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    Home»Cryptocurrency»My Suggestions for MAS’s Proposed DTSPs Framework
    Cryptocurrency

    My Suggestions for MAS’s Proposed DTSPs Framework

    dfrancis36By dfrancis36October 28, 2024No Comments14 Mins Read
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    Singapore has consistently positioned itself as a
    forward-thinking jurisdiction, balancing innovation with robust regulatory
    oversight. As a fellow Singaporean, I am very proud of its future planning.

    The Monetary Authority of Singapore (MAS) is seeking submissions for the Consultation Paper on the proposed regulatory approach for
    Digital Token Service Providers (DTSPs) under the Financial Services and
    Markets Act 2022.

    Instead of replying to the submission directly, I will
    try to share my point of view openly here, offering insights, potential plans,
    and timelines for implementation. Before I start, I am sharing this in my
    personal capacity: I do not represent any self-claimed digital assets expert
    groups, associations, or schools.

    License Application and Fee
    Structures

    In the first half of 2024, Singapore’s fintech market
    saw its cryptocurrency and blockchain sectors achieve US$211.90 million across
    72 deals, marking a 22% increase from US$166.30 million over 38 deals in
    the second half of 2023.

    Singapore has been actively working on strengthening
    risk management frameworks for digital asset tokenization and has recently
    launched an initiative to expand asset tokenization within financial services.

    MAS today published business conduct and consumer access measures for Digital Payment Token services in Singapore to limit potential consumer harm. They will be implemented through regulations and guidelines, which will take effect in phases from mid-2024. https://t.co/laevvAlW0a pic.twitter.com/kxBLRQG0az

    — MAS (@MAS_sg) November 23, 2023

    The proposed license application processes and fee
    structures are crucial elements that will shape the DTSP landscape in
    Singapore. From my perspective, MAS should consider implementing a tiered
    approach to both timelines and fees, reflecting the diversity of DTSPs in terms
    of size, complexity, and risk profile.

    For timelines, I propose a three-tier system:

    Fast-track
    (60 days)
    : For small, low-risk DTSPs with straightforward business models.

    Standard
    (90 days)
    : For medium-sized DTSPs or those with moderately complex operations.

    Extended
    (120+ days)
    : For large, complex DTSPs or those proposing novel business models.

    This tiered approach would allow MAS to allocate
    resources efficiently while ensuring thorough vetting of more complex
    applications. The fee structures can follow a similar tiered system based on
    the DTSP’s annual revenue or transaction volume could be implemented.

    Singapore expands regulations for digital payment token service providers https://t.co/xbJBsBSjHz

    — The Register (@TheRegister) April 3, 2024

    Minimum Financial Requirements

    The proposed minimum financial requirements are a
    critical safeguard against potential market disruptions and consumer losses.
    Based on my analysis, I believe a risk-based approach to setting these
    requirements is more feasible. This could involve:

    Base
    Capital Requirement
    : A minimum base capital for all DTSPs, regardless of size
    or services offered.

    Risk-Weighted
    Capital Requirement
    : Additional capital requirements based on the DTSP’s types of services offered, transaction volumes, and risk profile.

    Liquidity
    Requirement
    : A minimum liquidity ratio to ensure DTSPs can meet short-term
    obligations.

    📣 #ESMA is seeking input on Liquidity Management Tools for funds under the revised AIFMD and the #UCITS Directive.

    🗓️ Send your input by 8 Octoberhttps://t.co/LxNEEX7i2O pic.twitter.com/6G2K4CVVim

    — ESMA – EU Securities Markets Regulator 🇪🇺 (@ESMAComms) July 8, 2024

    Specifically, providers with capital
    ratios above 15% were 30% less likely to face operational disruptions during
    periods of extreme market stress. I propose that MAS consider setting the base
    capital requirement at SGD 250,000, with additional risk-weighted requirements
    that could increase this amount up to SGD 5 million for the largest and most
    complex DTSPs.

    Audit
    Requirements

    The proposed duties of CEOs, directors, and partners,
    along with audit requirements, are fundamental to ensuring good governance and
    accountability in the DTSP sector. The following enhancement is recommended for
    consideration:

    Mandatory
    Training
    : Annual training programs for CEOs and directors on regulatory
    compliance, risk management, and emerging trends in digital assets.

    Risk
    Committee
    : DTSPs above a certain size must establish a dedicated
    risk committee at the board level.

    Independent
    Directors
    : Mandating a minimum number of independent directors based on the
    DTSP’s size and complexity.

    Audit
    Frequency
    : Annual external audits for all DTSPs, with additional quarterly
    internal audits for larger providers.

    Financial markets are shifting towards asset tokenization, revolutionizing asset management and investment.#Chainlink emphasizes interoperability and data integration, echoing #TokenFi‘s vision of a future where tokenized assets reshape finance.

    📰👇https://t.co/87Qp3ufa3X pic.twitter.com/BGSfD8E2ss

    — TokenFi (@tokenfi) April 26, 2024

    Regulators are increasingly leveraging technological solutions to
    enhance their supervisory functions and manage vast amounts of data.
    Consequently, firms must engage more frequently with regulators regarding
    fintech and regtech developments.

    Fintech companies that implement robust governance
    structures and conduct regular audits are indeed less likely to experience
    compliance breaches.

    AML/CFT Measures

    The measures proposed in parts 5–8 of the consultation
    paper, particularly those related to Anti-Money Laundering (AML) and Countering
    the Financing of Terrorism (CFT), are crucial for maintaining the integrity of
    Singapore’s financial system. I propose the following enhancements:

    Risk-Based
    Approach
    : Implement a tiered KYC/AML approach based on transaction volumes and
    risk profiles.

    Technology
    Integration
    : Encourage the use of AI and machine learning for transaction
    monitoring and suspicious activity detection.

    Regulatory
    Technology (RegTech) Sandbox
    : Establish a sandbox environment for DTSPs to test
    innovative compliance solutions.

    For existing customers onboarded prior to licensing, I
    suggest a phased approach:

    Phase 1
    (0–6 months)
    : Risk assessment of existing customer base

    Phase 2
    (6–12 months)
    : Enhanced due diligence for high-risk customers

    Phase 3
    (12–18 months)
    : Full compliance with new requirements for all customers

    Correspondent Account Services

    The proposed requirements for Correspondent Account
    Services and information sharing for law enforcement purposes are essential
    components of a comprehensive regulatory framework. Perhaps the following
    would help:

    Standardized
    Data Format
    : Develop a standardized data format for information sharing across
    the industry.

    Blockchain
    Analytics
    : Encourage the use of blockchain analytics tools to enhance
    transaction traceability.

    Secure
    Information Sharing Platform
    : Establish a secure, centralized platform for
    information sharing between DTSPs and law enforcement agencies.

    Blockchain analytics tools have been instrumental in
    recovering stolen or illicitly obtained digital assets worldwide. They allow law
    enforcement agencies to trace and identify suspicious cryptocurrency
    transactions on the blockchain
    Blockchain

    Blockchain comprises a digital network of blocks with a comprehensive ledger of transactions made in a cryptocurrency such as Bitcoin or other altcoins.One of the signature features of blockchain is that it is maintained across more than one computer. The ledger can be public or private (permissioned). In this sense, blockchain is immune to the manipulation of data, making it not only open but verifiable. Because a blockchain is stored across a network of computers, it is very difficult to tamp

    Blockchain comprises a digital network of blocks with a comprehensive ledger of transactions made in a cryptocurrency such as Bitcoin or other altcoins.One of the signature features of blockchain is that it is maintained across more than one computer. The ledger can be public or private (permissioned). In this sense, blockchain is immune to the manipulation of data, making it not only open but verifiable. Because a blockchain is stored across a network of computers, it is very difficult to tamp
    Read this Term
    , leading to asset recovery efforts.

    Technology Risk Management

    The draft notices FSM-N28 to FSM-N33 cover critical
    aspects of DTSP operations, including technology risk management, cyber
    hygiene, and conduct. Based on my observations, I propose the following:

    Continuous
    Monitoring
    : Implement real-time monitoring systems for cyber threats and
    operational risks.

    Incident
    Response Drills
    : Mandate regular incident response drills and simulations.

    Third-Party
    Risk Management
    : Establish clear guidelines for managing risks associated with
    third-party service providers.

    Consumer
    Education
    : Require DTSPs to allocate resources for ongoing consumer education
    initiatives.

    Bitcoin Heist Hits Japanese Exchange DMM Bitcoin https://t.co/RPT9Vxhsnf pic.twitter.com/HCXDznWG2o

    — CySecurity News (@EHackerNews) June 6, 2024

    Regarding operating hours, perhaps MAS can consider a
    flexible approach that allows for 24/7 operations while ensuring adequate risk
    management and customer support. This could involve:

    Core
    operating hours (e.g., 9 AM to 5 PM SGT) with full support services

    Extended
    hours with automated systems and on-call support

    Scheduled
    maintenance windows during low-volume periods

    Timeline for Implementation:

    To ensure a smooth transition to the new regulatory
    framework, I propose the following timeline:

    Month
    0–3
    : Publication of final regulations and guidelines

    Month
    3–6
    : Industry consultation and feedback period

    Month
    6–9
    : Finalization of technical specifications and reporting formats

    Month
    9–12
    : DTSP preparation and system upgrades

    Month
    12–18
    : Phased implementation of new requirements

    Month
    18–24
    : Full compliance deadline for all DTSPs

    This timeline allows for a gradual implementation,
    giving DTSPs sufficient time to adapt their systems and processes while
    ensuring that the regulatory framework is fully operational within two years.

    With careful implementation and continuous refinement,
    this regulatory framework has the potential to cement Singapore’s position as a
    global leader in digital asset regulation, attracting innovative businesses
    while safeguarding the interests of consumers and the broader financial system.

    Singapore has consistently positioned itself as a
    forward-thinking jurisdiction, balancing innovation with robust regulatory
    oversight. As a fellow Singaporean, I am very proud of its future planning.

    The Monetary Authority of Singapore (MAS) is seeking submissions for the Consultation Paper on the proposed regulatory approach for
    Digital Token Service Providers (DTSPs) under the Financial Services and
    Markets Act 2022.

    Instead of replying to the submission directly, I will
    try to share my point of view openly here, offering insights, potential plans,
    and timelines for implementation. Before I start, I am sharing this in my
    personal capacity: I do not represent any self-claimed digital assets expert
    groups, associations, or schools.

    License Application and Fee
    Structures

    In the first half of 2024, Singapore’s fintech market
    saw its cryptocurrency and blockchain sectors achieve US$211.90 million across
    72 deals, marking a 22% increase from US$166.30 million over 38 deals in
    the second half of 2023.

    Singapore has been actively working on strengthening
    risk management frameworks for digital asset tokenization and has recently
    launched an initiative to expand asset tokenization within financial services.

    MAS today published business conduct and consumer access measures for Digital Payment Token services in Singapore to limit potential consumer harm. They will be implemented through regulations and guidelines, which will take effect in phases from mid-2024. https://t.co/laevvAlW0a pic.twitter.com/kxBLRQG0az

    — MAS (@MAS_sg) November 23, 2023

    The proposed license application processes and fee
    structures are crucial elements that will shape the DTSP landscape in
    Singapore. From my perspective, MAS should consider implementing a tiered
    approach to both timelines and fees, reflecting the diversity of DTSPs in terms
    of size, complexity, and risk profile.

    For timelines, I propose a three-tier system:

    Fast-track
    (60 days)
    : For small, low-risk DTSPs with straightforward business models.

    Standard
    (90 days)
    : For medium-sized DTSPs or those with moderately complex operations.

    Extended
    (120+ days)
    : For large, complex DTSPs or those proposing novel business models.

    This tiered approach would allow MAS to allocate
    resources efficiently while ensuring thorough vetting of more complex
    applications. The fee structures can follow a similar tiered system based on
    the DTSP’s annual revenue or transaction volume could be implemented.

    Singapore expands regulations for digital payment token service providers https://t.co/xbJBsBSjHz

    — The Register (@TheRegister) April 3, 2024

    Minimum Financial Requirements

    The proposed minimum financial requirements are a
    critical safeguard against potential market disruptions and consumer losses.
    Based on my analysis, I believe a risk-based approach to setting these
    requirements is more feasible. This could involve:

    Base
    Capital Requirement
    : A minimum base capital for all DTSPs, regardless of size
    or services offered.

    Risk-Weighted
    Capital Requirement
    : Additional capital requirements based on the DTSP’s types of services offered, transaction volumes, and risk profile.

    Liquidity
    Requirement
    : A minimum liquidity ratio to ensure DTSPs can meet short-term
    obligations.

    📣 #ESMA is seeking input on Liquidity Management Tools for funds under the revised AIFMD and the #UCITS Directive.

    🗓️ Send your input by 8 Octoberhttps://t.co/LxNEEX7i2O pic.twitter.com/6G2K4CVVim

    — ESMA – EU Securities Markets Regulator 🇪🇺 (@ESMAComms) July 8, 2024

    Specifically, providers with capital
    ratios above 15% were 30% less likely to face operational disruptions during
    periods of extreme market stress. I propose that MAS consider setting the base
    capital requirement at SGD 250,000, with additional risk-weighted requirements
    that could increase this amount up to SGD 5 million for the largest and most
    complex DTSPs.

    Audit
    Requirements

    The proposed duties of CEOs, directors, and partners,
    along with audit requirements, are fundamental to ensuring good governance and
    accountability in the DTSP sector. The following enhancement is recommended for
    consideration:

    Mandatory
    Training
    : Annual training programs for CEOs and directors on regulatory
    compliance, risk management, and emerging trends in digital assets.

    Risk
    Committee
    : DTSPs above a certain size must establish a dedicated
    risk committee at the board level.

    Independent
    Directors
    : Mandating a minimum number of independent directors based on the
    DTSP’s size and complexity.

    Audit
    Frequency
    : Annual external audits for all DTSPs, with additional quarterly
    internal audits for larger providers.

    Financial markets are shifting towards asset tokenization, revolutionizing asset management and investment.#Chainlink emphasizes interoperability and data integration, echoing #TokenFi‘s vision of a future where tokenized assets reshape finance.

    📰👇https://t.co/87Qp3ufa3X pic.twitter.com/BGSfD8E2ss

    — TokenFi (@tokenfi) April 26, 2024

    Regulators are increasingly leveraging technological solutions to
    enhance their supervisory functions and manage vast amounts of data.
    Consequently, firms must engage more frequently with regulators regarding
    fintech and regtech developments.

    Fintech companies that implement robust governance
    structures and conduct regular audits are indeed less likely to experience
    compliance breaches.

    AML/CFT Measures

    The measures proposed in parts 5–8 of the consultation
    paper, particularly those related to Anti-Money Laundering (AML) and Countering
    the Financing of Terrorism (CFT), are crucial for maintaining the integrity of
    Singapore’s financial system. I propose the following enhancements:

    Risk-Based
    Approach
    : Implement a tiered KYC/AML approach based on transaction volumes and
    risk profiles.

    Technology
    Integration
    : Encourage the use of AI and machine learning for transaction
    monitoring and suspicious activity detection.

    Regulatory
    Technology (RegTech) Sandbox
    : Establish a sandbox environment for DTSPs to test
    innovative compliance solutions.

    For existing customers onboarded prior to licensing, I
    suggest a phased approach:

    Phase 1
    (0–6 months)
    : Risk assessment of existing customer base

    Phase 2
    (6–12 months)
    : Enhanced due diligence for high-risk customers

    Phase 3
    (12–18 months)
    : Full compliance with new requirements for all customers

    Correspondent Account Services

    The proposed requirements for Correspondent Account
    Services and information sharing for law enforcement purposes are essential
    components of a comprehensive regulatory framework. Perhaps the following
    would help:

    Standardized
    Data Format
    : Develop a standardized data format for information sharing across
    the industry.

    Blockchain
    Analytics
    : Encourage the use of blockchain analytics tools to enhance
    transaction traceability.

    Secure
    Information Sharing Platform
    : Establish a secure, centralized platform for
    information sharing between DTSPs and law enforcement agencies.

    Blockchain analytics tools have been instrumental in
    recovering stolen or illicitly obtained digital assets worldwide. They allow law
    enforcement agencies to trace and identify suspicious cryptocurrency
    transactions on the blockchain
    Blockchain

    Blockchain comprises a digital network of blocks with a comprehensive ledger of transactions made in a cryptocurrency such as Bitcoin or other altcoins.One of the signature features of blockchain is that it is maintained across more than one computer. The ledger can be public or private (permissioned). In this sense, blockchain is immune to the manipulation of data, making it not only open but verifiable. Because a blockchain is stored across a network of computers, it is very difficult to tamp

    Blockchain comprises a digital network of blocks with a comprehensive ledger of transactions made in a cryptocurrency such as Bitcoin or other altcoins.One of the signature features of blockchain is that it is maintained across more than one computer. The ledger can be public or private (permissioned). In this sense, blockchain is immune to the manipulation of data, making it not only open but verifiable. Because a blockchain is stored across a network of computers, it is very difficult to tamp
    Read this Term
    , leading to asset recovery efforts.

    Technology Risk Management

    The draft notices FSM-N28 to FSM-N33 cover critical
    aspects of DTSP operations, including technology risk management, cyber
    hygiene, and conduct. Based on my observations, I propose the following:

    Continuous
    Monitoring
    : Implement real-time monitoring systems for cyber threats and
    operational risks.

    Incident
    Response Drills
    : Mandate regular incident response drills and simulations.

    Third-Party
    Risk Management
    : Establish clear guidelines for managing risks associated with
    third-party service providers.

    Consumer
    Education
    : Require DTSPs to allocate resources for ongoing consumer education
    initiatives.

    Bitcoin Heist Hits Japanese Exchange DMM Bitcoin https://t.co/RPT9Vxhsnf pic.twitter.com/HCXDznWG2o

    — CySecurity News (@EHackerNews) June 6, 2024

    Regarding operating hours, perhaps MAS can consider a
    flexible approach that allows for 24/7 operations while ensuring adequate risk
    management and customer support. This could involve:

    Core
    operating hours (e.g., 9 AM to 5 PM SGT) with full support services

    Extended
    hours with automated systems and on-call support

    Scheduled
    maintenance windows during low-volume periods

    Timeline for Implementation:

    To ensure a smooth transition to the new regulatory
    framework, I propose the following timeline:

    Month
    0–3
    : Publication of final regulations and guidelines

    Month
    3–6
    : Industry consultation and feedback period

    Month
    6–9
    : Finalization of technical specifications and reporting formats

    Month
    9–12
    : DTSP preparation and system upgrades

    Month
    12–18
    : Phased implementation of new requirements

    Month
    18–24
    : Full compliance deadline for all DTSPs

    This timeline allows for a gradual implementation,
    giving DTSPs sufficient time to adapt their systems and processes while
    ensuring that the regulatory framework is fully operational within two years.

    With careful implementation and continuous refinement,
    this regulatory framework has the potential to cement Singapore’s position as a
    global leader in digital asset regulation, attracting innovative businesses
    while safeguarding the interests of consumers and the broader financial system.



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