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Part III
Sustainable Development Goals: Harnessing Business to Achieve the SDGs through Finance,
Technology, and Law Reform, First Edition. Edited by Julia Walker, Alma Pekmezovic,
and Gordon Walker.
© 2019 John Wiley & Sons Ltd. Published 2019 by John Wiley & Sons Ltd.
179
10
Introduction
Between 2010 and 2017, 1.2 billion people gained a financial or mobile money
account for the first time, with most located in developing countries. But much
remains to be done: as of 2017, 1.7 billion adults still lacked access to an account –
some 31% of the world’s people.1
From 2010 to 2017, much of this progress came from the impact of technol-
ogy in finance. For example, mobile money has played a significant role in
increasing financial inclusion in Kenya and East Africa.2 China has also moved
in recent years from an essentially traditional financial system to perhaps the
world’s most digitised financial system.3 India has similarly dramatically
increased financial access by building the infrastructure for a new digital econ-
omy (‘India Stack’), which has led to approximately 350 million people gaining
accounts. Along with similar developments in Russia, these four economies
account for the vast majority of the increases in financial inclusion since 2010.
1 A. Demirguc-Kunt, L. Klapper, D. Singer, S. Ansar, and J. Hess, ‘The Global Findex Database
2017: Measuring Financial Inclusion and the Fintech Revolution’, World Bank (April 2018).
2 F. Pasti, ‘Mobile Money as a Driver of Financial Inclusion in Sub-Saharan Africa’, GSMA (June 7,
2017), https://www.gsma.com/mobilefordevelopment/programme/mobile-money/mobile-money-
driver-financial-inclusion-sub-saharan-africa/; A. Beyene Fanta, et al., ‘The Role of Mobile Money
in Financial Inclusion in the SADC Region’ (Policy Research Paper No. 03/2016, FinMark Trust),
https://www.finmark.org.za/wp-content/uploads/2016/12/mobile-money-and-financial-inclusion-
in-sadc.pdf; The World Bank, ‘2012 Information and Communications for Development:
Maximizing Mobile’ (2012), ch. 4.
3 J. Chien, ‘Key Lessons for Policymakers from China’s Financial Inclusion Experience’, World
Bank (15 February 2018), http://blogs.worldbank.org/psd/key-lessons-policymakers-china-s-
financial-inclusion-experience; see also on the regulatory approaches that delivered this
transformation: W. Zhou, D. Arner, and R. P. Buckley, ‘Regulation of Digital Financial Services in
China: Last Mover Advantage’ Tsinghua China Law Review 8, no. 1 (2015): 25.
Sustainable Development Goals: Harnessing Business to Achieve the SDGs through Finance,
Technology, and Law Reform, First Edition. Edited by Julia Walker, Alma Pekmezovic,
and Gordon Walker.
© 2019 John Wiley & Sons Ltd. Published 2019 by John Wiley & Sons Ltd.
180 10 FinTech for Financial Inclusion: Driving Sustainable Growth
8 These are listed as key challenges in the United Nations Sustainable Development Goals,
online https://www.un.org/sustainabledevelopment (last accessed December 3, 2018).
9 This is the UNSDG’s core objective, see idem.
10 Table 10.1 draws on the authors’ own research and experience with FinTech projects. The
insight that digital financial services are consistent with the UNSDGs is unanimously accepted.
See, for instance, United Nations, ‘Digital Finance and the SDGs’, http://www.uncdf.org/mm4p/
dfs-and-the-sdgs (detailing how UNCDF contributes to the SDGs with digital finance).
182 10 FinTech for Financial Inclusion: Driving Sustainable Growth
Impact
Direct=D
Nr Goals Indirect=I How FT4FI Can Further Goal
(Continued)
Financial Inclusion and Sustainability: Introducing the Long-Term Perspectiv 183
Impact
Direct=D
Nr Goals Indirect=I How FT4FI Can Further Goal
take on their (long) way towards the UNSDGs, and FinTech is the best way to
achieve financial inclusion. Economies are best advised to focus on developing
strategies for digital financial transformation, focusing on the role of FinTech
in financial inclusion, as one important potential solution to the most impor-
tant and most difficult question which is: how shall economies approach
achieving the SDGs.
FT4FI Initiatives
An ever-increasing range of international development organisations are
focusing on FinTech and financial inclusion, including the prominent initiative
of the Alliance for Financial Inclusion (in which the authors of this chapter
were involved),11 as well as the World Bank, together with the Consultative
Group to Assist the Poor (CGAP),12 the United Nations Development
Programme (with its Task Force on Digital Financing13), and many regional
11 AFI, ‘FinTech for Financial Inclusion: A Framework for Digital Financial Transformation’
(September 2018), https://www.afi-global.org/publications/2844/
FinTech-for-Financial-Inclusion-A-Framework-for-Digital-Financial-Transformation.
12 See Worldbank, ‘Fintech and Financial Inclusion’, see online http://pubdocs.worldbank.org/
en/877721478111918039/breakout-DigiFinance-McConaghy-Fintech.pdf.
13 See UNDCF, ‘Digital Finance and the SDGs’, http://www.uncdf.org/mm4p/dfs-and-the-sdgs.
184 10 FinTech for Financial Inclusion: Driving Sustainable Growth
14 The authors are aware of FinTech initiatives sponsored by the Asian Development Bank, the
Islamic Development Bank, the European Investment Bank, and the Financial Development
Corporation.
15 G20 Global Partnership for Financial Inclusion, ‘Digital Financial Inclusion: Emerging Policy
Approaches’ (2017), https://www.gpfi.org/publications/
g20-report-digital-financial-inclusion-emerging-policy-approaches.
16 R. P. Buckley, ‘The G20’s Performance in Global Financial Regulation’, University of New South
Wales Law Journal 37, no. 1 (2014): 63.
17 G20, ‘Pittsburgh Summit: Leaders’ Statement’ (25 September 2009), 41.
18 G20 Financial Inclusion Experts Group, ‘Innovative Financial Inclusion’ (ATISG Report, 25
May 2010); GPFI, ‘Principles and Report on Innovative Financial Inclusion’, http://www.gpfi.org/
publications/principles-and-report-innovative-financial-inclusion.
19 G20, ‘Financial Inclusion Action Plan’ (2010), 3.
20 GPFI, Launch of the G20 Basic Set of Financial Inclusion Indicators (22 April 2013) http://
www.gpfi.org/featured/launch-g20-basic-set-financial-inclusion-indicators.
21 GPFI, see note 15.
Four Pillars of Digital Financial Transformatio 185
Responsible Finance22 and the ID4D23 – the HLPs aim to encourage and guide
governments to embrace digital approaches to financial inclusion.24 In 2017,
the FIAP was updated to reflect the pivotal role of digitisation.25
Stack is a set of APIs that forms a digital infrastructure to be used by the gov-
ernment, businesses, and other entities to provide paperless and cashless ser-
vices.28 India Stack involves four main levels.29 First is a national system of
biometric identification. Second is the establishment of bank accounts to
deliver national services, such as pension, health, and other welfare payments.
Third is a common payment API to enable payments to be made. Fourth is a
series of electronic KYC initiatives that allow individuals to provide their finan-
cial details to financial services and other providers to meet KYC requirements.
These eKYC utility platforms show how RegTech – regulatory technology –
can improve integrity of financial markets and reduce counterparty risks.
Based on the Indian experiences, we argue that economies must focus on
four pillars of digital financial infrastructure to support digital financial trans-
formation, maximising financial inclusion and sustainable balanced growth
from FinTech while likewise supporting the core financial policy objectives of
financial stability, consumer protection, and financial integrity:
●● Pillar I: Digital ID and eKYC (section III);
●● Pillar II: Open electronic payment systems (section IV);
●● Pillar III: Account opening and electronic government services (section V);
●● Pillar IV: Design of digital financial market infrastructure and systems.
Each of these four pillars is examined separately next.
IrisGuard
IrisGuard is an iris recognition technology that converts an image of the iris
into a unique code which is then used to identify the individual.33 Since 2016,
IrisGuard’s EyePay platform has been used by the UN to deliver financial aid.
The technology provides sufficient digital identity for beneficiaries to receive
food vouchers, withdraw cash, and transfer funds without requiring a credit
card or bank account.
EyePay, in conjunction with the Ethereum blockchain, is now used to pro-
mote financial inclusion of Syrian refugees in Jordan by processing supermar-
ket and ATM transactions in real time.34 As of April 2018, the platform had
been rolled out to five supermarkets in Jordanian refugee camps and serves
over 120,000 Syrian refugees.35
Secure technology is important for vulnerable individuals to protect them-
selves and their money from corruption and identity theft. Iris recognition and
distributed ledger technology work towards this goal by providing an immuta-
ble form of digital identity and rendering physical cash unnecessary.
31 S. Abraham, R. S. Sharma, and B. J. Panda, ‘Is Aadhaar a Breach of Privacy?’ The Hindu (31
March 2017), http://bit.ly/2BpbVyx.
32 ‘Indian Business Prepares to Tap into Aadhaar, a State-Owned Fingerprint-Identification
System’, The Economist (24 December 2016), http://econ.st/2FyB0hb.
33 ‘About IrisGuard’, IrisGuard, https://www.irisguard.com/node/29.
34 ‘IFC and IrisGuard to Support Financial Inclusion and Syrian Refugees in Jordan’, IrisGuard
(14 February 2018), http://www.irisguard.com/index.php/news/index/2018/112.
35 Ibid.; ‘Iris-Secured Blockchain Project Officially Recognised as Leading International
Innovation’, IrisGuard (13 April 2018), http://www.irisguard.com/index.php/news/
index/2018/114.
188 10 FinTech for Financial Inclusion: Driving Sustainable Growth
36 R. Bastin, I. Hedea, and I. Cisse, ‘A Big Step Toward the European Digital Single Market,’
Deloitte (October 2016), 70–77, https://www2.deloitte.com/lu/en/pages/about-deloitte/articles/
inside/inside-issue13.html.
37 The South African KYC Service, Thomson Reuters Africa, https://africa.thomsonreuters.
com/en/products-services/risk-management-solutions/kyc-as-a-service.html.
38 S. Desai and N. Jasuja, ‘India Stack: The Bedrock of a Digital India’, Medium (27 October
2016), https://medium.com/wharton-fintech/the-bedrock-of-a-digital-india-3e96240b3718.
Pillar II: Open Electronic Payment Systems: Building Connectivit 189
39 ‘Axis Bank Introduces a Paperless eKYC Based A/c Opening’, India Infoline News Service,
https://www.indiainfoline.com/article/news/axis-5875391291_1.html.
40 For example, AXIS Bank (https://www.axisbank.com/accounts/savings-account/axis-asap/
axis_ASAP.html) and RBL Bank (https://abacus.rblbank.com/).
41 European Commission, ‘Consumer Financial Services Action Plan: Better Products, More
Choice’ (March 2017), 13–14, https://ec.europa.eu/info/publications/
consumer-financial-services-action-plan_en.
190 10 FinTech for Financial Inclusion: Driving Sustainable Growth
Mobile Money
Mobile money enables mobile phones to be used to pay bills, remit funds,
deposit cash, make withdrawals, and save, using e-money, sometimes issued by
banks but mostly by telecommunication companies (‘telcos’). The service cur-
rently exists in over 89 developing countries and is growing rapidly.42 E-money
is typically defined as a stored value instrument or product that: (i) is issued on
receipt of funds; (ii) consists of electronically recorded value stored on a device
such as a mobile phone; (iii) may be accepted as a means of payment by parties
other than the issuer; and (iv) is convertible back into cash.43
Today, M-Pesa is a major success providing financial services to a sizable
proportion of the Kenyan population.44 However, mobile money success has by
no means been consistent. This has to do with the differing needs of consum-
ers in different countries, the inability of service providers to adapt their offer-
ings to different markets,45 a tendency of central banks to over-regulate these
services,46 and a lack of trained payments professionals in many markets.47
Other aspects of why cash remains king in so many poorer countries doubtless
reside in matters cultural and anthropological.
Mobile money services, especially those offered by telcos, are a key part of
the solution to financial exclusion in poorer countries; however, these pose real
regulatory challenges. Such services do not initially pose systemic stability
concerns and cannot afford, and do not require, the level of regulation gener-
ally applied to traditional banks. However, service providers need a central
bank that encourages innovation and understands the needs of customers in
their country: a major shift from the traditional role of central banks.
42 GSMA, ‘State of the Industry 2014 – Mobile Financial Services for the Unbanked’ (March
2015), https://www.gsma.com/mobilefordevelopment/wp-content/uploads/2015/03/
SOTIR_2014.pdf.
43 Mobile Financial Services Working Group, ‘Mobile Financial Services: Basic Terminology,
Alliance for Financial Inclusion’ (1 August 2014), http://www.afi-global.org/library/publications/
mobile-financial-services-basic-terminology-2013.
44 In 2016, through embracing M-Pesa and similar digital payment networks, over 75% of adults
in Kenya had access to formal financial services, a 26.7% increase from a decade earlier, N.
Ndung’u, ‘M-Pesa – A Success Story of Digital Financial Inclusion’ (Blavatnik School of
Government, July 2017), https://www.bsg.ox.ac.uk/research/publications/m-pesa-success-story-
digital-financial-inclusion.
45 R. P. Buckley and S. Webster, ‘FinTech in Developing Countries: Charting New Customer
Journeys’, Journal of Financial Transformation 44 (2016): 151.
46 For example, the Central Bank of Kenya applied a ‘light-touch’ approach from the outset,
which many believe assisted the provision of these services. See also E. Gibson, F. Lupo Pasini,
and R. P. Buckley, ‘Regulating Digital Financial Services Agents in Developing Countries to
Promote Financial Inclusion’, Singapore Journal of Legal Studies 26 (2015).
47 R. P. Buckley and I. Mas, ‘Coming of Age of Digital Payments as a Field of Expertise’, Journal
of Law, Technology & Policy 2016 (1): 71.
Pillar II: Open Electronic Payment Systems: Building Connectivit 191
48 Bill & Melinda Gates; The Level One Project Guide – Designing a New System for Financial
Inclusion’, https://btca-prod.s3.amazonaws.com/documents/231/english_attachments/
The-Level-One-Project-Guide-Designing-a-New-System-for-Financial-Inclusion1.
pdf?1470437926.
49 Ibid., 2, 7.
50 D. Bushell-Embling, ‘Alipay Is World’s Second Largest Mobile Wallet’, ComputerWorld Hong
Kong (9 April 2018).
51 E. Mu, ‘Yu’ebao: A Brief History of the Chinese Internet Financing Upstart’, Forbes (18 May
2014), https://www.forbes.com/sites/ericxlmu/2014/05/18/
yuebao-a-brief-history-of-the-chinese-internet-financing-upstart/#25c898583c0e.
52 S. Millward, ‘7 Years of WeChat’, Tech In Asia (21 January 2018). https://www.techinasia.com/
history-of-wechat.
53 China Tech Insights, WeChat User & Business Ecosystem Report 2017 (2017), https://
technode.com/2017/04/24/wechat-user-business-ecosystem-report-2017/.
54 J. Hong, ‘How China’s Central Bank Is Clamping Down on the Mobile Payment Industry’,
Forbes (18 August 2017), https://www.forbes.com/sites/jinshanhong/2017/08/18/
how-chinas-central-bank-is-clamping-down-on-the-mobile-payment-industry/#5fa0a13b50be.
192 10 FinTech for Financial Inclusion: Driving Sustainable Growth
control. The PBoC has also raised payment platforms’ reserve funds ratio to
50% from 20%, with the ratio to gradually increase to 100% over time, in order
to further protect consumers.55 Payment institutions must now also obtain
permits to offer barcode payments, a method proving increasingly popular in
China.56
The experiences of WeChat Pay and Alipay highlight that payments provid-
ers should be subject to appropriate proportional regulation, both to address
risks and provide a level playing field.
The combination of digital ID/eKYC with open electronic payments p rovides
the fundamental infrastructure to support a wide range of transactions.
However, it is when combined with Pillar III that the greatest potential trans-
formation can be achieved.
55 Y. Wang, ‘China Tightens Regulations over Mobile Payment Apps – What’s Next for Tencent
and Ant Financial?’ Forbes (3 January 2018), https://www.forbes.com/sites/ywang/2018/01/03/
china-tightens-regulation-over-mobile-payment-apps-whats-next-for-tencent-and-ant-
financial/#47e526ae7f1d.
56 Xinhua, ‘China Looks for Right Balance between Financial Innovation, Risk’, China Daily (30
December 2017), http://www.chinadaily.com.cn/a/201712/30/WS5a46fd55a31008cf16da4599.
html.
Pillar III: Account Opening and Electronic Government Provision of Services: Expanding Usag 193
67 Ibid., 29.
68 D. Zetzsche and T. Ratna Dewi, ‘The Paradoxical Case Against Interest Rate Caps for
Microfinance’ (University of Luxembourg Faculty of Law, Economics and Finance Working Paper
No. 2018-008), 25.
196 10 FinTech for Financial Inclusion: Driving Sustainable Growth
datafication, i.e. the process of analysing and using data. Superior, comprehen-
sive customer data may be generated from:
●● Software companies aggregating information about users’ activities;
●● Hardware companies and Internet-of-things (IoT) companies utilising sen-
sors that monitor usage behaviour and location;
●● Social media services (Facebook, Tencent) and search engines (Google,
Baidu), providing insight into social preferences and activities;
●● E-commerce, providing insight into consumer demand and payment history;
and
●● Telecommunications services providers (Safaricom, Vodafone), providing
data on mobile activities.69
The big data approach applied by these firms (referred to as ‘TechFins’)
should improve business decisions as their data sets are typically of far better
quality than traditional financial institutions. This enables a TechFin to form a
far truer picture, in close to real-time, of the customer’s financial position.
From a financial inclusion perspective, these TechFins (while creating other
reasons for concern) are helpful in that they replace the need for interpersonal
relations. TechFins can better adjust credit rates to the risk (i.e. the client) at
hand, and ‘re-personalise’ the financial relationship via algorithms. Data-based
finance could be simultaneously more attuned to individuals’ real risk profiles
(if the data-based methodology is sound) and more inclusive as it could pro-
vide ‘personalised’ financial services at a much lower cost per client. Real-world
examples include Amazon’s lending programme to small businesses and
Alipay’s consumer loan offerings.
The use of technology to provide cash flow-based lending for individuals and
SMEs on a cost-effective and risk-prudent basis is exciting, but requires the
necessary foundational support.
In the Global North, insurance and investment products reduce risks for
customers and ensure risk diversification. Both are a necessary addition to pay-
ments. For instance, crop insurance helps farmers restart after droughts.
Digitalisation could address the two major barriers to financial inclusion in
these areas: access and transaction costs. As a third advantage, online provid-
ers may reduce human biases which are particularly serious in long-term
investments and pooled money management (such as insurance). This has
been widely discussed in the context of robo-advisors, but is also true for other
financial services that rely on long-term cash flow plans. At the same time, an
enhanced savings rate could strengthen local capital markets.
From a client protection perspective, adding online insurance and invest-
ments is not only an opportunity, but also a challenge. Financial markets risks
never go away, but are simply transformed into other types of risk. For instance,
exposure to insurance and investments enhances the risk of volatility and
fraud, since the exposure is long term. Insurance and investment require pro-
viders that will be solid over many years.
Another major issue is the complexity of long-term investments. Savings in
nominated currency (i.e. interest-based savings) do not fare well over very long
savings cycles. But investments come with a great degree of uncertainty and
complexity, which could further misselling and Ponzi schemes.
Bridging the trust divide – because investors cannot control the risk, they
must trust the intermediary – is at the heart of developing liquid financial mar-
kets. There are multiple global online (micro-) insurance70 and investment
schemes71 that commit to financial inclusion principles.
M-Akiba
For instance, Kenyan government bonds can be acquired through mobile
accounts relying on the M-Akiba scheme. M-Akiba enables digital savings in,
and trading of, Kenyan government bonds. Money raised is earmarked for
infrastructural development projects to further support FinTech in Kenya.
M-Akiba avoids the investment risks associated with (regional or global)
market access. However, M-Akiba does not further diversification of regional
risk and rests on public sector involvement. Both aspects may prove a disad-
vantage if the Kenyan political system is hit by a shock and the state’s ability to
service its loans becomes uncertain. Regardless, it could serve as a good start-
ing point for investors unequipped to deal with more sophisticated financial
products.
70 See e.g. the online crop insurance project, IBISA, which is building a globally diversified
insurance pool based on satellite screening and blockchain technology: BitValley, www.bitbank.lu.
71 See e.g. Advicement in South Africa: Advicement, https://advicement.co.za/.
198 10 FinTech for Financial Inclusion: Driving Sustainable Growth
Strategic Approach
The starting point is that the power of these pillars is greatest when they are all
pursued and become mutually reinforcing. This is the core lesson from India
Stack.
First, technology may do things other than what its developers anticipate. For
instance, self-learning algorithms may enhance rather than mitigate biases
existing in the data.72 Perfect technologies to check on the limits of technolo-
gies do not yet exist. In the meantime, providers need to constantly test the
outcomes of algorithmic interpretation of data.
Second, technology may do exactly what the developers anticipate, but the
problem is the developers. Financial history is replete with fraud. Every new
technology will be abused by some. Recent examples include the use of virtual
currencies for drug trafficking and money laundering73 and the use of initial
coin offerings for defrauding investors/participants.74
Third, technology is ever-accelerating and facilitating ever more new entrants,
making the role of the regulator ever more challenging. In many cases, this will
require regulators to use technology in response. This is one aspect of RegTech.
RegTech includes automation and data-driven analysis of internal control sys-
tems and internal and external reporting.
72 See e.g. Uber’s use of machine learning: H. Reese, ‘How Data and Machine Learning Are “Part
of Uber’s DNA”, TechRepublic (Oct. 21, 2016), https://www.techrepublic.com/article/
how-data-and-machine-learning-are-part-of-ubers-dna/.
73 United States v. Ulbricht, 31 F. Supp. 3d 540, 569 (S.D.N.Y. 2014); United States v. Faiella, 39
F. Supp. 3d 544 (S.D.N.Y. 2014); M. I. Raskin, ‘Realm of the Coin: Bitcoin and Civil Procedure’,
(2015) 20 Fordham Journal of Corporate & Financial Law 970 (2015): 980–83; M. Tsukerman,
‘The Block Is Hot: A Survey of the State of Bitcoin Regulation and Suggestions for the Future’, 30
Berkeley Technology Law Journal (2015): 1127, 1146–59, 1166–67.
74 D. A. Zetzsche, R. P. Buckley, and D. W. Arner, ‘The ICO Gold Rush’, Harvard Law School
Forum on Corporate Governance and Financial Regulation (1 December 2017), https://corpgov.
law.harvard.edu/2017/12/01/the-ico-gold-rush/.
75 FinTech Supervisory Sandbox (FSS), Hong Kong Monetary Authority (6 September 2016), 2,
http://www.hkma.gov.hk/media/eng/doc/key-information/guidelines-and-
circular/2016/20160906e1.pdf; Monetary Authority of Singapore, MAS FinTech Regulatory
Sandbox Guidelines, marginal nos 2.2, 6.2, 6.2.g (16 November 2016), See also Bank Negara
Malaysia, Financial Technology Regulatory Sandbox Framework, marginal no 6.1 ff (18 October
2016), http://www.bnm.gov.my/index.php?ch=57&pg=137&ac=533&bb=file.
200 10 FinTech for Financial Inclusion: Driving Sustainable Growth
79 R. Arce Lozano, F. de Noriego Olea, M. Salazar, M. Aldonza Sakar, ‘Mexico’s Fintech Law
Initiative: What You Need to Know’, Hogan Lovells (Summer 2017), https://www.hoganlovells.
com/~/media/hogan-lovells/pdf/debt-capital-markets-global-insights/mexicos-fintech-law-
initiative.pdf?la=en.
202 10 FinTech for Financial Inclusion: Driving Sustainable Growth
80 Ibid.
Towards Inclusive and Sustainable Growth 203
Acknowledgements
We are grateful for the financial support for this research provided by the Alliance
for Financial Inclusion (AFI); the Luxembourg National Research Fund project ‘A
New Lane for FinTechs – SMART Regulation’, INTER/MOBILITY/16/11406511;
and the Australian Research Council Linkage project ‘Regulating a Revolution: A
New Regulatory Model for Digital Finance’. We also owe a real debt, for her
superb research assistance, to Jessica Chapman. All responsibility is the authors’.
This research relies heavily upon our earlier, extended report for AFI: ‘FinTech
for Financial Inclusion: A Framework for Digital Financial Transformation’,
September 2018; available at https://www.afi-global.org/publications/2844/
FinTech-for-Financial-Inclusion-A-Framework-for-Digital-Financial-
Transformation.