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Title | Recipient | Date |
---|---|---|
Joint Trades Opposition Letter to Credit Card Rate Cap Amendment | 05/21/25 | |
Joint Trades Letter to Congress on Credit Card Competition Act Amendment | 05/21/25 | |
ICBA Letter to Senate Ahead of GENIUS Act Stablecoin Vote | U.S. Senate | 05/16/25 |
ICBA Letter on April 2 House Financial Services Committee Markup | House Financial Services Committee | 04/01/25 |
Statement for the Record of Digital Assets Hearing | 02/26/25 | |
Statement for Digital Assets Hearing | 02/11/25 | |
Joint Trades Opposition Letter to 10 Percent Credit Card Interest Rate Cap Act | 02/05/25 | |
Joint Letter Supporting Senate Secure Payments Act of 2024 | Sen. Ted Budd | 06/19/24 |
ICBA Letter Supporting HR 5403 | U.S. House of Representatives | 05/21/24 |
Joint Trades Letter Opposing Credit Card Price Control Bill | Sen. Josh Hawley | 09/20/23 |
Title | Recipient | Date |
---|---|---|
Letter to Nacha on ACH Proposals | 12/16/24 | |
Letter urging CFPB to clarify Regulation Z interpretive rule on Buy Now, Pay Later Loans | Consumer Financial Protection Bureau | 08/01/24 |
Request for 90-Day Comment Extension on Expanding Fedwire | 06/11/24 | |
ICBA Comments on Reg II Debit Card Interchange Proposal | Federal Reserve | 05/11/24 |
Comments on Basel Cryptoasset Standard Amendments | Basel Committee on Banking Supervision | 03/28/24 |
Freedom of Information Act Request on CBDC Authority | Federal Reserve, Justice Department, Treasury Department | 03/22/24 |
Joint Trade Statement on ISO 20022 Standards | BIS Committee on Payments and Market Infrastructures | 02/28/24 |
Disclosure of Cryptoasset Exposures | Letter to Regulators | 01/30/24 |
ICBA Comment Letter for FinCEN Cryptocurrency Mixer Proposal | FinCEN | 01/23/24 |
Joint Extension Request on Fed Debit Card Interchange Price Cap | Federal Reserve | 11/27/23 |
Title | Committee | Presenter | Date |
---|---|---|---|
ICBA Statement for STABLE Act Markup | House Financial Services Committee | Written Statement | 04/01/25 |
Community Bank Statement for GENIUS Act Markup | Senate Banking Committee | Written Statement | 03/12/25 |
Statement for House Hearing on Central Bank Digital Currency Risks | House Subcommittee on Digital Assets, Financial Technology and Inclusion | Written Statement | 09/13/23 |
Effective Regulation of Crypto Assets | Senate Banking Committee | Written Statement | 02/13/23 |
Statement for Senate Crypto Hearing | Senate Banking Committee | Written Statement | 07/28/22 |
Hearing Statement on Central Bank Digital Currency | House Financial Services Committee | Written statement | 05/25/22 |
Enhanced Regulation of Digital Assets Will Promote Responsible Innovation | Senate Banking Hearing | 02/15/22 | |
Statement for House Hearing on Stablecoins | House Financial Services Committee | Written statement | 02/08/22 |
Statement for Senate Stablecoin Hearing | Senate Banking Committee | Written Statement | 12/14/21 |
Statement for House Hearing on Digital Assets | House Financial Services Committee | Written statement | 12/07/21 |
ICBA Statement for HFSC Fintech Hearing 9-29-2020 | HSFC | 09/29/20 |
Sep. 20, 2023
Washington, D.C. (Sept. 20, 2023) — The Independent Community Bankers of America (ICBA) today commended the House Financial Services Committee for passing ICBA-advocated legislation to restrict the ability of the federal government to introduce a U.S. central bank digital currency.
“ICBA and the nation’s community banks strongly oppose the creation of a U.S. central bank digital currency, which would disintermediate community banks, reduce credit availability, and undermine consumer privacy,” ICBA President and CEO Rebeca Romero Rainey said. “By barring the Federal Reserve from issuing a U.S. CBDC to consumers, the CBDC Anti-Surveillance State Act would avoid the unnecessary risks to consumers and small businesses that a U.S. CBDC would pose. We encourage Congress to continue advancing this important legislation.”
The CBDC Anti-Surveillance State Act (H.R. 5403) — introduced by House Majority Whip Tom Emmer (R-Minn.) — would prohibit the Federal Reserve Banks from offering products or services directly to individuals, maintaining individual accounts, or issuing a CBDC to individuals. The legislation also would bar the Federal Reserve and Treasury Department from issuing a CBDC without congressional authorization.
As ICBA has said in a recent written statement to Congress, in letters to the Fed and White House, and in an American Banker op-ed earlier this year, a U.S. CBDC would harm community banks’ access to deposits and ability to lend funds to support economic growth. A U.S. CBDC would also threaten the health of the U.S. financial system by altering the roles and responsibilities of the private sector and the central bank; by destabilizing existing banking and payments systems; and by eroding the Fed’s ability to conduct monetary policy. Further, the policy goals that have been articulated in support of a CBDC would best be addressed through readily available alternatives, such as FedNow.
ICBA will continue to strongly oppose the creation of a U.S. CBDC and to support passage of the CBDC Anti-Surveillance State Act.
About ICBA
The Independent Community Bankers of America® creates and promotes an environment where community banks flourish. ICBA is dedicated exclusively to representing the interests of the community banking industry and its membership through effective advocacy, best-in-class education, and high-quality products and services.
With nearly 50,000 locations nationwide, community banks constitute roughly 99 percent of all banks, employ nearly 700,000 Americans and are the only physical banking presence in one in three U.S. counties. Holding nearly $5.9 trillion in assets, over $4.9 trillion in deposits, and more than $3.5 trillion in loans to consumers, small businesses and the agricultural community, community banks channel local deposits into the Main Streets and neighborhoods they serve, spurring job creation, fostering innovation and fueling their customers’ dreams in communities throughout America. For more information, visit ICBA’s website at www.icba.org.
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