Request for Information on Financial Inclusion, 88702-88705 [2023-28263]
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88702
Federal Register / Vol. 88, No. 245 / Friday, December 22, 2023 / Notices
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Federal Actions to Address
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program.)
Authority: 23 U.S.C. 139(l)(1).
Issued on: December 18, 2023.
Karen M. Brunelle,
Director, Office of Project Development,
Federal Highway Administration,
Tallahassee, Florida.
[FR Doc. 2023–28234 Filed 12–21–23; 8:45 am]
Discussion
BILLING CODE 4910–RY–P
DEPARTMENT OF TRANSPORTATION
Federal Railroad Administration
[Docket No. FRA–2001–11213, Notice No.
28]
Drug and Alcohol Testing:
Determination of Minimum Random
Testing Rates for 2024
Federal Railroad
Administration (FRA), Department of
Transportation (DOT).
ACTION: Notification of determination.
ddrumheller on DSK120RN23PROD with NOTICES1
AGENCY:
This notification of
determination announces FRA’s
minimum annual random drug and
minimum annual random alcohol
testing rates for covered service,
maintenance-of-way (MOW), and
mechanical (MECH) employees for
calendar year 2024.
SUMMARY:
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This determination takes effect
December 22, 2023.
FOR FURTHER INFORMATION CONTACT:
Gerald Powers, FRA Drug and Alcohol
Program Manager, by email:
gerald.powers@dot.gov or by telephone:
202–493–6313; or Melissa Van Dermeir,
FRA Drug and Alcohol Program
Specialist, by email:
melissa.vandermeir@dot.gov or by
telephone: 312–720–9491.
SUPPLEMENTARY INFORMATION: Each year,
FRA sets its minimum annual random
testing rates after considering the last
two complete calendar years of railroad
industry drug and alcohol program data
submitted to DOT’s Management
Information System (MIS) for DOT drug
and alcohol testing results. FRA,
however, reserves the right to consider
factors in addition to MIS-reported data
before deciding whether to lower annual
minimum random testing rates. See 85
FR 81265 (Dec. 15, 2020).
To summarize, FRA is announcing
that its minimum annual random drug
and alcohol testing rates for the period
between January 1, 2024, through
December 31, 3024 (Calendar Year 2024)
will continue to be as follows:
Covered service employees—25
percent for drugs and 10 percent for
alcohol.
MOW employees—25 percent for
drugs and 10 percent for alcohol.
MECH employees—50 percent for
drugs and 25 percent for alcohol.
These rates are minimums, and
railroads and railroad contractors may
conduct random testing at higher rates
than those required by this notification
of determination.
DATES:
Random Testing Rates for Covered
Service Employees
The rail industry’s random drug
testing positive rate for covered service
employees remained below 1.0 percent
for 2021 and 2022. The Administrator
has therefore determined the minimum
annual random drug testing rate for
covered service employees will remain
at 25 percent for Calendar Year 2024.
The industry-wide random alcohol
testing violation rate for covered service
employees remained below .5 percent
for 2021 and 2022. The Administrator
has therefore determined the minimum
random alcohol testing rate for covered
service employees will remain at 10
percent for Calendar Year 2024.
Random Testing Rates for MOW
Employees
The rail industry’s random drug
testing positive rate for MOW
employees remained below 1.0 percent
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for 2021 and 2022. The Administrator
has therefore determined the minimum
annual random drug testing rate for
MOW employees will remain at 25
percent for calendar year 2024. The
industry-wide random alcohol testing
violation rate for MOW employees
remained below 0.5 percent for 2021
and 2022. The Administrator has
therefore determined the minimum
random alcohol testing rate for MOW
employees will remain at 10 percent for
Calendar Year 2024.
Random Testing Rates for MECH
Employees
FRA does not have the two full years
of MIS data required to adjust the
random testing rates for MECH
employees, because those employees
became subject to FRA random drug and
alcohol testing in March 2022. See 87
FR 5719, February 2, 2022. The
Administrator has therefore determined
that the minimum random testing rates
for MECH employees will remain at 50
percent for drugs and 25 percent for
alcohol for Calendar Year 2024.
Issued in Washington, DC.
Amitabha Bose,
Administrator.
[FR Doc. 2023–28264 Filed 12–21–23; 8:45 am]
BILLING CODE 4910–06–P
DEPARTMENT OF THE TREASURY
[TREAS–DO–2023–0014]
Request for Information on Financial
Inclusion
Departmental Offices,
Department of the Treasury.
ACTION: Request for information (RFI).
AGENCY:
The Department of the
Treasury (Treasury) invites public input
to inform its development of a national
strategy for financial inclusion. This
request for information (RFI) offers the
opportunity for interested individuals
and organizations to identify
opportunities to advance financial
inclusion through policy, government
programs, financial products and
services, technology, and other tools
and infrastructure.
DATES: Written comments and
information are requested on or before
February 20, 2024.
ADDRESSES: Please submit comments
electronically through the Federal
eRulemaking Portal: https://
www.regulations.gov.
In general, all comments will be
available for inspection at
www.regulations.gov. Comments,
including attachments and other
SUMMARY:
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Federal Register / Vol. 88, No. 245 / Friday, December 22, 2023 / Notices
supporting materials, are part of the
public record. Do not submit any
information in your comments or
supporting materials that you consider
confidential or inappropriate for public
disclosure.
FOR FURTHER INFORMATION CONTACT:
Natalia Li, Director, Office of Consumer
Policy, 202–622–1388, natalia.li@
treasury.gov; Nora Esposito, Senior
Advisor, Office of Consumer Policy,
202–604–9307, nora.esposito@
treasury.gov.
SUPPLEMENTARY INFORMATION:
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I. Background
The Financial Services and General
Government Appropriations Act, 2023
(FSGG), enacted December 29, 2022,
directed Treasury to develop a national
strategy to improve financial inclusion.
Specifically, the FSGG tasked Treasury
with developing a strategy to broaden
access to financial services among
underserved communities and improve
the ability of such communities to use
and benefit from financial tools and
services. The FSGG stated that ‘‘the
strategy should establish national
objectives for financial inclusion, set
benchmarks for measuring progress, and
offer recommendations for how public
policy, government programs, financial
products and services, technology, and
other tools and infrastructure can
advance financial inclusion.’’ 1
Treasury intends for the strategy to
identify clear and actionable
opportunities for the public, private,
and nonprofit sectors to advance
financial inclusion. Treasury is
therefore seeking information and
recommendations from all interested
parties for the purpose of advancing
financial inclusion through policy,
government programs, financial
products and services, technology, and
other tools and market infrastructure.
Treasury is committed to including a
broad range of perspectives in efforts to
promote financial inclusion and is
particularly interested in the views and
needs of underserved communities.
II. Overview
Households rely on consumer
financial products and services, from
transaction accounts to mortgages, to
meet their financial needs and goals.
However, historic and ongoing
discrimination, exclusion, and disparate
treatment have resulted in significant
disparities in access to and use of
1 U.S.
Congress, Joint Explanatory Statement for
Financial Services and General Government
Appropriations Bill, 2023, 117th Congress, https://
www.congress.gov/117/cprt/HPRT50347/CPRT117HPRT50347.pdf.
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financial products and services across
different populations and communities,
including low-income and low-wealth
communities, Black, Indigenous, (and)
People of Color or BIPOC communities,
and women. Improving inclusion in the
financial system is a critical part of
fostering financial security, expanding
opportunities to build wealth, and
closing the racial wealth gap.
While definitions of ‘‘financial
inclusion’’ vary, conventional
interpretations of the term often center
around accessibility, indicating that
financial inclusion pertains to access to
core financial products and services like
bank accounts, credit, and digital
payments.2 Beyond access, the term can
also be used in ways that incorporate
considerations of the affordability,
utility, safety, sustainability, and
suitability of financial products and
services. Financial inclusion can
involve things other than specific
products or services, such as financial
information or education that helps
consumers learn how to access and use
financial products, or to avoid frauds,
scams, and other predatory financial
practices. The interpretation of the term
is also influenced by the unique
socioeconomic, cultural, and regulatory
context in which the term is used.
Financial inclusion is often associated
with other areas more broadly related to
the status of consumer finances,
including financial well-being and
financial health, among others.
The ability to access and use financial
products and services can confer
significant benefits to consumers. At the
household level, access to financial
products and services enhances
households’ ability to make payments,
save, and borrow, helping to facilitate
full participation in the economy and
the ability to both manage day-to-day
needs and navigate financial shocks or
emergencies. Certain financial products
and services also play a central role in
facilitating individual and household
financial security and wealth; for
example, financing for businesses or
educational opportunities can help
generate future financial benefit.
Financial inclusion can meaningfully
enhance consumers’ ability to transact
and save, as well as enable investments
that bolster income and wealth, which
can ultimately have positive impacts on
the overall economy.
The United States has wellestablished financial infrastructure
2 See The World Bank, Financial Inclusion,
https://www.worldbank.org/en/topic/
financialinclusion/overview, and United Nations
Secretary-General’s Special Advocate for Inclusive
Finance for Development, Financial Inclusion,
https://www.unsgsa.org/financial-inclusion.
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88703
which provides many consumers with
broad access to financial products and
services. A commonly cited measure
relating to the state of financial
inclusion and access to financial
services is the unbanked rate, the share
of households without a checking or
savings account at a bank or credit
union. The most recent 2021 FDIC
National Survey of Unbanked and
Underbanked Households found that an
estimated 4.5 percent, or 5.9 million, of
all U.S. households were unbanked, the
lowest since the survey began in 2009.3
Recent data from the Federal Reserve
Board indicates that in 2022, 82 percent
of all adults reported having a credit
card, and the majority of adults who
applied for credit were approved for the
amount they requested.4
However, there are significant
disparities in how well the financial
system functions for different
populations and communities. Lowincome and low-wealth communities,
racial and ethnic minorities, Native and
Tribal communities, people with
disabilities, women, LGBTQI
communities, immigrants, individuals
with limited English proficiency,
justice-involved individuals, and other
underserved individuals and groups
experience differences in access to the
financial system and use of financial
products and services, with
consequences for their economic
security and wealth-building capacity.
These disparities relate to historic and
intentional exclusion from the financial
system, ongoing forms of discrimination
and predatory practices, and other
barriers.
In 2021, while only 2 percent of white
households were unbanked, 11 percent
of Black households, and 9 percent of
Hispanic households lacked bank
accounts. Persistent disparities in
unbanked rates between white and
minority households are found at all
income levels.5 Additionally, in 2021,
14.1 percent of households were
‘‘underbanked,’’ meaning respondents
had a bank account but also used oftencostly alternative financial services
within the past year to meet needs that
they were unable to meet through
offerings from traditional financial
service providers, such as quickly
3 Federal Deposit Insurance Corporation, 2021
FDIC National Survey of Unbanked and
Underbanked Households (Jul. 2023), https://
www.fdic.gov/analysis/household-survey/
2021report.pdf.
4 Federal Reserve Board, Report on the Economic
Well-Being of U.S. Households in 2022 (SHED)
(May 2023), https://www.federalreserve.gov/
publications/2023-economic-well-being-of-ushouseholds-in-2022-banking-credit.htm.
5 See Federal Deposit Insurance Corporation, op
cit. 3.
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cashing checks, sending money
overseas, or accessing short-term
credit.6 Underbanked households were
more likely to belong to racial and
ethnic minority groups, have lower
incomes, or have a disability. For those
unable to access these financial
products and services, managing day-today finances can be difficult and
expensive.
Disparities also exist in access to
financial products and services used to
facilitate long-term financial security
and wealth. Beyond un- and underbanked rates, there are disparities
among different groups in the use of
financial products and services,
including tax-advantaged retirement
accounts, stock market investments,
insurance, and small business loans. In
2020, while 54 percent of white
households reported owning a
retirement account, only 28 percent of
Hispanic households and 36 percent of
Black households reported having an
account. In 2022, rates of stock and
business ownership were 65 percent
and 16 percent respectively for white
households. These rates stood at 40
percent and 11 percent for Black
households and 27 percent and 13
percent for Hispanic households. Lack
of access to such financial products and
services can hinder households’ ability
to manage financial shocks and build
long-term financial security, which is
reflected in persistent gaps in broader
economic measures between different
groups. According to data from the
Federal Reserve Board, in 2022, median
wealth among Black and Hispanic
households was only 15 and 20 percent,
respectively, of that of white
households.7 Members of minority
groups also have consistently lower
financial well-being scores as measured
by the Consumer Financial Protection
Bureau’s Financial Well-Being Scale.8
As these figures demonstrate, equalizing
financial access and inclusion is a
necessary component of fostering
financial security for all Americans and
closing the racial wealth gap.
There are many reasons that
individual consumers may face barriers
6 Alternative financial products and services
include nonbank transaction or credit products or
services, which are often associated with
comparatively higher costs than those of traditional
financial products and services. See Federal Deposit
Insurance Corporation, op cit. 3.
7 Federal Reserve Board, 2022 Survey of
Consumer Finances (SCF) (Oct. 2023), https://
www.federalreserve.gov/econres/scfindex.htm.
8 For more details about the CFPB’s definition
and measurement of financial well-being, see CFPB,
Making Ends Meet in 2022 (Dec. 2022), cfpb_
making-ends-meet-in-2022_report_2022–12.pdf
(consumerfinance.gov), and https://
www.consumerfinance.gov/data-research/researchreports/financial-well-being-scale/.
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accessing or using traditional financial
products and services, and the
challenges different communities face
are diverse. Further, while some
consumers may have the ability to
access traditional financial products and
services, they may prefer to manage
their financial needs through other
means. In 2021, unbanked households’
most-cited reasons for not having a bank
account were account fees and
minimum balance requirements, as well
as concerns over privacy and lack of
trust in banks.9 In addition to financial
precarity, some of these concerns may
relate to legacies of historic
mistreatment of certain communities by
the financial system, and to ongoing
forms of discrimination.10
New developments in the provision of
financial products and services have
implications for financial inclusion.
Recent efforts to foster competition and
innovation in the financial sector may
benefit consumers as providers develop
new or improved offerings.11 In
addition, both traditional banks and
non-bank entities have increasingly
offered financial products and services
through digital channels, opening access
to financial products and services for
some consumers.12 However, the
‘‘digital divide,’’ or gap between those
with and without broadband access,
presents a significant limitation to the
potential inclusionary benefits of digital
financial services, while also potentially
creating new disparities in access.13
Expanding the provision of certain
financial products and services may also
raise concerns about predatory or
exploitative practices. Providing
financial services to certain households
on unfair, deceptive, or abusive terms,
9 See Federal Deposit Insurance Corporation, op
cit. 3.
10 U.S. Department of the Treasury, Freedman’s
Bank Demise, https://home.treasury.gov/about/
history/freedmans-bank-building/freedmans-bankdemise, Amalie Zinn, Michael Neal, Vanessa G.
Perry, Building Trust in the Financial System is Key
to Closing the Racial Wealth Gap, Urban Institute
(Jun. 2023), https://www.urban.org/urban-wire/
building-trust-financial-system-key-closing-racialwealth-gap, Rocio Sanchez-Moyano and Bina Patel
Shrimali, The Racialized Roots of Financial
Exclusion, Federal Reserve Bank of San Francisco
(Aug. 2021), https://www.frbsf.org/communitydevelopment/publications/communitydevelopment-investment-review/2021/august/theracialized-roots-of-financial-exclusion/.
11 E.O. 14036, 86 FR 36987 (Jul. 9, 2021).
12 U.S. Department of the Treasury, Report to the
White House Competition Council, Assessing the
Impact of New Entrant Non-bank Firms on
Competition in Consumer Finance Markets (Nov.
2022), https://home.treasury.gov/system/files/136/
Assessing-the-Impact-of-New-Entrant-NonbankFirms.pdf.
13 U.S. Government Accountability Office,
Broadband: National Strategy Needed to Guide
Federal Efforts to Reduce Digital Divide (May 2022),
https://www.gao.gov/products/gao-22-104611.
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or in a way that exposes consumers to
inappropriate levels of risk can result in
financial harm to consumers and
communities and may also undermine
trust in financial service providers. As
financial institutions continue to
innovate their products or business
models, ensuring that resulting
consumer products and services are
safe, beneficial, and do not perpetuate
or create new forms of exclusion or
discrimination is vital to efforts to
promote financial inclusion.
III. Request for Information
Treasury welcomes input on any
matter that commenters believe is
relevant to Treasury’s efforts to develop
a national strategy for financial
inclusion. Commenters are encouraged
to address all of the following questions,
and to provide any other comments
relevant to work improving financial
inclusion for underserved communities.
Where possible, please provide specific
examples.
A. Defining Financial Inclusion
1. How do you or your organization
define financial inclusion?
(a) Some definitions of financial
inclusion include considerations of
access, safety, usefulness,
appropriateness, and affordability of
financial products and services, among
others. What are the key elements of
your definition and why do you include
them?
(b) Some topics related to financial
inclusion include financial health,
financial well-being, financial
capability, and financial resilience. Do
any of these or other related topics
relate to or influence your definition of
financial inclusion, and if so, why?
(c) Given the multiple elements and
terms associated with financial
inclusion, is there an alternative term
that you believe should be used instead
of financial inclusion?
2. What do you consider to be in and
out of scope for efforts to promote
financial inclusion?
(a) Which financial products and
services should consumers be able to
access in order to be considered
financially included? Please provide
specific examples. Are there particular
qualities that are important for these
products and services to have?
(b) Which consumer financial
activities are relevant when considering
how to advance financial inclusion? For
example, do you consider accessing tax
benefits you may be eligible for, sending
peer-to-peer payments, or transacting in
cash relevant? Do you consider
activities like saving for retirement,
investing, purchasing a home, or
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starting or growing a business relevant
to financial inclusion? Are there
consumer financial activities that are
not relevant?
(c) What is the relationship between
financial inclusion and financial
security? Between financial inclusion
and building wealth?
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B. Barriers to Financial Inclusion
1. Are there features of the existing
financial system (for example, pricing
strategies, fees, penalties, underwriting
methods and standards, uses of
consumer data, technological systems or
constraints, institutional protocols
related to fraud or risk management, or
other features) that limit or create
inequalities in the ability of consumers
and communities to access, use, and
benefit from financial products and
services? Which features are the most
limiting, and for whom? Please provide
specific examples.
2. What is the role of other factors
such as broadband access, mobile or
digital proficiency, language access,
individuals’ broader economic
circumstances, or availability of
unbiased information about products
and services in financial inclusion?
Please provide specific examples,
including which community or
communities might face resulting
impacts.
3. What barriers do underserved
communities in particular experience in
accessing, using, and benefiting from
financial products and services?
(a) If relevant, what are the
community-specific barriers faced by
members of your community or the
communities you serve or represent in
relation to accessing or building credit,
accessing or using savings and
investment tools (including those that
facilitate retirement security), managing
financial risk, acquiring assets, or other
financial activities? Please provide
specific examples.
C. Measuring Financial Inclusion
1. What are key indicators that can be
used to measure and track financial
inclusion? If possible, please provide
specific examples of existing data
sources.
(a) What are appropriate quantitative
and qualitative measures of financial
inclusion? For example, this could
include the share of households that
own a credit card or transaction
account, or consumers’ beliefs about
how well financial products and
services fit their needs.
(b) What are appropriate individual
and/or system-level measures of
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financial inclusion? For example, this
could include the share of consumers’
total payments made electronically, or
consumers’ average savings balances.
More broadly, this could include
metrics related to availability,
affordability, utilization or benefit of
financial products and services, such as
the number of bank branches available
in a certain area, average transaction
costs, rates of utilization for a given
product or service, or consumer
outcomes related to product or service
use.
(c) Are there any intermediate
benchmarks or indicators that should be
tracked to measure overall progress
toward financial inclusion?
2. If relevant, how do you measure or
track the state of financial inclusion (or
exclusion) in your community or in the
communities you serve or represent?
Please provide specific examples.
D. Actions To Promote Financial
Inclusion
1. Please describe examples of
existing programs, initiatives, products,
or services successful in promoting
financial inclusion. Why were these
effective and what are promising
practices or other lessons learned?
2. What should be done to improve
financial inclusion for underserved
communities?
(a) How can initiatives to promote
financial inclusion be tailored to
address the unique needs and
preferences of underserved
communities, and how can the financial
system build trust among consumers
who have been excluded? Please
provide specific examples.
(b) If relevant, what do you or your
organization do to promote financial
inclusion for underserved communities?
Please provide specific examples.
(c) If relevant, what would you or
your organization need (for example,
information, resources, policies,
regulatory actions, etc.) to be able to
better meet the financial needs of
underserved communities? Please
provide specific examples.
3. What can be done to enable
responsible, equitable innovation in
financial products and services that
enhances financial inclusion while
ensuring robust consumer protections,
including privacy and data security? For
example, could novel data sources, data
analytic techniques or algorithms be
leveraged to promote access to financial
products while ensuring privacy
protections and safeguarding consumer
data?
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88705
(a) What are examples of innovative
financial products, services, and
strategies that have enhanced
individuals’ ability to access, use, and
benefit from these offerings?
(b) What can be done (in financial
institution practice, policy, regulation,
or otherwise) to ensure that efforts to
promote financial inclusion, or products
marketed as inclusionary do not result
in or perpetuate discriminatory or
predatory practices?
4. What should be prioritized (in
policy, regulation, practice or otherwise)
in the effort to promote financial
inclusion?
(a) In your view, what are the most
significant opportunities to advance
financial inclusion both broadly and for
underserved communities in particular?
Please provide specific examples.
5. What roles should the public,
private, and nonprofit sectors play in
promoting financial inclusion?
6. In your view, what should a
national strategy for financial inclusion
contain or aim to accomplish?
E. Other Topics Related to Financial
Inclusion
1. Are there additional aspects of or
topics related to financial inclusion that
Treasury should be aware of in
developing a national strategy for
financial inclusion?
Natalia V. Li,
Director, Office of Consumer Policy.
[FR Doc. 2023–28263 Filed 12–21–23; 8:45 am]
BILLING CODE 4810–AK–P
DEPARTMENT OF THE TREASURY
United States Mint
Pricing for the 2024 Harriet Tubman
and Greatest Generation
Commemorative Coin Programs
United States Mint, Department
of the Treasury.
ACTION: Notice.
AGENCY:
The United States Mint is
announcing pricing for the 2024 Harriet
Tubman and Greatest Generation
Commemorative Coin Programs.
FOR FURTHER INFORMATION CONTACT: Ann
Bailey, Sr. Program Manager for Sales
and Marketing; United States Mint; 801
9th Street NW, Washington, DC 20220;
or call 202–354–7500.
SUPPLEMENTARY INFORMATION: Pricing for
the 2024 Harriet Tubman and Greatest
Generation Commemorative Coin
Programs is as follows:
SUMMARY:
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Agencies
[Federal Register Volume 88, Number 245 (Friday, December 22, 2023)]
[Notices]
[Pages 88702-88705]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2023-28263]
=======================================================================
-----------------------------------------------------------------------
DEPARTMENT OF THE TREASURY
[TREAS-DO-2023-0014]
Request for Information on Financial Inclusion
AGENCY: Departmental Offices, Department of the Treasury.
ACTION: Request for information (RFI).
-----------------------------------------------------------------------
SUMMARY: The Department of the Treasury (Treasury) invites public input
to inform its development of a national strategy for financial
inclusion. This request for information (RFI) offers the opportunity
for interested individuals and organizations to identify opportunities
to advance financial inclusion through policy, government programs,
financial products and services, technology, and other tools and
infrastructure.
DATES: Written comments and information are requested on or before
February 20, 2024.
ADDRESSES: Please submit comments electronically through the Federal
eRulemaking Portal: https://www.regulations.gov.
In general, all comments will be available for inspection at
www.regulations.gov. Comments, including attachments and other
[[Page 88703]]
supporting materials, are part of the public record. Do not submit any
information in your comments or supporting materials that you consider
confidential or inappropriate for public disclosure.
FOR FURTHER INFORMATION CONTACT: Natalia Li, Director, Office of
Consumer Policy, 202-622-1388, [email protected]; Nora Esposito,
Senior Advisor, Office of Consumer Policy, 202-604-9307,
[email protected].
SUPPLEMENTARY INFORMATION:
I. Background
The Financial Services and General Government Appropriations Act,
2023 (FSGG), enacted December 29, 2022, directed Treasury to develop a
national strategy to improve financial inclusion. Specifically, the
FSGG tasked Treasury with developing a strategy to broaden access to
financial services among underserved communities and improve the
ability of such communities to use and benefit from financial tools and
services. The FSGG stated that ``the strategy should establish national
objectives for financial inclusion, set benchmarks for measuring
progress, and offer recommendations for how public policy, government
programs, financial products and services, technology, and other tools
and infrastructure can advance financial inclusion.'' \1\
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\1\ U.S. Congress, Joint Explanatory Statement for Financial
Services and General Government Appropriations Bill, 2023, 117th
Congress, https://www.congress.gov/117/cprt/HPRT50347/CPRT-117HPRT50347.pdf.
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Treasury intends for the strategy to identify clear and actionable
opportunities for the public, private, and nonprofit sectors to advance
financial inclusion. Treasury is therefore seeking information and
recommendations from all interested parties for the purpose of
advancing financial inclusion through policy, government programs,
financial products and services, technology, and other tools and market
infrastructure. Treasury is committed to including a broad range of
perspectives in efforts to promote financial inclusion and is
particularly interested in the views and needs of underserved
communities.
II. Overview
Households rely on consumer financial products and services, from
transaction accounts to mortgages, to meet their financial needs and
goals. However, historic and ongoing discrimination, exclusion, and
disparate treatment have resulted in significant disparities in access
to and use of financial products and services across different
populations and communities, including low-income and low-wealth
communities, Black, Indigenous, (and) People of Color or BIPOC
communities, and women. Improving inclusion in the financial system is
a critical part of fostering financial security, expanding
opportunities to build wealth, and closing the racial wealth gap.
While definitions of ``financial inclusion'' vary, conventional
interpretations of the term often center around accessibility,
indicating that financial inclusion pertains to access to core
financial products and services like bank accounts, credit, and digital
payments.\2\ Beyond access, the term can also be used in ways that
incorporate considerations of the affordability, utility, safety,
sustainability, and suitability of financial products and services.
Financial inclusion can involve things other than specific products or
services, such as financial information or education that helps
consumers learn how to access and use financial products, or to avoid
frauds, scams, and other predatory financial practices. The
interpretation of the term is also influenced by the unique
socioeconomic, cultural, and regulatory context in which the term is
used. Financial inclusion is often associated with other areas more
broadly related to the status of consumer finances, including financial
well-being and financial health, among others.
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\2\ See The World Bank, Financial Inclusion, https://www.worldbank.org/en/topic/financialinclusion/overview, and United
Nations Secretary-General's Special Advocate for Inclusive Finance
for Development, Financial Inclusion, https://www.unsgsa.org/financial-inclusion.
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The ability to access and use financial products and services can
confer significant benefits to consumers. At the household level,
access to financial products and services enhances households' ability
to make payments, save, and borrow, helping to facilitate full
participation in the economy and the ability to both manage day-to-day
needs and navigate financial shocks or emergencies. Certain financial
products and services also play a central role in facilitating
individual and household financial security and wealth; for example,
financing for businesses or educational opportunities can help generate
future financial benefit. Financial inclusion can meaningfully enhance
consumers' ability to transact and save, as well as enable investments
that bolster income and wealth, which can ultimately have positive
impacts on the overall economy.
The United States has well-established financial infrastructure
which provides many consumers with broad access to financial products
and services. A commonly cited measure relating to the state of
financial inclusion and access to financial services is the unbanked
rate, the share of households without a checking or savings account at
a bank or credit union. The most recent 2021 FDIC National Survey of
Unbanked and Underbanked Households found that an estimated 4.5
percent, or 5.9 million, of all U.S. households were unbanked, the
lowest since the survey began in 2009.\3\ Recent data from the Federal
Reserve Board indicates that in 2022, 82 percent of all adults reported
having a credit card, and the majority of adults who applied for credit
were approved for the amount they requested.\4\
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\3\ Federal Deposit Insurance Corporation, 2021 FDIC National
Survey of Unbanked and Underbanked Households (Jul. 2023), https://www.fdic.gov/analysis/household-survey/2021report.pdf.
\4\ Federal Reserve Board, Report on the Economic Well-Being of
U.S. Households in 2022 (SHED) (May 2023), https://www.federalreserve.gov/publications/2023-economic-well-being-of-us-households-in-2022-banking-credit.htm.
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However, there are significant disparities in how well the
financial system functions for different populations and communities.
Low-income and low-wealth communities, racial and ethnic minorities,
Native and Tribal communities, people with disabilities, women, LGBTQI
communities, immigrants, individuals with limited English proficiency,
justice-involved individuals, and other underserved individuals and
groups experience differences in access to the financial system and use
of financial products and services, with consequences for their
economic security and wealth-building capacity. These disparities
relate to historic and intentional exclusion from the financial system,
ongoing forms of discrimination and predatory practices, and other
barriers.
In 2021, while only 2 percent of white households were unbanked, 11
percent of Black households, and 9 percent of Hispanic households
lacked bank accounts. Persistent disparities in unbanked rates between
white and minority households are found at all income levels.\5\
Additionally, in 2021, 14.1 percent of households were ``underbanked,''
meaning respondents had a bank account but also used often-costly
alternative financial services within the past year to meet needs that
they were unable to meet through offerings from traditional financial
service providers, such as quickly
[[Page 88704]]
cashing checks, sending money overseas, or accessing short-term
credit.\6\ Underbanked households were more likely to belong to racial
and ethnic minority groups, have lower incomes, or have a disability.
For those unable to access these financial products and services,
managing day-to-day finances can be difficult and expensive.
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\5\ See Federal Deposit Insurance Corporation, op cit. 3.
\6\ Alternative financial products and services include nonbank
transaction or credit products or services, which are often
associated with comparatively higher costs than those of traditional
financial products and services. See Federal Deposit Insurance
Corporation, op cit. 3.
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Disparities also exist in access to financial products and services
used to facilitate long-term financial security and wealth. Beyond un-
and under-banked rates, there are disparities among different groups in
the use of financial products and services, including tax-advantaged
retirement accounts, stock market investments, insurance, and small
business loans. In 2020, while 54 percent of white households reported
owning a retirement account, only 28 percent of Hispanic households and
36 percent of Black households reported having an account. In 2022,
rates of stock and business ownership were 65 percent and 16 percent
respectively for white households. These rates stood at 40 percent and
11 percent for Black households and 27 percent and 13 percent for
Hispanic households. Lack of access to such financial products and
services can hinder households' ability to manage financial shocks and
build long-term financial security, which is reflected in persistent
gaps in broader economic measures between different groups. According
to data from the Federal Reserve Board, in 2022, median wealth among
Black and Hispanic households was only 15 and 20 percent, respectively,
of that of white households.\7\ Members of minority groups also have
consistently lower financial well-being scores as measured by the
Consumer Financial Protection Bureau's Financial Well-Being Scale.\8\
As these figures demonstrate, equalizing financial access and inclusion
is a necessary component of fostering financial security for all
Americans and closing the racial wealth gap.
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\7\ Federal Reserve Board, 2022 Survey of Consumer Finances
(SCF) (Oct. 2023), https://www.federalreserve.gov/econres/scfindex.htm.
\8\ For more details about the CFPB's definition and measurement
of financial well-being, see CFPB, Making Ends Meet in 2022 (Dec.
2022), cfpb_making-ends-meet-in-2022_report_2022-12.pdf
(consumerfinance.gov), and https://www.consumerfinance.gov/data-research/research-reports/financial-well-being-scale/.
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There are many reasons that individual consumers may face barriers
accessing or using traditional financial products and services, and the
challenges different communities face are diverse. Further, while some
consumers may have the ability to access traditional financial products
and services, they may prefer to manage their financial needs through
other means. In 2021, unbanked households' most-cited reasons for not
having a bank account were account fees and minimum balance
requirements, as well as concerns over privacy and lack of trust in
banks.\9\ In addition to financial precarity, some of these concerns
may relate to legacies of historic mistreatment of certain communities
by the financial system, and to ongoing forms of discrimination.\10\
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\9\ See Federal Deposit Insurance Corporation, op cit. 3.
\10\ U.S. Department of the Treasury, Freedman's Bank Demise,
https://home.treasury.gov/about/history/freedmans-bank-building/freedmans-bank-demise, Amalie Zinn, Michael Neal, Vanessa G. Perry,
Building Trust in the Financial System is Key to Closing the Racial
Wealth Gap, Urban Institute (Jun. 2023), https://www.urban.org/urban-wire/building-trust-financial-system-key-closing-racial-wealth-gap, Rocio Sanchez-Moyano and Bina Patel Shrimali, The
Racialized Roots of Financial Exclusion, Federal Reserve Bank of San
Francisco (Aug. 2021), https://www.frbsf.org/community-development/publications/community-development-investment-review/2021/august/the-racialized-roots-of-financial-exclusion/.
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New developments in the provision of financial products and
services have implications for financial inclusion. Recent efforts to
foster competition and innovation in the financial sector may benefit
consumers as providers develop new or improved offerings.\11\ In
addition, both traditional banks and non-bank entities have
increasingly offered financial products and services through digital
channels, opening access to financial products and services for some
consumers.\12\ However, the ``digital divide,'' or gap between those
with and without broadband access, presents a significant limitation to
the potential inclusionary benefits of digital financial services,
while also potentially creating new disparities in access.\13\
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\11\ E.O. 14036, 86 FR 36987 (Jul. 9, 2021).
\12\ U.S. Department of the Treasury, Report to the White House
Competition Council, Assessing the Impact of New Entrant Non-bank
Firms on Competition in Consumer Finance Markets (Nov. 2022),
https://home.treasury.gov/system/files/136/Assessing-the-Impact-of-New-Entrant-Nonbank-Firms.pdf.
\13\ U.S. Government Accountability Office, Broadband: National
Strategy Needed to Guide Federal Efforts to Reduce Digital Divide
(May 2022), https://www.gao.gov/products/gao-22-104611.
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Expanding the provision of certain financial products and services
may also raise concerns about predatory or exploitative practices.
Providing financial services to certain households on unfair,
deceptive, or abusive terms, or in a way that exposes consumers to
inappropriate levels of risk can result in financial harm to consumers
and communities and may also undermine trust in financial service
providers. As financial institutions continue to innovate their
products or business models, ensuring that resulting consumer products
and services are safe, beneficial, and do not perpetuate or create new
forms of exclusion or discrimination is vital to efforts to promote
financial inclusion.
III. Request for Information
Treasury welcomes input on any matter that commenters believe is
relevant to Treasury's efforts to develop a national strategy for
financial inclusion. Commenters are encouraged to address all of the
following questions, and to provide any other comments relevant to work
improving financial inclusion for underserved communities. Where
possible, please provide specific examples.
A. Defining Financial Inclusion
1. How do you or your organization define financial inclusion?
(a) Some definitions of financial inclusion include considerations
of access, safety, usefulness, appropriateness, and affordability of
financial products and services, among others. What are the key
elements of your definition and why do you include them?
(b) Some topics related to financial inclusion include financial
health, financial well-being, financial capability, and financial
resilience. Do any of these or other related topics relate to or
influence your definition of financial inclusion, and if so, why?
(c) Given the multiple elements and terms associated with financial
inclusion, is there an alternative term that you believe should be used
instead of financial inclusion?
2. What do you consider to be in and out of scope for efforts to
promote financial inclusion?
(a) Which financial products and services should consumers be able
to access in order to be considered financially included? Please
provide specific examples. Are there particular qualities that are
important for these products and services to have?
(b) Which consumer financial activities are relevant when
considering how to advance financial inclusion? For example, do you
consider accessing tax benefits you may be eligible for, sending peer-
to-peer payments, or transacting in cash relevant? Do you consider
activities like saving for retirement, investing, purchasing a home, or
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starting or growing a business relevant to financial inclusion? Are
there consumer financial activities that are not relevant?
(c) What is the relationship between financial inclusion and
financial security? Between financial inclusion and building wealth?
B. Barriers to Financial Inclusion
1. Are there features of the existing financial system (for
example, pricing strategies, fees, penalties, underwriting methods and
standards, uses of consumer data, technological systems or constraints,
institutional protocols related to fraud or risk management, or other
features) that limit or create inequalities in the ability of consumers
and communities to access, use, and benefit from financial products and
services? Which features are the most limiting, and for whom? Please
provide specific examples.
2. What is the role of other factors such as broadband access,
mobile or digital proficiency, language access, individuals' broader
economic circumstances, or availability of unbiased information about
products and services in financial inclusion? Please provide specific
examples, including which community or communities might face resulting
impacts.
3. What barriers do underserved communities in particular
experience in accessing, using, and benefiting from financial products
and services?
(a) If relevant, what are the community-specific barriers faced by
members of your community or the communities you serve or represent in
relation to accessing or building credit, accessing or using savings
and investment tools (including those that facilitate retirement
security), managing financial risk, acquiring assets, or other
financial activities? Please provide specific examples.
C. Measuring Financial Inclusion
1. What are key indicators that can be used to measure and track
financial inclusion? If possible, please provide specific examples of
existing data sources.
(a) What are appropriate quantitative and qualitative measures of
financial inclusion? For example, this could include the share of
households that own a credit card or transaction account, or consumers'
beliefs about how well financial products and services fit their needs.
(b) What are appropriate individual and/or system-level measures of
financial inclusion? For example, this could include the share of
consumers' total payments made electronically, or consumers' average
savings balances. More broadly, this could include metrics related to
availability, affordability, utilization or benefit of financial
products and services, such as the number of bank branches available in
a certain area, average transaction costs, rates of utilization for a
given product or service, or consumer outcomes related to product or
service use.
(c) Are there any intermediate benchmarks or indicators that should
be tracked to measure overall progress toward financial inclusion?
2. If relevant, how do you measure or track the state of financial
inclusion (or exclusion) in your community or in the communities you
serve or represent? Please provide specific examples.
D. Actions To Promote Financial Inclusion
1. Please describe examples of existing programs, initiatives,
products, or services successful in promoting financial inclusion. Why
were these effective and what are promising practices or other lessons
learned?
2. What should be done to improve financial inclusion for
underserved communities?
(a) How can initiatives to promote financial inclusion be tailored
to address the unique needs and preferences of underserved communities,
and how can the financial system build trust among consumers who have
been excluded? Please provide specific examples.
(b) If relevant, what do you or your organization do to promote
financial inclusion for underserved communities? Please provide
specific examples.
(c) If relevant, what would you or your organization need (for
example, information, resources, policies, regulatory actions, etc.) to
be able to better meet the financial needs of underserved communities?
Please provide specific examples.
3. What can be done to enable responsible, equitable innovation in
financial products and services that enhances financial inclusion while
ensuring robust consumer protections, including privacy and data
security? For example, could novel data sources, data analytic
techniques or algorithms be leveraged to promote access to financial
products while ensuring privacy protections and safeguarding consumer
data?
(a) What are examples of innovative financial products, services,
and strategies that have enhanced individuals' ability to access, use,
and benefit from these offerings?
(b) What can be done (in financial institution practice, policy,
regulation, or otherwise) to ensure that efforts to promote financial
inclusion, or products marketed as inclusionary do not result in or
perpetuate discriminatory or predatory practices?
4. What should be prioritized (in policy, regulation, practice or
otherwise) in the effort to promote financial inclusion?
(a) In your view, what are the most significant opportunities to
advance financial inclusion both broadly and for underserved
communities in particular? Please provide specific examples.
5. What roles should the public, private, and nonprofit sectors
play in promoting financial inclusion?
6. In your view, what should a national strategy for financial
inclusion contain or aim to accomplish?
E. Other Topics Related to Financial Inclusion
1. Are there additional aspects of or topics related to financial
inclusion that Treasury should be aware of in developing a national
strategy for financial inclusion?
Natalia V. Li,
Director, Office of Consumer Policy.
[FR Doc. 2023-28263 Filed 12-21-23; 8:45 am]
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