers that document this relationship based on cross-country bank-level studies. See also Rice and Rose (2016); Ramcharan et al. (2016); Aiyar, Calomiris, and Wieladek (2014); Peek and Rosengren (1997) and Gibson (1995). Return to text

12. See Basel Committee (2010) for an assessment of the long-term economic impact of stronger capital requirements. Return to text

13. Financial Accounts of the United States. Return to text

14. See Begenau and Landvoigt (2022); Darst, Refayet, and Vardoulakis (2020); Dempsey (2020); and Plantin (2015). Return to text

15. Other examples include money market funds that either broke the buck, froze withdrawals, or received a government bailout; the failure of the monoline financial guarantors; the default of AAA-rated securitization vehicles; and asset-backed commercial paper programs that suffered a run and were unable to roll over their debt. Return to text

16. Several recent papers present quantitative, macroeconomic models of optimal bank capital regulation, including Begenau (2020); Begenau and Landvoigt (2022); Clerc et al. (2015); Elenev, Landvoigt, and Van Nieuwerburgh (2021); Martinez-Miera and Suarez (2014); Nguyen (2015); and Van den Heuvel (2008). Another strand of the literature builds on the long-term economic impact assessment study by the Basel Committee (2010), including Miles et al. (2013) and Firestone et al. (2019). Return to text

17. See, for instance, World Economic Outlook, chapter 2, box 2.3 (October 2018). Return to text

18. https://www.federalreserve.gov/publications/files/2020-sensitivity-analysis-20200625.pdf and https://www.federalreserve.gov/publications/files/2020-dec-stress-test-results-20201218.pdf. Return to text

19. For macroprudential regulation, a key risk is pro-cyclicality in the financial system, whereby leverage and asset prices move up together in booms and decline together in busts (see Adrian and Shin, 2010; Drehman, Borio and Tsatsaronis, 2011; Geanakoplos, 2010). While varying stress test scenarios with the cycle can help to offset some of the financial system’s procyclical tendencies, other regulatory measures, such as a countercyclical capital buffer, may be better suited to address the specific vulnerabilities arising from procyclical leverage. The countercyclical capital buffer, or CCyB, is a capital buffer that is designed to be used as a macroprudential policy tool that could be increased in good times and reduced in bad ones. Return to text

20. The stress test results feed directly into the capital buffer for large firms. The stress capital buffer is floored at 2.5 percent, which aligns with the capital conservation buffer applicable to smaller firms. Return to text

21. Greenwood et al (2017). Return to text

22. https://www.federalreserve.gov/newsevents/pressreleases/bcreg20221014a.htm. Return to text

23. For more details about these historical stress test experiences, see Frame, Gerardi, and Willen (2015) and Greenlaw, Kashyap, Shin (2012). Return to text

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Security Union: EU Commission proposes new rules on Advance Passenger Information to facilitate external border management and increase internal security

Today, the Commission is proposing new rules to strengthen the use of Advance Passenger Information (API) data. This proposal is one of the key actions identified in the EU Security Union Strategy. The EU continues its progress in strengthening its overall security architecture, which aims to enhance EU citizens’ protection, as shown also in the Fifth Security Union Progress Report. The report highlights three years of solid progress in implementing the Security Union Strategy. It shows that significant steps have been made in strengthening the protection of critical infrastructures from physical, cyber and hybrid attacks, in fighting terrorism and radicalisation, as well as in the fight against organised crime.
Information on travellers has helped to improve border controls, reduce irregular migration, and identify persons posing security risks. Every year, over a billion passengers enter, leave or travel within the EU. The new rules will improve the use of API data to perform checks on passengers prior to their arrival at the external borders. The new rules will also enhance the fight against serious crime and terrorism within the EU. This will close an important gap in the current legal framework, while upholding EU standards for data protection and transmission.
The Commission is also today reporting on three years of solid progress in implementing the Security Union Strategy and proposing a new Action Plan on Trafficking in Cultural Goods, which remains one of the most lucrative forms of business for organised crime groups.
The new rules on API will introduce:

Uniform rules on API data collection. The new rules include a closed list of API data elements, the means to collect API data, and a single point for the transfer of the data.

Mandatory API data collection for the purposes of border management and combating irregular immigration on all flights entering the Schengen area. This will facilitate the travel of people travelling to the Schengen area, with reduced times at disembarkation and at the physical border checks. Mandatory API data collection for law enforcement purposes for all flights to and from the EU, as well as on selected flights within the EU. API data for such purposes is collected in full respect of EU personal data protection rules.

Better quality API data, as air carriers will have to collect API data by automated means only.

Streamlined transmission of API data by air carriers to national authorities through a new router, which will be managed by an EU Agency, eu-LISA. This technical solution is compliant with personal data protection safeguards as it will only transmit and not store any API data.

Next steps
It is now for the European Parliament and the Council to examine the proposal. Once adopted, the rules will be directly applicable across the EU. These proposals complete other EU systems and initiatives in the area of border management and security, and that are being rolled out in the course of 2023 (such as the Entry Exit System and the European Travel Information Authorisation System). The new rules on the collection and transfer of API data are expected to be applied in full as of 2028. Once the router is developed, which is expected to be the case by 2026, public authorities and air carriers will have two years to adjust to the new requirements and test the router, before it becomes mandatory.
Background
The processing of API data provides an effective tool for advance checks of air travellers, allowing to expedite procedures upon arrival and allocating more resources and time to identify travellers who need further attention.
In the EU, the API Directive imposes obligations on air carriers to transmit, upon request, API data to the EU Member State of destination prior to the flight’s take-off. This concerns inbound flights from a third country and aims to improve border control and fight irregular migration. The revision of the Directive was announced in the Commission Work Programme 2022 and the June 2021 Schengen Communication. The two new Regulations will replace the 2004 Advance Passenger Information Directive.
Results of the 2020 evaluation of the API Directive showed that the current rules on the collection of API data in the EU are no longer fit for purpose. Today’s proposals address the need to harmonise and clarify the way API data is collected throughout the EU. It also highlights the usefulness to combine API and PNR data in order to strengthen the reliability and effectiveness of PNR data as a law enforcement tool.
In addition to API data that is collected by air carriers at the moment of check-in and boarding of the plane, air carriers also collect passenger name records (PNR) data at the moment of reservation or booking of a flight ticket. These are a separate set of information, collected by airlines in the normal course of their business. The transmission of PNR data to national authorities and the subsequent use of this data is regulated in the EU by a separate legal framework, the PNR Directive adopted in 2016.
Compliments of the European Commission.
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Taxation: Embracing the digital transition to help fight VAT fraud and support EU businesses

The European Commission today proposed a series of measures to modernise and make the EU’s Value-Added Tax (VAT) system work better for businesses and more resilient to fraud by embracing and promoting digitalisation. Today’s proposal also aims to address challenges in the area of VAT raised by the development of the platform economy.
Member States lost €93 billion in VAT revenues in 2020 according to the latest VAT Gap figures also published today. Conservative estimates suggest that one quarter of the missing revenues can be attributed directly to VAT fraud linked to intra-EU trade. These losses are clearly detrimental to overall public finances at a time when Member States are adjusting budgets to deal with the social and economic effects of recent energy price spikes and Russia’s war of aggression against Ukraine. In addition, VAT arrangements in the EU can still be burdensome for businesses, especially for SMEs, and other companies who operate or are looking to scale-up cross-border.
Key actions proposed today will help Member States collect up to €18 billion more in VAT revenues annually while helping businesses, including SMEs, to grow:

A move to real-time digital reporting based on e-invoicing for businesses that operate cross-border in the EU

The new system introduces real-time digital reporting for VAT purposes based on e-invoicing that will give Member States valuable information they need to step up the fight against VAT fraud, especially carousel fraud. The move to e-invoicing will help reduce VAT fraud by up to €11 billion a year and bring down administrative and compliance costs for EU traders by over €4.1 billion per year over the next ten years. It also makes sure that existing national systems converge across the EU and paves the way for Member States that wish to set up national digital reporting systems for domestic trade in the coming years.

Updated VAT rules for passenger transport and short-term accommodation platforms

Under the new rules, platform economy operators in those sectors will become responsible for collecting and remitting VAT to tax authorities when service providers do not, for example because they are a small business or individual provider. Together with other clarifications, this will ensure a uniform approach across all Member States and contribute to a more level playing field between online and traditional short-term accommodation and transport services. It will also make life easier for SMEs who would otherwise need to understand and comply with the VAT rules in all Member States where they do business. .

The introduction of a single VAT registration across the EU

Building on the already existing ‘VAT One Stop Shop’ model for online shopping companies, today’s proposal would allow businesses selling to consumers in another Member State to register only once for VAT purposes for the entire EU, and to fulfil their VAT obligations via a single online portal in one single language. Estimates show that this move could save businesses, especially SMEs, some €8.7bn in registration and administrative costs over ten years. Further measures to improve the collection of VAT include making the ‘Import One Stop Shop’ mandatory for certain platforms facilitating sales to consumers in the EU.
Next steps
Today’s package of proposals takes the form of amendments to three pieces of EU legislation: the VAT Directive (2006/112/EC), Council Implementing Regulation (EU 282/2011) and the Council Regulation on Administrative Cooperation (EU 904/2010).
The legislative proposals will be sent to the Council for agreement and to the European Parliament and the Economic and Social Committee for consultation.
Compliments of the European Commission.
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IMF | Riding the Global Debt Rollercoaster

The weaker growth outlook and tighter monetary policy call for prudence in managing debt and conducting fiscal policy
Global debt remained above pre-pandemic levels in 2021 even after posting the steepest decline in 70 years, underscoring the challenges for policymakers.
Total public and private debt decreased in 2021 to the equivalent of 247 percent of global gross domestic product, falling by 10 percentage points from its peak level in 2020, according to the latest update of the IMF’s Global Debt Database. Expressed in dollar terms, however, global debt continued to rise, although at a much slower rate, reaching a record $235 trillion last year.
Private debt, which includes non-financial corporate and household obligations, drove the overall reduction, decreasing by 6 percentage points to 153 percent of GDP, according to our unique tally, which has been published annually since 2016. The decline of 4 percentage points for public debt, to 96 percent of GDP, was the largest such drop in decades, our database shows (for further details see the 2022 Global Debt Monitor).
The unusually large swings in debt ratios are caused by the economic rebound from COVID-19 and the swift rise in inflation that has followed. Nevertheless, global debt remained nearly 19 percent of GDP above pre-pandemic levels at the end of 2021, posing challenges for policymakers all over the world.

Variation across countries
Debt dynamics varied significantly across country groups, however.
The fall in debt was largest in advanced economies, where both private and public debt fell by 5 percent of GDP in 2021, reversing almost one-third of the surge recorded in 2020.
In emerging markets (excluding China), the fall in debt ratios in 2021 was equivalent to almost 60 percent of the 2020 increase, with private debt falling more than public debt.
In low-income developing countries, total debt ratios continued to increase in 2021, driven by higher private debt.

Factors behind the global debt swings
Three main drivers explain these unusually large movements in both private and public debt around the world:

Large fluctuations in economic growth. The economic recession at the onset of the pandemic contributed to a pronounced drop in GDP, which was reflected in the sharp rise in debt-to-GDP ratios in 2020. As economies moved on from the worst of the pandemic, the strong rebound in GDP helped the 2021 fall in debt ratios.

High and more volatile inflation. Likewise, inflation rates fell significantly in the first year of the pandemic. This trend was reversed in 2021 as prices rose sharply in many countries. During 2020 and 2021, economic activity and inflation moved together: inflation fell and then rose with output. These factors induced large swings in nominal GDP that contributed to the changes in debt ratios.

Effects of economic shocks on the budgets of governments, firms, and households. The volatile economic conditions also had a considerable impact on debt dynamics through budgets. Debt and deficits increased significantly in 2020 because of the economic recession and the sizable support extended to individuals and businesses. In 2021, fiscal deficits declined but remained above their pre-pandemic levels (see October 2022 Fiscal Monitor).

A few country examples illustrate these effects. The economic rebound and rise in inflation pushed debt down by more than 10 percentage points of GDP in Brazil, Canada, India, and the United States, but actual debt fell less owing to the financing needs of government and the private sector. In other cases—for example, in China and Germany—public debt increased as the large deficits more than compensated for the rise in nominal GDP.

More generally, the rebound helped to reduce public debt ratios between 2 and 3.5 percent of GDP (with the largest effect among advanced economies), while inflation shaved off between 1.5 and 3 percentage points (the effect was more pronounced in emerging markets). Conversely, fiscal deficits increased public debt by around 4.5 percent of GDP with considerable variation across countries.
How governments should respond
Managing the high debt levels will become increasingly difficult if the economic outlook continues to deteriorate and borrowings costs rise further. The high inflation levels continue to help reduce debt ratios in 2022, especially where deficits are returning to pre-pandemic levels.
However, the relief to debt dynamics from “inflation surprises”—that is, when price levels are different from what was expected—and the temporary growth rebound cannot be permanent (see April 2022 Fiscal Monitor). If high inflation were to become persistent, spending will increase (for example, on wages) and investors will demand a higher inflation premium to lend to governments and private sector.
The weaker growth outlook and tighter monetary policy calls for prudence in managing debt and conducting fiscal policy. Recent developments in bond markets show investors’ heightened sensitivity to deteriorating macroeconomic fundamentals and limited fiscal buffers.
Governments should adopt fiscal strategies that help reduce inflationary pressures now and debt vulnerabilities over the medium term, including by containing expenditure growth—while protecting priority areas, including support to those hardest hit by the cost-of-living crisis. This would also facilitate the work of central banks and allow for smaller increases in interest rates than would otherwise be the case. In times of turbulence and turmoil, confidence in long-run stability is a precious asset.
Authors:

Vitor Gaspar, Director of the Fiscal Affairs Department at the IMF

Paulo Medas, Division Chief in the IMF’s Fiscal Affairs Department and oversees the IMF’s Fiscal Monitor

Roberto Perrelli, Senior Economist in the IMF’s Fiscal Policy and Surveillance Division, Fiscal Affairs Department
This blog incorporates research by Youssouf Kiendrebeogo, Virat Singh, Zhonghao Wei, Andrew Womer, and Chenlu Zhang

Compliments of the IMF.
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ECB Speech | Crypto dominos: the bursting crypto bubbles and the destiny of digital finance

Keynote speech by Fabio Panetta, Member of the Executive Board of the ECB, at the Insight Summit held at the London Business School | London, 7 December 2022 |
It is a true pleasure to be back at the London Business School.[1] I did my PhD here many years ago. As soon as I arrived, I found myself immersed in an environment where pioneering academic research and economic analysis were carried out in a friendly atmosphere. In those years I learned not only to be rigorous in doing research, but also the importance of doing one’s job with enthusiasm.
I still have vivid memories of stimulating and motivating discussions with my fellow students and the faculty. I am particularly grateful to my PhD supervisor and dear friend, Professor Richard Brealey.
Moving from the past to the future, today I will discuss crypto-assets and the destiny of digital finance.
When I last spoke about crypto finance at Columbia University last April, I likened it to the Wild West and warned about the risks stemming from irrational exuberance among investors, negative externalities and the lack of regulation.[2]
Crypto markets have since witnessed a number of painful bankruptcies. The crypto dominos are falling, sending shockwaves through the entire crypto universe, including stablecoins and decentralised finance (DeFi).[3]
The crash of TerraUSD, then the world’s third-largest stablecoin, and the recent bankruptcy of the leading crypto exchange FTX and 130 affiliated companies each took only a few days to unfold. This is not just a bubble that is bursting. It is like froth: multiple bubbles are bursting one after another.
Investors’ fear of missing out seems to have morphed into a fear of not getting out.
The sell-off is exposing those “swimming naked”.[4] It has laid bare some unbelievably poor business and governance practices across a number of crypto firms. It has revealed that some investors have been acting carelessly by investing blindly without proper due diligence. And similar to the sub-prime crisis, the crash has uncovered the interconnections and opaque structures within the crypto house of cards.
This is set to dampen enthusiasm in the belief that technology can free finance from scrutiny. The crash has served as a cautionary reminder that finance cannot be trustless and stable at the same time. Trust cannot be replaced by religious faith in an algorithm. It requires transparency, regulatory safeguards and scrutiny.
Does this mean we are witnessing the endgame for crypto? Probably not. People like to gamble. On horse races, football games and many other events. And some investors will continue to gamble by taking speculative positions on crypto-assets.
Today I will argue that the fundamental flaws of crypto-assets mean that they can quickly collapse when irrational exuberance subsides. We should therefore focus on protecting inexperienced investors and preserving the stability of the financial system.
Ensuring that crypto-assets are subject to adequate regulation and taxation is one path to achieving this. Here, we need to move rapidly from debate to decision and then implementation.
But even regulation will not be enough to address the shortcomings of cryptos. To harness the possibilities of digital technologies, we must provide solid foundations for the broader digital finance ecosystem.
This requires a risk-free and dependable digital settlement asset, which only central bank money can provide. And that is why the ECB is working on a digital euro while also considering new technologies for the future of wholesale settlement in central bank money.
Fundamental flaws in crypto finance
The philosophy behind cryptos is that digital technology can replace regulated intermediaries and avoid state “intrusion”. In other words, that it is possible to build a trustless but stable financial system based on technology.
This is just an illusion, as was clear from the outset and confirmed by recent developments. In fact, it is precisely the absence of regulation and public scrutiny that blinded investors to the risks involved, leading to the rise and subsequent fall of crypto-assets.
The risks associated with crypto finance stem from three fundamental flaws. I will address each of them in turn.
Unbacked crypto-assets offer no benefits to society
The main structural flaw of unbacked crypto-assets – which form the bulk of the crypto market (Chart 1) – is that they do not offer any benefits to society.

Chart 1
Market capitalisation of crypto-assets
(EUR billions)

Sources CryptoCompare and ECB calculations.
Notes: Crypto-asset market capitalisation is calculated as the product of circulating supply and the price of crypto-assets. If the circulating supply were adjusted for the lost bitcoins which are proxied by those that have not been used for longer than seven years, it would be around 20% lower. The selected major altcoins are Cardano (ADA), Bitcoin Cash (BCH), Dogecoin (DOGE), Link (LINK), Litecoin (LTC), Binance Coin (BNB), Ripple (XRP), Polkadot (DOT) and Solana (SOL). The selected major stablecoins are Gemini USD (GUSD), True USD (TUSD), USD Coin (USDC), Tether (USDT), Binance USD (BUSD) and Pax Dollar (USDP). Algorithmic stablecoins were excluded.

Despite consuming a vast amount of human, financial and technological resources, unbacked crypto-assets do not perform any socially or economically useful function. They are not used for retail or wholesale payments – they are just too volatile and inefficient.[5] They do not fund consumption or investment. They do not help fuel production. And they play no part in combating climate change. In fact, unbacked crypto-assets often do the exact opposite: they can cause huge amounts of environmental damage.[6] They are also widely used for criminal and terrorist activities, or to evade taxes.[7]
As a form of investment, unbacked crypto-assets lack any intrinsic value. They have no underlying claim: there is neither an issuer who is accountable and liable, nor are they backed by collateral. They are notional instruments, created using computing technology, which do not generate financial flows[8] or use value for their holders. Therefore, their value cannot be estimated from future income discounted to the present, like for real and financial assets.
Unbacked crypto-assets cannot help to diversify portfolios. Recent developments show that their value does not increase when income becomes more valuable to consumers – such as in periods of high inflation or low growth. Crypto-assets are not digital gold. Their price changes show increasing correlation with stock markets (Chart 2), with much higher volatility. And recent developments highlight their intrinsic instability: the first bitcoin exchange-traded fund lost more on its price since its launch than any other that has been issued.[9]

Chart 2
Correlation between bitcoin and stock markets
60-day rolling correlation between bitcoin and selected stock indices

Sources: Bloomberg, CryptoCompare and ECB calculations.

Many investors have suffered significant losses from the crypto collapse and cannot expect any compensation. There are no insurance schemes. And in several instances, crypto-assets have been shown to offer little protection against IT and cyber risks.[10]
On the whole, it is difficult to see a justification for the existence of unbacked crypto-assets in the financial landscape. Their combined features mean that they are just speculative assets. Investors buy them with the sole objective of selling them on at a higher price. In fact, they are a gamble disguised as an investment asset.
Millions of investors were lured by an illusory narrative of ever-rising crypto-asset prices – a narrative that was fuelled by extensive news reports and investment advice on social media, highlighting past price increases and features such as artificial scarcity to create the fear of missing out. Many invested without understanding what they were buying.[11]
Irrational enthusiasm prospered on self-fulfilling expectations:[12] the textbook definition of a bubble. Like in a Ponzi scheme, such dynamics can only continue so long as a growing number of investors believe that prices will continue to increase. Until the enthusiasm vanishes and the bubble bursts.
The market value of crypto-assets has shrunk from €2.5 trillion at its peak a year ago to less than €1 trillion today (Chart 1). The price of bitcoin[13] has fallen by more than 70% from its peak (Chart 3).

Chart 3
Price of bitcoin
(EUR)

Sources: CryptoCompare and ECB calculations.

Stablecoins are exposed to runs
The second structural flaw is the purported stability of stablecoins, which the entire crypto ecosystem has relied on to underpin trading in crypto-assets and liquidity provision in DeFi markets.[14]
Although stablecoins represent only a small part of the crypto-asset market,[15] crypto trading using Tether, the largest stablecoin, accounts for close to half of all trading on crypto-asset trading platforms (Chart 4).[16]

Chart 4
Stablecoin trading volumes and use in crypto trading

Sources: IntoTheBlock, CryptoCompare and ECB calculations.
Notes: Panel a): The data are for the period from 1 January 2020 to 29 November 2022. Trading volume data are based on CryptoCompare’s real-time aggregate index methodology (CCCAGG), which aggregates transaction data from more than 250 exchanges. The chart reflects the sum of trading volumes involving bitcoin or ether (monthly average), as well as the respective percentages of the volume of trades occurring between bitcoin/ether and listed assets or asset groups. “Other stablecoins” includes USD Coin, DAI, Pax Dollar, TerraUSD and 12 other large stablecoins. “Other crypto-assets” includes 29 of the largest unbacked crypto-assets after bitcoin and ether. “Official currencies” includes USD, EUR, JPY, GBP, RUB, PLN, AUD, BRL, KRW, TRY, UAH, CHF, CAD, NZD, ZAR, NGN, INR and KZT. “Other” consists of remaining assets not included in the preceding categories.
Panel b): The data are for the period from 1 January 2022 to 29 November 2022. Stablecoin liquidity in decentralised exchanges is approximated based on the ten most liquid pairs on Curve, Uniswap and SushiSwap as at 29 November 2022. “Stablecoins (collateralised)” includes Tether, USD Coin and True USD. “Stablecoins (algorithmic)” includes DAI, Magic Internet Money and three further stablecoins. “Other crypto-assets” includes ether, PAX Gold and FNK wallet. “DeFi Tokens” includes wrapped bitcoin, Uniswap’s governance token UNI, SushiSwap’s governance token SUSHI and 16 other tokens of different DeFi protocols.

Stablecoins appeal to users because it is claimed that, unlike unbacked cryptos, they provide stability by having their value tied to a portfolio of assets – known as “reserve assets” – against which stablecoin holdings can be redeemed.[17] Algorithmic stablecoins, meanwhile, aim to match supply and demand to maintain a stable value.
But the recent crypto crash has highlighted that – without sound regulation – stablecoins are stable in name only.
Digital innovation cannot, for example, build stable values on the basis of codes and mechanisms of dependency. This was the key takeaway from the collapse of the algorithmic stablecoin TerraUSD,[18] which lost its peg to the US dollar in May and has since been trading for less than 10 US cents (Chart 5).[19]

Chart 5
TerraUSD’s lost peg
(USD)

Source: CryptoCompare.

Tether also temporarily lost its peg amid the ensuing market stress.[20] This showed that, even for collateralised stablecoins, risks cannot be eliminated easily.[21] Without public backing,[22] the risks of contagion and runs are widespread and the liquidation of part of the reserve assets can have procyclical effects and further reduce the value of the remaining reserve assets. These risks are magnified when the composition of the reserve assets is concealed.
Overall, this scramble for stability and the shortcomings of stablecoins underscore the importance of a settlement asset that maintains its value under stressed conditions. In the absence of a risk-free digital anchor, which only digital central bank money can provide, stablecoins represent an overambitious attempt to create a risk-free digital asset backed by risky assets.

Crypto markets are highly leveraged and interconnected
The third structural weakness is the fact that crypto markets may have incredibly high leverage and interconnections. This creates strong procyclical effects, given the lack of shock absorption capacity.
Crypto exchanges allow investors to increase exposures by up to 125 times the initial investment (Chart 6, left panel). As a result, when shocks hit and deleveraging is needed, they are forced to shed assets, putting strong downward pressure on prices (Chart 6, right panel).

Chart 6
DeFi’s vulnerabilities: leverage and procyclicality

Source: Bank for International Settlements (2021), “DeFi risks and the decentralisation illusion”, BIS Quarterly Review, December.

These procyclical effects are exacerbated by the pervasive overcollateralisation adopted in DeFi lending to compensate for the risks posed by anonymous borrowers.[23] Moreover, funds borrowed in one instance can be reused as collateral in subsequent transactions, allowing investors to build large exposures. Shocks can propagate rapidly across collateral chains and are amplified by positions liquidated automatically using smart contracts.
These are precisely the dynamics we have seen at work in the recent crypto failures, which have sent shockwaves throughout the crypto universe, including in DeFi markets[24] used to build leverage.[25]
The inadequate governance of crypto firms has magnified these structural flaws. Insufficient transparency and disclosure, the lack of investor protection, and weak accounting systems and risk management were blatantly exposed by the implosion of FTX.[26] Following this event, crypto-assets may move away from centralised to decentralised exchanges, creating new risks owing to the absence of a central governance body.[27]
The destiny of digital finance
These fundamental flaws have led many to predict the demise of crypto-assets. But these flaws alone are unlikely to spell the end of cryptos, which will continue to attract investors looking to gamble.
Gambling is perhaps the second oldest profession in the world. It has been traced back to ancient China, Greece and Rome. People have always gambled in different ways: casting lots, rolling dice, betting on animals or playing cards. And in the digital era I expect them to continue gambling by taking speculative positions on crypto-assets.
We therefore need to mitigate the risks, while harnessing the innovative potential of digital finance beyond cryptos. There are two elements to this.
Regulating crypto-assets
The first is to regulate crypto-assets and ensure that they do not benefit from preferential treatment compared with other assets.[28]
The recent failures of crypto entities do not seem to have had a material impact on the financial sector. But they have highlighted the immense potential for economic and social damage if we leave cryptos unchecked.[29] And the links between the crypto market and the financial system may become stronger, especially as major tech companies enter the sector.
That is why we now need – urgently – to regulate crypto-assets. It is crucial that the regulatory frameworks currently in the legislative process quickly enter into force and start being implemented so that words can be followed by deeds.
Addressing financial risks
Regulators must walk a tightrope. For one, they need to build guardrails to tackle regulatory gaps and arbitrage. But they also need to avoid legitimising unsound crypto models and refrain from socialising the risks through bailouts.[30]
Regulatory efforts should primarily be directed at preventing the use of crypto-assets as a way of circumventing financial regulation. The principle of “same functions, same risks, same rules” applies regardless of technology. This should be coupled with measures to ensure that the risks of crypto-assets are clear to all. Potential buyers should be fully aware of the risks they take when buying cryptos and the services surrounding them.[31] Gambling activities should be treated as such.
The other task is to shield the mainstream financial system from crypto risks, notably by segregating any crypto-related activities of supervised intermediaries.
The EU’s Regulation on Markets in Crypto-Assets (MiCA) is leading the way in building a comprehensive regulatory framework. MiCA will regulate stablecoins, crypto-assets other than stablecoins, and crypto-asset service providers. It will subject stablecoin issuers of e-money tokens[32] and asset-referenced tokens[33] to licensing and supervision. And it will regulate the reserve assets backing stablecoins in order to contain their risks. In turn, the regulation requires that buyers of crypto-assets are informed about the inherent risks involved. It is crucial that the regulation enters into force as soon as possible.[34]
Looking ahead, the regulation of crypto activities will have to be adapted to the continuous evolution of crypto risks. Given the time needed to design and apply new legislation, it is important to empower regulators, overseers and supervisors to adjust their instruments to keep pace with market and technological developments.
The ECB is not responsible for regulating investment activities. But we are responsible for overseeing European payment systems, and we have already taken action in this field. Our oversight framework for payment instruments, schemes and arrangements – the PISA framework – that was launched last year addresses the risks of stablecoins and other crypto-assets for payment systems.
Since crypto-assets know no borders, their regulatory framework must be global. This requires rapid implementation of the Financial Stability Board’s recommendations to make the regulatory, supervisory and oversight approaches to crypto activities consistent and comprehensive across different countries.[35] Swift progress is also needed to finalise the Basel Committee on Banking Supervision’s framework for the prudential treatment of banks’ crypto-asset activities.
Addressing and internalising social risks
Authorities also need to address the significant social costs of crypto-assets, such as tax evasion, illicit activities and their environmental impact.[36] The use of crypto-assets for money laundering and terrorist financing could be prevented by applying the standards set by the Financial Action Task Force.[37]
The other task is to ensure that the taxation of crypto-assets is harmonised across jurisdictions and consistent with how other instruments are taxed.[38] In Europe, given the negative externalities that crypto activities can generate across multiple Member States, the EU should introduce a tax levied on cross-border crypto issuers, investors and service providers. This would generate revenues that can be used to finance EU public goods that counter the negative effects of crypto-assets.[39]
Such a tax could, for example, address the high energy and environmental costs associated with some crypto-mining and validation activities. This would be in line with the current EU priorities to address climate change and ensure energy security[40]. Crypto-assets deemed to have an excessive ecological footprint should also be banned.[41]
Balancing innovation and stability: an anchor for digital finance
But even regulation would not be enough to provide a stable basis for digital finance. The second factor at play here is that, in order to harness the opportunities offered by technological innovation, we need to give digital finance – like other forms of finance – an anchor of stability in the form of a digital risk-free asset.
Only central bank money can provide an anchor of stability
Some commentators are of the view that adequate regulation would allow stablecoins to provide such a risk-free asset. This is a misconception.
Stablecoins invest their reserve assets in market instruments, which inevitably exposes them to several risks: liquidity, credit, counterparty and operational risks. Prudent investment policies can reduce but not eliminate such risks. The riskiness of stablecoins will over time lead to them being traded at variable prices, making them unsuitable as risk-free assets.
Risks could theoretically be eliminated by allowing full-reserve – or narrow – stablecoins to hold their reserve assets entirely in the form of risk-free deposits at the central bank. This would avoid custody and investment risks for stablecoins and underpin their commitment to reimburse coin holders at par value at all times.
But other fundamental problems would then emerge. In fact, this would be tantamount to outsourcing the provision of central bank money. It could even threaten monetary sovereignty if a stablecoin were to largely displace sovereign money. And narrow stablecoins could divert sizeable deposits away from banks, with potential adverse consequences for the financing of the real economy.[42]
Only central bank money can provide an anchor of stability. The solution is to extend today’s two-tier monetary system into the digital age. This system is built on the complementary roles of central bank money and commercial bank money.
Central bank money is currently available for retail use in only physical form – cash. But the digitalisation of payments is eroding the role of cash and its ability to provide an effective monetary anchor. Central bank digital currencies would instead preserve the use of public money for digital retail payments. By offering a digital, risk-free common denominator, a central bank digital currency would facilitate convertibility among different forms of private digital money. It would thus preserve the singleness of money and protect monetary sovereignty. The ECB is working on a digital euro precisely for these reasons.[43]
To preserve its crucial role, public money must also continue to be used as a settlement asset for wholesale financial transactions.[44]
The Eurosystem currently provides settlement in central bank money for wholesale transactions with its TARGET services. And we are exploring what would happen if new technologies were to be widely adopted by the financial industry. Whether such a scenario will materialise is uncertain, but we must be ready to respond if it does. Our response may include making central bank money available for wholesale transactions on one or more distributed ledger technology platforms, or creating a bridge between market DLT platforms and existing central bank infrastructures.[45]
By ensuring that the role of central bank money as the anchor of the payment system is preserved for both retail and wholesale transactions, central banks will safeguard the trust on which private forms of money ultimately depend.
Conclusion
Let me conclude. Born in the depths of the global financial crisis, crypto-assets were portrayed as a generational phenomenon, promising to bring about radical change in how we pay, save and invest. Instead, they have become the bubble of a generation. It is now obvious to everyone that the promise of easy crypto-money and high returns was a bubble doomed to burst. It turns out that crypto-assets are not money. Many are just a new way of gambling.
There is an urgent need globally for regulation to protect consumers from the risks of crypto-assets, define minimum requirements for crypto firms’ risk management and corporate governance, and reduce the run and contagion risks of stablecoins. We should also tax crypto-assets according to their social costs.
But regulation will not turn risky instruments into safe money. Instead, a stable digital finance ecosystem requires well-supervised intermediaries and a risk-free and dependable digital settlement asset, which only digital central bank money can provide.
Speaker:

Fabio Panetta

Compliments of the European Central Bank.
The post ECB Speech | Crypto dominos: the bursting crypto bubbles and the destiny of digital finance first appeared on European American Chamber of Commerce New York [EACCNY] | Your Partner for Transatlantic Business Resources.

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OECD | Tourism rebound at risk as global crises take their toll

A post-pandemic recovery in tourism risks faltering as the global economy loses momentum amid the energy shock triggered by Russia’s war of aggression against Ukraine, high inflation and weakened household purchasing power, according to a new OECD report.
OECD Tourism Trends and Policies 2022 says many countries saw a strong rebound in tourism in 2022 on the back of pent-up demand, household savings and travel vouchers. However, international tourism is now not expected to recover until 2024 or 2025, or even later.
After six decades of consistent growth, the sector was dealt a huge blow by COVID-19. International tourism came to a near complete halt at the height of the pandemic, which accounted for 77c of every USD 1 of lost revenue in service exports in OECD countries in 2020. With domestic tourism also constrained, tourism’s direct contribution to GDP fell by 1.9 percentage points in OECD countries with available data.
COVID-19 highlighted the vital role tourism plays in global, national and local economies, says the report. Before the pandemic, tourism directly contributed 4.4% of GDP and 6.9% of employment, and tourism generated 20.5% of service-related exports on average in OECD countries.
The latest evidence indicates that tourism has performed above expectations in many countries. International tourist flows in July 2022 were just 19.9% below July 2019 levels across reporting OECD countries, although there were marked variations across regions. Arrivals in Denmark, Greece, Luxembourg, Portugal, Slovenia and Spain exceeded 2019 levels but in countries bordering Russia and Ukraine, tourist numbers were at least 30% below pre-pandemic levels in July 2022. In OECD countries in the Asia Pacific region tourist arrivals were at least 40% lower than in 2019.
“The pandemic exposed underlying weaknesses in the wider tourism economy,” OECD Secretary-General Mathias Cormann said. “Fallout from Russia’s war of aggression against Ukraine is now threatening the sector’s recovery. The challenge for governments and businesses is not only to boost tourism in the short-term, but to also ensure the sector’s longer-term strength and sustainability.”
Tourism businesses, already struggling to recover from the pandemic, are now also facing rising energy, food and other input costs. The sector faces huge uncertainty regarding labour and skills shortages which further risk constraining recovery. Restoring safe mobility is also required to bring back traveller confidence and tourism demand.
To support recovery and to transform the tourism sector, policy action is needed to:

Strengthen collaboration across government, and with the private sector, to support recovery and shape a brighter future for tourism. For example, the United States National Travel and Tourism Strategy 2022 draws on engagement and capabilities from across the Federal Government and will be implemented under the leadership of the Tourism Policy Council and in partnership with the private sector.

Secure a robust and stable tourism sector that is more resilient to future shocks – the pandemic and cost-of-living crisis have underlined vulnerabilities in the sector and the need to build the capacity of government and business to react and adapt quickly, develop tailored destination management approaches and promote a business environment where SMEs can succeed. For example, the Chile Supports Tourism 2022 Programme (launched in July 2022) is designed to finance training, business planning, consultancy, technical assistance, working capital and/or investment projects to support the reactivation of tourism SMEs.

Take sustained and transformative action to promote a green tourism recovery. For example, Norway has developed the CO2RISM calculator to estimate the amount of transport-related CO2 emissions associated with visitors travelling to and within Norway and is one of several operational tools to support destinations shift to more sustainable tourism planning and development under the National Tourism Strategy 2030.

Read more about the 2022 edition of “OECD Tourism Trends and Policies”, co-funded by the European Union.
Contact:

For further information, journalists are invited to contact Shayne.MACLACHLAN@oecd.org

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OECD | Russia’s war of aggression against Ukraine continues to create serious headwinds for global economy

The global economy is expected to slow further in the coming year as the massive and historic energy shock triggered by Russia’s war of aggression against Ukraine continues to spur inflationary pressures, sapping confidence and household purchasing power and increasing risks worldwide, according to the OECD’s latest Economic Outlook.
The Outlook highlights the unusually imbalanced and fragile prospects for the global economy over the next two years. The global economy is projected to grow well below the outcomes expected before the war – at a modest 3.1% this year, before slowing to 2.2% in 2023 and recovering moderately to a still sub-par 2.7% pace in 2024.
Growth in 2023 is strongly dependent on the major Asian emerging market economies, who will account for close to three-quarters of global GDP growth next year, with the United States and Europe decelerating sharply.
Persistent inflation, high energy prices, weak real household income growth, falling confidence and tighter financial conditions are all expected to curtail growth. Higher interest rates, while necessary to moderate inflation, will increase financial challenges for both households and corporate borrowers.

Inflation is projected to remain high in the OECD area, at more than 9% this year. As tighter monetary policy takes effect, demand and energy price pressures diminish and transport costs and delivery times continue to normalise, inflation will gradually moderate to 6.6% in 2023 and 5.1% in 2024.
“The global economy is facing serious headwinds. We are dealing with a major energy crisis and risks continue to be titled to the downside with lower global growth, high inflation, weak confidence and high levels of uncertainty making successful navigation of the economy out of this crisis and back toward a sustainable recovery very challenging,” OECD Secretary-General Mathias Cormann said during a presentation of the Outlook. “An end to the war and a just peace for Ukraine would be the most impactful way to improve the global economic outlook right now. Until this happens, it is important that governments deploy both short- and medium-term policy measures to confront the crisis, to cushion its impact in the short term while building the foundations for a stronger and sustainable recovery.”
The OECD points to substantial uncertainty surrounding the economic outlook. Growth may be weaker than projected if energy prices rise further, or if energy supply disruptions affect gas and electricity markets in Europe and Asia. Rising global interest rates may put many households, firms and governments under greater pressure as debt service burdens rise. Low-income countries will remain particularly vulnerable to high food and energy prices, while tighter global financial conditions may raise the risk of further debt distress.
Against this backdrop, the Outlook lays out a series of policy actions that governments should take to confront the crisis. Further monetary policy tightening is needed in most major advanced economies and in many emerging market economies to firmly anchor inflation expectations and lower inflation durably.
Fiscal support that is being provided to help cushion the impact of high energy costs should be increasingly temporary and preserve incentives to reduce energy consumption. Support measures should be designed to minimise fiscal costs and be concentrated on aiding the most vulnerable households and companies.
Managing the energy crisis will require more decisive policy support to boost investment in clean technologies, foster energy efficiency, secure alternative supplies and realign policy with climate mitigation objectives.
The cost-of-living crisis also calls for structural reforms that can have a direct effect on household incomes, ease supply constraints and reduce prices. To this end, countries should focus on policies to improve the functioning of international trade, enhance productivity, tackle gender gaps in the labour market and boost living standards.
Contacts:

For the full report and more information, visit the Economic Outlook online. Media queries should be directed to the OECD Media Office (+33 1 4524 9700).

Compliments of the OECD.
The post OECD | Russia’s war of aggression against Ukraine continues to create serious headwinds for global economy first appeared on European American Chamber of Commerce New York [EACCNY] | Your Partner for Transatlantic Business Resources.