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Is your bank contemplating a new project to obtain strategic IT capabilities? Don’t know where to start? Weighing the pros and cons of IT outsourcing can be stressful.
Use this interactive quiz to evaluate your bank’s unique circumstances, the risks and regulatory requirements, and balance these considerations against the advantages of outsourcing your key IT capabilities.
Additional information is available in the IT Outsourcing white paper.
A community bank’s core processor should be a strategic partner that supports the bank’s long-term business objectives.
The ICBA Core Processor Resource Guide will help community banks with some of the more important aspects of managing this relationship to maximize the return on their technology investments.
Is your bank contemplating a new project to obtain strategic IT capabilities? Don’t know where to start? Visit our technology advocacy page for useful resources and documents.
Learn how to better optimize your core processor relationship with this member-exclusive webinar recorded April 14, 2021.
Title | Recipient | Date |
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ICBA Letter on AI Action Plan | 03/12/25 | |
Letter in Response to Agencies’ RFI on Bank-Fintech Relationships | OCC | 10/30/24 |
ICBA sends comments to the Treasury on AI | Treasury Department | 08/12/24 |
ICBA signs joint letter to regulatory agencies requesting extension of commenting period on bank-fintech arrangements | FDIC, OCC, Federal Reserve | 08/09/24 |
Comment Intake—LP Payment Apps Rulemaking | Consumer Protection Financial Bureau | 01/09/24 |
ICBA comment on OMB proposed AI memo | Office of Management and Budget | 12/05/23 |
Joint Letter on Aggregation Services Market | CFPB | 08/02/22 |
Comments on Fed Accounts Supplemental Proposal | Federal Reserve Board | 04/22/22 |
Joint Letter Supporting the Close the ILC Loophole Act | House Financial Services Committee | 04/05/22 |
Support for Senate CBDC, FedAccount Bill | Sens. Cruz, Braun, Grassley | 04/04/22 |
May 08, 2025
Washington, D.C. (May 8, 2025) — Independent Community Bankers of America (ICBA) President and CEO Rebeca Romero Rainey issued the following statement ahead of a scheduled Senate vote on the GENIUS Act, which would establish a federal regulatory framework for stablecoins.
“On behalf of the nation’s community bankers, ICBA urges the Senate to ensure the GENIUS Act provides regulatory clarity while including necessary guardrails to protect against the negative economic consequences that would result from community bank disintermediation. ICBA reiterates our concerns outlined for the Congress since the beginning of this debate. With community banks using deposits to make 60% of the nation’s small-business loans and 80% of banking industry agricultural lending, mitigating the risk of retail deposits migrating out of community banks — which have proven commitments to their communities and local credit creation — is critical. With a vote on the GENIUS Act scheduled for today, we strongly urge the Senate to ensure these concerns are addressed.
“ICBA understands the importance of having a clear regulatory framework for stablecoins given the significant implications this sector can have on consumers and our payments system. Congress should strengthen the prohibition on yield-bearing stablecoins to ensure the intent of the legislation cannot be evaded. Without these limits, Congress would incentivize the migration of retail deposits to stablecoins — which don’t offer the same consumer protections — inhibiting community bank lending, increasing borrowing costs, and impairing credit availability.
“The activities of stablecoin issuers must also be limited to avoid an open-ended grant of authority that could allow issuers to further expand into bank activities, putting consumers and the safety and soundness of our financial system at risk.
“Further, it is critical that lawmakers ensure nonbank issuers are not permitted to obtain Federal Reserve Master Accounts or maintain reserves in an account at the Federal Reserve, which would effectively create a pass-through central bank digital currency — increasing disintermediation risk, jeopardizing the integrity of the U.S. payments system, and restricting access to credit in local communities.
“Lastly, maintaining the separation of commerce and banking is critical to our financial system. Legislation should not allow big tech or other non-financial firms to leverage stablecoins and dominate the payments system.
“We appreciate the strong support the Senate has shown for community banking and the engagement we have had with the Senate throughout this debate to address these and other key issues. We look forward to continuing to work with lawmakers as this debate continues to ensure community banks can continue meeting the financial services needs of local communities nationwide.”
About ICBA
The Independent Community Bankers of America® has one mission: to create and promote an environment where community banks flourish. We power the potential of the nation’s community banks through effective advocacy, education, and innovation.
As local and trusted sources of credit, America’s community banks leverage their relationship-based business model and innovative offerings to channel deposits into the neighborhoods they serve, creating jobs, fostering economic prosperity, and fueling their customers’ financial goals and dreams. For more information, visit ICBA’s website at icba.org.
Title | Date |
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ICBA Summary of CFPB Proposals on No-Action Letters and Product Sandboxes | 01/15/19 |
11/18/16 |
Title | Committee | Presenter | Date |
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Enhanced Regulation of Digital Assets Will Promote Responsible Innovation | Senate Banking Hearing | 02/15/22 | |
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 True Lender Hearing | Committee on Banking, Housing and Urban Affairs | ICBA | 04/28/21 |
ICBA Statement for HFSC Fintech Hearing 9-29-2020 | HSFC | 09/29/20 | |
Hearing: Examining the Fintech Landscape | Senate Banking, Housing, and Urban Affairs Committee | Written Statement | 09/12/17 |