Moreover, negative interest rate policy is incompatible with the
unconstrained supply of zero-remunerated central bank digital currency.
This column argues that a two-tier remuneration system for the currency
would be an efficient solution to these issues. It would allow
households to access the digital currency as a means of payment with
non-negative remuneration and would also make it possible to overcome
the perceived dichotomy between ‘retail’ and ‘wholesale’ central bank
digital currencies.
The possible introduction of central bank digital
currencies (CBDCs) has developed into one of the most debated topics
amongst central bankers, monetary policy researchers, and members of the
payments industry. While so far, the general public and non-bank firms
have only been able to access central bank money in the form of
banknotes, CBDC is electronic central bank money that is available to
all. Changing payment habits of consumers and the rapid progress in
payments technology may induce central banks to offer digital means of
payments to allow citizens to combine the convenience of modern
electronic payments with the advantages of central bank money. The ECB
has just published a report on a digital euro (ECB 2020).
In this column, we discuss issues relating to the remuneration of
CBDC, in particular in a negative interest rate environment such as that
prevailing in the euro area, as well as in countries including Japan
and Switzerland.
It is often assumed that CBDC would be designed to have cash-like
properties, including zero remuneration. Central bankers and holders of
central bank money got used to banknotes representing a risk-free,
short-term financial asset with a zero nominal yield, regardless of the
level of nominal interest rates. While some consider this feature of
banknotes to be an anomaly that could be solved with CBDC (and the
discontinuation of banknotes), others argue instead that it is important
to preserve this cash-like feature when issuing CBDC. This debate
neglects the fact that zero remuneration of CBDC would have different
implications depending on the interest rate environment (i.e. depending
on whether short-term nominal rates are at 10%, 3%, 0%, or -0.5%).
We propose the adoption of a two-tier remuneration approach to CBDC
in order to relieve the tension between two fundamental objectives; (i)
to offer CBDC to citizens (in quantities sufficient for it to be used as
means of payment) at interest rates that are never lower than those on
banknotes (i.e. never below zero); and (ii) to protect financial
stability and the effectiveness of monetary policy. The two-tier
approach would also allow central banks to offer CBDC in an elastic and
unconstrained way to other holders, such as corporates or foreigners. In
doing so, it would also make it possible to overcome the perceived
dichotomy between ‘retail’ and ‘wholesale’ CBDC.
Structural bank disintermediation through CBDC
CBDC has both found support as well as raised strong concerns with
regard to its impact on the structure and scale of bank intermediation.
Advocates of sovereign money see bank disintermediation as the specific
goal of CBDC. Others have raised concerns about the prospect of CBDC
inflating the central bank balance sheet at the expense of the deposit
funding of banks. Carstens (2019) and CMPI-MC (2018) emphasise such
concerns. CBDC replacing banknotes appears uncontroversial, as this
would merely imply the transformation of one form of central bank money
into another with no effect on the rest of the financial system. By
contrast, CBDC replacing bank deposits would reduce the availability of a
cheap and relatively stable source of funding for banks. Moreover, it
would require an increase in the dependence of banks either on central
bank credit or on bank bond issuance, in the latter case combined with
an increase of the central bank’s outright holdings of securities (or
both). A larger recourse to central bank credit could lead to collateral
scarcity issues and make the availability of central bank collateral a
crucial issue, to the point that an effective centralisation of the
credit provision process could occur. Banks could react to the reduced
demand for deposits by increasing their recourse to capital markets, but
this would be costly and might exacerbate vulnerabilities.
Bank runs and CBDC
While runs from deposits into banknotes are limited by the risks and
costs of storing large amounts of banknotes at home or at other places,
there would be no such limitations if households and institutional
investors were able to hold unlimited amounts of CBDC (a riskless asset
with no storage costs). A crisis-related run from bank deposits into
low-risk financial assets (such as gold-related assets and highly rated
government debt) can already happen in ‘electronic’ form and therefore
does not pose the same security issues (except for physical gold).
However, this type of run (i) is dis-incentivised through the price
mechanism (as the safe assets will become very expensive in a crisis);
and (ii) on aggregate, does not reduce deposits with banks as such; for
the investor it, would reduce exposure to default risk, but increase
market and liquidity risk. Therefore, it is plausible that CBDC could
make bank runs worse, as it would neither create physical security
issues nor be subject to scarcity-related price disincentives if it were
to be supplied in unlimited quantities and without other control tools,
like banknotes.
Negative interest rate policy and CBDC
A number of central banks have implemented a negative interest rate
policy (NIRP), notably in the euro area, Denmark, Sweden, Japan, and
Switzerland. Moreover, long-term nominal interest rates suggest that
markets believe that NIRP could re-emerge in the future, including
possibly in monetary areas where it is not currently applied. Issuing
zero-remunerated CBDC without limits on access or quantities would,
however, imply the end of NIRP. It would also imply that NIRP would no
longer be possible in the future, because issuance would likely lift
long-term nominal yields – even those in positive territory – as NIRP
scenarios would no longer be factored into expectations. Indeed, if the
least risky assets in the economy – i.e. a liquid central bank liability
in domestic currency, such as a CBDC – offer a return of zero, no other
financial instrument can yield a negative rate, as its holders would
then substitute it with CBDC. Therefore, effective access and/or
quantitative constraints on CBDC holdings would be necessary to preserve
the ability to conduct NIRP following a future issuance of a
zero-remunerated CBDC.
However, these constraints would reduce the scale and scope of use of
CBDC and, consequently, its effectiveness and usefulness as a means of
payment. Moreover, they would raise a number of technical issues – for
example, a ceiling on individual holdings of CBDC could limit the number
or size of payments, as the recipients’ holdings of CBDC would have to
be known in order to complete the payment.
A two-tier remuneration system for CBDC
Some have noted that the potential structural and cyclical bank
disintermediation caused by CBDC could be addressed by applying
unattractive and/or negative interest rates on such currencies. However,
they are sceptical that the tool of negative interest rates will always
be effective enough in times of crisis, also because of political
acceptance problems. What’s more, central banks will prefer to promise
citizens that CBDC will be at least as attractive as banknotes in all
relevant areas, meaning that a household’s holdings of CBDC that are
equal in size to normal holdings of banknotes would not be subject to
negative remuneration, even during a crisis.
In this section, we propose a solution based on tiered remuneration
of CBDC. This would solve the potential problems set out above while
still granting non-negative CBDC remuneration to citizens. Panetta
(2018) was first to hint at the idea of a tiering system for CBDC to
address the bank run problem, while Bindseil (2020) has carried out
in-depth analysis on the application of a tiered CBDC remuneration
system.
Central banks are already applying reserve tiering systems to the
remuneration of deposits for the specific purpose of controlling the
total amount of deposits. Under such a system, a relatively attractive
(or non-penalising) remuneration is applied up to a quantitative
ceiling, while a lower interest rate is applied to larger amounts. The
Eurosystem applies this type of tiering system for deposit accounts of
public sector institutions, such as domestic governments and foreign
central banks or sovereign wealth funds. For example, Article 4 of the
Eurosystem’s DALM guidelines1 specifies that a two-tier
remuneration system applies to government deposits. Similarly,
Eurosystem reserve management services, which grant deposits to foreign
central banks and public sector funds, foresee a more attractive rate up
to a certain limit and a less attractive one above this limit.
Applying tiered remuneration to CBDC would have a number of key
advantages. First, it would allow the retail payment function of money
to be assigned to CBDC holdings below the threshold (tier one CBDC),
while the store of value function would be assigned to tier two CBDC,
which would essentially be dis-incentivised through a less attractive
remuneration rate. Indeed, central bank money should not become a
large-scale store of value (i.e. a major form of investment), as in that
case the central bank would effectively become an intermediary for
private savings (a development that would have no particular
justification). Second, it would make CBDC attractive to all households,
as reliance on tier one CBDC would never need to be disincentivised by
negative remuneration. Third, it would help prevent excessive structural
and cyclical bank disintermediation. Finally, it would preserve the
ability to apply NIRP, as tier two remuneration could always be applied
in such a way that it does not undermine the monetary policy stance.
The central bank can make a commitment regarding the quantity of tier
one CBDC. For example, it could promise to always provide a per capita
tier one amount of €3,000, implying an amount of total tier one CBDC for
households of around €1 trillion (assuming an eligible euro area
population of 340 million). Recall that the amount of banknotes in
circulation in the euro area is slightly above €3,000 per capita
(currently totalling around €1.2 trillion), securities holdings of the
Eurosystem (including investment and policy portfolios) are currently
above €3 trillion, and the banking system has excess reserves above €2
trillion. A per capita amount of €3,000 for tier one CBDC could be
interpreted as covering the average monthly net income of euro area
households, such that the normal payment function of money would be
covered.
For corporates (financial non-banks and non-financials) the tier one
allowance could be set to zero, or it might be calculated to be
proportional to a measure of their size and, thus, presumed payment
needs. Foreigners could be allowed to hold CBDC, but should not have any
tier one allowance.
To solve the problems described above, the tier one remuneration rate, r1, should never fall below zero, while the tier two remuneration rate, r2,
should be set such that tier two deposits are rather unattractive as a
store of value (i.e. less attractive than bank deposits or other
short-term financial assets, even when taking into account risk premia).
The two rates could co-move in parallel with policy interest rates,
with an additional special provision when zero lower bound territory is
approached. The rates on CBDC would not be regarded as policy rates.
Moving the rates would simply serve to keep a similar spread over time
to other central bank rates and thus, in principle, to other market
rates. Initially the ECB could, for example, consider the following
remuneration for a tier one CBDC: r1 = max(0, iDFR-2%), where iDFR is the remuneration of overnight deposits held by banks at the ECB. For a tier two CBDC, the remuneration formula could be: r2 = min(0, iDFR – 0.5%). Therefore, currently in the euro area r1 = 0 and r2
= -1%. The central bank would explicitly reserve its right to worsen
the tier two remuneration rate in a financial crisis, while it would
commit to never worsening the formula for tier one remuneration,
especially as regards the zero lower bound.
Conclusions
Tiered remuneration would simultaneously achieve four key objectives related to CBDC:
1. Offering CBDC as a means of payment to households at conditions at
least as attractive as banknotes, including non-negative remuneration,
for an amount that generously covers the payment needs of the average
household.
2. Offering CBDC in a quantitatively unconstrained manner to any
holder, not just citizens – i.e. to corporates, foreigners and
institutional investors, among others – in such a way as to ensure that
CBDC can achieve maximum scale, scope and effectiveness as a means of
payment, including internationally, and serve as both a retail and a
wholesale currency.
3. Controlling the risks of structural or cyclical bank
disintermediation through CBDC, in particular in a low interest rate
environment or in crisis periods.
4. Preserving the ability to conduct NIRP and thereby preserving the
current accommodative monetary policy stance prevailing in a number of
advanced economies.
The solution relies on a tiered remuneration of CBDC, in line with a
long-tested central bank practice. Tiered remuneration is probably not
needed when nominal short-term risk-free interest rates are far above
zero, as they were in G7 countries in the early 1980s, for example. In
such circumstances, zero remuneration of CBDC would be sufficient to
deter the extensive use of CBDC as a store of value (i.e. as a
large-scale investment), probably even in most financial crisis
situations. For economies with moderately positive nominal interest
rates, the technical ability to introduce tiered remuneration may also
be desirable, in particular to address the risk of crisis-related bank
disintermediation.
Offering zero-remunerated CBDC to households can achieve objectives 1
and 2 but not objectives 3 and 4, or, if there are quantity and access
constraints, objectives 1, 3 and 4, but not objective 2. Offering CBDC
with a single remuneration rate can achieve objectives 2, 3, and 4, if
it sacrifices objective 1. Tiering appears to be the only solution to
achieve all four objectives.
Authors’ note: The opinions expressed in this column are our own
and not necessarily those of the ECB. We would like to thank Katrin
Assenmacher, Andrej Bachmann, Elizabeth Hulmes, and Andrea Pinna for
their helpful comments.
References
Bindseil, U (2020), “Tiered CBDC and the financial system”, Working Paper Series, No 2351, ECB, Frankfurt am Main, January.
Carstens, A (2019), “The future of money and payments”, Speech at the
Central Bank of Ireland, 2019 Whitaker Lecture, Dublin, 22 March.
Committee on Payments and Market Infrastructures and Markets
Committee – CPMI-MC (2018), Central bank digital currencies, BIS, Basel,
March.
ECB (2020), Report on a digital euro, 2 October.
Panetta, F (2018), “21st century cash: central banking, technological
innovation and digital currency”, in Gnan, E. and Masciandaro, D.
(eds.), Do We Need Central Bank Digital Currency? Economics, Technology and Institutions, SUERF Conference Proceedings 2018/2, pp. 23-32.
Endnotes
1 Guideline, EU, 2019/671 of the European Central Bank of 9 April
2019 on domestic asset and liability management operations by the
national central banks, recast, ECB/2019/7.