Introduction

Thank you for the opportunity to speak at the Merchant Risk Council (MRC) Conference. The MRC has an
important role to play, bringing together merchants, service providers, regulators and law enforcement to
make e-commerce safer and more efficient all around the world.

The payments landscape in Australia is continuing to evolve rapidly, with new business models and
technologies emerging. This is particularly the case for online retail payments, which I will focus on
today. But first, I will provide you with a brief update on the Australian Government’s reforms to
the RBA’s regulatory role in payments and on the RBA’s upcoming review of retail payments
regulation.

Payments regulatory reform

We have been working with the Government to modernise the Payment Systems (Regulation) Act 1998 (PSRA),
which is the legislation that contains the RBA’s regulatory powers. This
legislation was established in the late 1990s, when the payments ecosystem was much smaller and simpler
than it is today. The reforms to the PSRA will update the definitions of a ‘payment system’ and
‘participant’ so that newer players can also be regulated if necessary. This will include some
systems and participants that are increasingly prominent in online retail payments, such as payment
gateways, payment facilitators, digital wallet providers and ‘buy now, pay later’ (BNPL)
services. The RBA will continue to have a broad mandate to promote efficiency, competition and safety in
the payments system. For issues beyond the mandate of the RBA, the reforms will also make it possible for
the Government to nominate a relevant regulator to use the powers under the PSRA in the national
interest.

Upcoming RBA review of retail payments regulation

Once the reforms to the PSRA are in place, the RBA will launch a holistic review of retail payments
regulation. It is good practice to review and reflect on current regulations. It will also enable us to
consult widely on areas where regulation under the PSRA might be required to promote safety, competition
and efficiency. This review will help us to set our regulatory priorities for the next few years.

Consistent with the original intent behind the PSRA, the RBA’s approach to achieving our mandate will
continue to focus on encouraging the payments industry to address efficiency, competition and safety
issues itself. At the same time, the RBA will continue to stand ready to use its formal regulatory powers
whenever necessary to achieve its mandate. To help us to determine when issues may justify regulatory
intervention, we rely on some key principles:

  • Transparency is important, since it can help inform users’ payment choices,
    promoting competition, efficiency and safety.
  • Businesses should have freedom of choice on which payment methods they accept.
  • Accurate price signals can help users make efficient choices.
  • Fair access and innovation can support competition and efficiency.
  • Retail payment systems should be safe and efficient.

As part of the review, we will ask stakeholders whether these principles remain appropriate for guiding
our approach to regulation across a broader range of payment systems and participants.

The review will also focus on some specific issues, including:

  • The transparency of payment services. An area where greater transparency may be
    beneficial is transaction fees, to help merchants make informed choices and to promote competition
    between payment system operators and between payment service providers. Examples include the scheme
    fees levied by operators and the fees charged by providers.
  • Merchant payment costs. Service fees for small businesses are much higher than for
    larger merchants. In this context, the RBA has been strongly encouraging financial institutions to
    provide merchants with ‘least-cost-routing’ (LCR) to enable them to route debit
    transactions to the lowest-cost card network (eftpos, Mastercard or Visa). We will be asking what
    more could be done to help lower payment costs for small businesses, particularly in a world where
    electronic payments are ubiquitous.
  • Surcharging. The RBA’s surcharging regulations aim to encourage consumers to
    use lower-cost payment methods and strengthen the bargaining position of merchants relative to
    payment system operators. However, the payments landscape is very different to when surcharging was
    introduced. Many consumers have shifted from paying by cash to cards and there is increased public
    concern about payment surcharges. So, it is time to ask whether the surcharging framework is still
    fit for purpose and whether any changes need to be made.
  • Mobile wallets. Consumers have embraced using mobile wallets for payments in recent
    years. They are benefiting from the greater convenience and enhanced security that mobile wallets can
    provide. At the same time, there are issues around the transparency of the fees charged by some
    mobile wallet providers to card issuers, and competition issues relating to restrictions on access to
    ‘near-field communication’ technology for third-party apps.
  • The cost and transparency of cross-border payments. Despite some improvements over
    recent years, the cost of cross-border payments continues to be very high relative to domestic
    payments. We will be asking whether there is a case for policy action to lower the cost and increase
    the transparency of cross-border payment services for consumers and merchants and, if so, what form
    such action should take.

Many of these issues involve online retail payments, to which I will now turn.

Online retail payments in Australia

Online retail payments are growing strongly in Australia, driven by the long-term rise in e-commerce. In
the consumer payments survey that we run every three years, 40 per cent of consumer payments
(by value) were online in 2022, up from 13 per cent back in 2007. Over half of consumer
payments for services were made online, especially for holidays, leisure and paying bills. The payment
methods used by consumers online are quite diverse, including cards, ‘pay-anyone’ transactions
through internet banking, BPAY, digital wallets and BNPL services.

Over the past 10 years, most of the growth in online retail payments has been in cards, so I will
start off by outlining some of the policy issues we are looking at in this space. I will then provide an
update on what we know about volume and cost trends in BNPL services. And I will finish by looking to a
future where account-to-account services through fast payment systems could inject more competition into
online retail payments.

Policy issues in card payments

There are four policy issues that I would like to briefly focus on:

  • The cost of card payments for end users, particularly trends in scheme fees and international card
    transaction costs.
  • How the least-cost routing of online debit card transactions can help lower merchant costs.
  • Promoting competition for payment services on e-commerce platforms.
  • Introducing more standardisation for tokenisation in online card payments.

The cost of card payments for end users

The RBA has a longstanding focus on payment costs for merchants, as a key indicator of the efficiency and
competitiveness of our payments system. Looking at the average transaction costs for cards issued in
Australia, debit cards cost merchants around 0.4 per cent, credit cards cost around
0.8 per cent and charge cards cost around 1.3 per cent (Graph 1). The
wholesale costs of debit and credit card payments (which are the interchange fees paid by acquirers to
issuers and the scheme fees paid by issuers and acquirers to the card networks) explain half of
merchants’ debit card costs and most of credit card costs. The remainder is the margins acquirers
charge merchants above the wholesale costs. These margins include the acquirers’ costs of providing
payment services along with their profits. The charge card model is different, with no separation between
wholesale costs and acquirer margins since the charge card networks have commercial relationships
directly with merchants.

Graph 1


Merchant fees have come down over the past 20 years, supported by regulatory interventions by the
RBA. These included capping interchange fees and allowing merchants to recover their costs through
surcharging, which gave merchants more bargaining power in their negotiations with payment service
providers and the card networks.

Nevertheless, the cost of card payments is substantial for small businesses, which pay much higher fees
per transaction than large businesses (Graph 2). Large merchants have the bargaining power to
directly negotiate much lower ‘strategic’ interchange rates from the networks (Graph 3).
Large businesses also benefit from lower payment costs due to economies of scale. However, the higher
acquirer margins paid by small businesses could also suggest that the market for payment services is not
as efficient and competitive as it could be.

Graph 2

Graph 2: A column chart of merchant card acceptance costs for 2022/23 by merchant size. It shows that smaller merchants have higher payment costs than larger merchants.

Graph 3

Graph 3: Bar chart showing domestic interchange fees as a per cent of transaction values for the 2022/23 financial year. The first panel shows that strategic interchange fees (typically larger merchants who meet requirements such as volume requirements) are significantly lower than non-strategic interchange fees for debit card transactions. The second panel shows a similar result for credit card transactions, although interchange fees are higher for credit card transactions as compared to debit card transactions.

Scheme fees

Scheme fees have been rising, increasing costs for merchants. These fees can be very complex and opaque,
and unlike interchange fees, there are no regulations restricting their growth. In response to concerns
about trends in scheme fees, since 2021/22 we have been collecting
annual data to improve transparency. Here are the aggregate scheme fee data for 2022/23 (Table 1).

Table 1: Net Scheme Fees

Basis points of transaction
values(a)

  2021/22 2022/23 Basis point change
Domestic card transactions
Acquirers 9.9 10.6 0.7
Debit cards 8.8 9.9 1.1
– Tap/insert card 5.0 5.5 0.5
– Tap device 11.4 12.5 1.1
– Online 13.2 14.3 1.1
Credit cards 12.0 11.9 −0.1
– Tap/insert card 11.0 11.2 0.2
– Tap device 12.0 12.3 0.3
– Online 12.6 12.2 −0.4
Issuers 2.8 3.0 0.2
Debit cards 2.2 2.6 0.4
Credit cards 3.8 3.7 −0.1
International card transactions
Acquirers 157.3 158.0 0.7
Issuers 44.4 64.5 20.1

(a) Includes scheme fees paid to eftpos, Mastercard and Visa.

Source: RBA

Net scheme fees of around $1.9 billion were paid by Australian acquirers and issuers to the card
networks in 2022/23. This was a 43 per cent increase relative to
2021/22 and was significantly higher than the 16 per cent
growth in card transactions in that period. Most of the very strong growth in scheme fees was for
international card transactions, which bounced back up after the COVID pandemic emergency measures ended.
On average, the net scheme fees paid by acquirers (relative to the value of card transactions) were
10 basis points for domestic debit cards and 12 basis points for domestic credit cards. In
contrast, net scheme fees were much lower for issuers, since the networks offer generous rebates on
scheme fees to issuers when they compete for their card issuing business. As a result, most of the burden
of scheme fees falls on acquirers, which then gets passed on as higher costs for merchants.

Beneath these aggregates, there is a lot of variation in scheme fees between the different card networks.
So greater transparency of the scheme fees being charged by each card network could help merchants better
understand these fees and make better informed decisions, such as to which network they route debit
transactions. However, we are unable to publish data on the fees charged by each network, because the
international card networks did not grant permission when it was requested. We will raise the case for
more transparency on scheme fees as an issue for consultation in our upcoming review.

International card transaction costs

The cost of international card transactions is a significant issue for e-commerce businesses and
consumers. When a card is used across borders, the costs are substantially higher than when it is used in
the jurisdiction where it was issued. Turning first to the costs faced by Australian merchants selling
goods and services to international customers, on average they face merchant service fees of around
2½ per cent for debit and credit cards (Graph 4). These costs have risen over the past few
years, unlike domestic card costs, which have been relatively flat at much lower levels. Over the same
period, merchant service fees for international charge card transactions have actually declined to around
1.6 per cent. It is also interesting to note that the gap between the cost of domestic and
international charge card transactions is much smaller; while international charge card transactions cost
merchants less than equivalent debit or credit cards, the relative cost of domestic transactions is the
other way around.

Graph 4

Graph 4: Merchant Service Fees - A two-panel column graph of merchant service fees for domestic and international cards in Q1 2024. It shows that international card fees are higher than domestic, except charge cards which are relatively similar across both panels.

The high cost of international debit and credit card transactions faced by Australian merchants appears to
be mainly due to the wholesale costs for these transactions, which includes:

  • Interchange fees. When an international card is presented at an Australian merchant,
    an interchange fee is paid by the merchant’s acquirer to the foreign issuer of the card. After
    intervention by the RBA to encourage more transparency, in 2021 the international card networks
    started publishing their interchange fee schedules for international transactions. From these
    schedules, we can see that international interchange rates can be as high as 2.4 per cent.
    These fees are well above domestic interchange rates, which are capped through regulation at much
    lower levels (0.8 per cent for credit transactions and 0.2 per cent for debit
    transactions with ad valorem interchange rates).
  • Net scheme fees. The international card networks also charge acquirers net scheme
    fees of around 1.6 per cent of the value of international card transactions. To give you an
    indication of just how substantial the scheme fees are on international card transactions, they
    account for one-third of the scheme fees being paid by Australian acquirers, even though
    international card transactions are only around 3 per cent of all the card transactions
    processed in Australia.

When we add up the interchange fees and scheme fees, the wholesale costs of international card
transactions are actually higher on average than the merchant service fees being charged by acquirers.
This suggests that some acquirers are cross-subsidising the high wholesale costs of international card
transactions through higher merchant fees on domestic card transactions.

Consumers also face substantial costs when they use their Australian-issued cards to pay for goods and
services where the card payments are processed outside Australia. The typical fee charged on these
transactions by Australian banks is 3 per cent, and consumers also pay around a
½ per cent markup as part of the exchange rate offered by the international card networks. These
fees on Australian cardholders are similar to those faced by cardholders in other jurisdictions such as
the United States, United Kingdom and New Zealand.

So when we add up the costs faced by merchants and consumers on international card transactions, the total
end-to-end cost is around 5–6 per cent. This is occurring at
a time when there is heightened international attention on the cost of cross-border payments. The
G20 has a program to improve the speed, cost, accessibility and transparency of payments across
borders.
As part of this, the G20 has set an ambitious target for the global average total cost of sending
retail payments (including person-to-business payments) to be no more than 1 per cent by the
end of 2027. International card payments would present an excellent use case for exploring how the cost
of cross-border payments could be reduced for end users.

In our upcoming review, we would like to hear your views on whether there is a case for lowering the cost
and increasing the transparency of cross-border payment services for merchants and consumers.

How the least-cost routing of online debit card transactions can help lower merchant costs

Turning back to domestic transactions, the RBA is focused on increasing competition in the debit card
market to keep downward pressure on payment costs for merchants. This is particularly important since,
with the decline in the use of cash for payments, debit cards are now used in half of all consumer
transactions in Australia. The main priority here is to allow merchants to choose the lowest-cost card
network (eftpos, Mastercard or Visa) to process their debit transactions.

For merchants to take advantage of LCR, payment service providers need to upgrade their systems to support
it. To provide greater transparency on whether providers are getting this done, we have been publishing
reports every six months on LCR availability and take-up across the major providers. By the
end of 2023, the most progress had been made for transactions where a card is presented, where LCR was
available to almost all merchants and enabled for 65 per cent of them (Table 2). While
this is good progress across the industry, there is still more work for some providers to do. Given this,
in our upcoming review, we are planning to ask whether a formal regulatory requirement is necessary for
LCR.

Table 2: Least-cost Routing of Card-present Debit Card Transactions

Per cent of merchants, December 2023(a)

  Available to merchants Enabled for merchants(b)
Square 100 100
Stripe 98 98
Suncorp Bank 100 67
Tyro 100 65
Fiserv 100 47
Commonwealth Bank 97 47
National Australia Bank 100 47
Westpac 100 40
ANZ Worldline 98 31
Adyen 100 23
Total 99 65

(a) Figures have been rounded to whole percentage points. Consequently, a value of
100 may still mean LCR is not available/enabled for every merchant of that
institution. Figures exclude very large (strategic) merchants and merchants that
supply their own payment terminals.
(b) For the avoidance of doubt, those
institutions with the highest rates of LCR enablement do not necessarily provide
merchants with the lowest overall payment costs.

Source: RBA

LCR for card-not-present transactions is at a much earlier stage of progress, with only five of the top
12 online payment service providers making LCR available to all their merchants, and only two
providers having LCR enabled for a significant share of their merchants (Table 3). This partly
reflects that eftpos’ online payment service is still relatively young, having started in 2022. Many
providers are still part way through their projects to fully support eftpos payments online. The RBA
expects providers to make LCR widely available for online transactions and to enable LCR for merchants
that could benefit from it, so we need to see much more progress here.

Table 3: Least-cost Routing of Card-not-present Debit Card Transactions

Per cent of merchants, December 2023(a)

  Available to merchants Enabled for merchants(b)
Stripe 100 68
Fat Zebra 100 32
Adyen 100 7
Fiserv 100 2
Westpac 100 0
Commonwealth Bank 59 7
National Australia Bank 15 0
ANZ Worldline 0 0
Braintree 0 0
SecurePay 0 0
Suncorp Bank 0 0
Tyro 0 0

(a) Figures have been rounded to whole percentage points. Consequently, a value of
100 may still mean LCR is not available/enabled for every merchant of that
institution. A value of 0 may mean LCR is available/enabled for some, but only a
very small proportion, of merchants of that institution. Figures exclude very large
(strategic) merchants and data relating to merchants where the listed institution
only provides gateway services.
(b) For the avoidance of doubt, those
institutions with the highest rates of LCR enablement do not necessarily provide
merchants with the lowest overall payment costs.

Source: RBA

The next frontier for LCR is mobile wallet transactions, such as through Apple Pay and Google Pay. This is
particularly important given the rapid growth in the use of mobile devices for in-person card
transactions. We have been engaging regularly with the major mobile wallet providers and they are making
good progress towards being able to support LCR for mobile wallet transactions by the end of this year.

We can see evidence in scheme fees that suggests LCR may have some competitive benefits (Table 1).
For in-person transactions, LCR is available when a debit card is tapped, and the scheme fees charged are
much lower than when a mobile wallet is tapped, where LCR is not yet available. Supporting the argument
that LCR could be making the difference here, when we look at credit cards, where there is no competition
from a domestic network, scheme fees are higher on average and there is much less variation in fees
depending on whether a card or a mobile wallet is tapped.

Finally on LCR, we recently published an article with our first estimates of the effects of LCR on a
merchant’s cost of accepting debit card payments.
We found that the cost of accepting debit card
transactions is nearly 20 per cent lower for merchants that have LCR turned on, compared to
those with LCR turned off. Once LCR for online and mobile wallet payments is widely available and taken
up by merchants, the potential cost savings are likely to be even larger.

In our upcoming review, we would like to hear your views on the effectiveness of LCR to date, and whether
a formal regulatory requirement is necessary to ensure broad adoption.

Promoting competition for payment services on e-commerce platforms

Online payment services are increasingly bundled within a much wider service offering. Merchants can
benefit from the convenience of having these services supplied together. However, this also has the
potential to limit competition between payment service providers. Some providers have become substantial
players in their respective markets and may be able to leverage their power and loyal customer base in
ways that restrict access or otherwise limit competition. These providers typically offer value-added
services, but at additional cost. This raises questions about the effect on the overall efficiency of the
payments system.

For example, e-commerce platforms offer a range of services to small merchants wishing to sell their
products online, including setting up an e-commerce website, managing inventory, tracking orders to
shipping, providing customer support and processing payments. Some of the larger e-commerce platforms
(such as Shopify, Squarespace, WooCommerce and Wix) are setting up proprietary payments processors and
are at various stages of rolling them out in Australia. Some e-commerce platforms limit the ability of
their online merchant customers to integrate with competing payment service providers or they charge them
substantial fees for doing so. This can make it uneconomic to use competing payment service providers. As
a result, small merchants could be missing out on lower cost or more innovative payment services.

In our upcoming review, we would like to hear your views on whether there is sufficient competition for
online payment services, and what could be done to promote more competition.

Tokenisation of online card payments

Card-not-present fraud continues to be a challenge for the payments industry. According to the Australian
Payments Network (AusPayNet), there were 5 million fraudulent card-not-present transactions in
Australia or on Australian-issued cards in 2022/23, worth almost
$700 million. In addition to these losses (which are often borne by the merchant), cardholders,
merchants and financial institutions incur significant costs investigating and resolving fraud cases.

An important initiative to improve security in online card payments is tokenisation. By holding tokens
instead of sensitive card details, merchants and payment service providers can significantly reduce the
risk that these card details will be stolen from their systems and used by fraudsters. The RBA has been
working with industry on tokenisation to promote security, efficiency and competition in the payments
system. In addition to improving security, tokenisation raises some efficiency and competition issues
where some standardisation across the industry could help:

  • Token portability. The tokens issued by the international card networks are often
    specific to a particular merchant and their payment service provider. This means that if a merchant
    has deleted their customers’ sensitive card details and then wants to change their payment
    service provider, they may need to ask their existing customer base to re-enter their card details
    for future transactions. This would be highly unattractive to many merchants, as it could result in
    failed transactions and customer attrition. It also makes it less likely that merchants would be
    willing to delete their customers’ sensitive card details, undermining the benefits of
    tokenisation. To address this issue, the RBA has set an expectation for industry to support the
    portability of tokens by 30 June 2025.
  • Synchronisation. To make sure that merchants can take advantage of LCR of debit
    cards online, it is important that all network tokens are updated simultaneously when issuers update
    details for dual-network debit cards (such as a new expiry date). This avoids the risk that some
    online debit card transactions would fail due to only one network token being updated.

AusPayNet has established an industry working group that is exploring the development of technical
standards to support token portability and also ways to aid token synchronisation across the payments
chain. This is a complex space, so we welcome AusPayNet’s work on potential technical standards and
encourage you all to participate actively in this process.

Trends in ‘buy now, pay later’ services

BNPL services allow customers to purchase goods and services on credit and make interest-free repayments
to the BNPL provider. Despite some smaller BNPL providers exiting the market, BNPL transactions continued
to grow strongly in 2023 (Graph 5). The value of BNPL transactions was around $20 billion,
which is equivalent to around 2 per cent of Australian card purchases.

Graph 5

Graph 5: A two panel column chart of annual buy now pay later transactions from 2020 to 2023. It shows how the value of transactions has doubled since 2020 and the number of transactions has increased about 2.5 fold.

While BNPL services offer benefits to consumers, they are typically an expensive way for merchants to
accept payments. The average BNPL transaction costs the merchant around 3½ per cent of the
value of the purchase, which is well above the cost of card transactions (Graph 6). Most BNPL
services do not allow merchants to pass on the cost to consumers through surcharging. Surcharges could be
used by merchants to signal to consumers that they are using a relatively expensive payment method.

Graph 6

Graph 6: A line graph of average percentage merchant fees for buy now pay later (BNPL) transactions from 2020 as compared to fees for charge card, credit card and debit card transactions. It shows that BNPL fees are considerably higher than fees for the other types of transactions.

In 2021, the RBA concluded that merchants should be allowed to surcharge BNPL services. The
RBA’s view at the time was that any benefits of no-surcharge rules in terms of supporting new entry
into the payments market was outweighed by the costs in terms of efficiency and competition in the
payments system. However, it was not clear that the RBA had the power to require the removal of these
no-surcharge rules. After the reforms to the PSRA, the RBA plans to revisit this issue as part of a
broader review of whether the RBA’s surcharging framework remains fit for purpose. We welcome views
on whether there have been developments that justify reconsidering whether BNPL providers should remove
no-surcharge rules.

One key development has been the Government recently introducing legislation to Parliament to bring the
regulation of BNPL into line with other types of credit. Under the reforms, BNPL providers will be
required to hold an Australian credit licence and be subject to regulation by the Australian Securities
and Investments Commission. They would have to comply with requirements on product disclosure and take
steps to make sure they are lending responsibly.

Potential use of fast payment systems for retail payments

Cards are currently the dominant payment method used in Australia for in-person and online retail
payments. However, when we look to other countries in our region, we can see alternative models of
electronic retail payments that are less reliant on cards. For instance, in many countries in southeast
Asia, merchants are providing QR codes that their customers can use to pay them by account transfer
through fast payment systems. These merchants and consumers have a fast and low-cost electronic
alternative to card payments.

We could see a similar wave of retail payments innovation unleashed in Australia through the New Payments
Platform (NPP) and its PayTo service. This service provides a convenient and secure way for consumers to
authorise merchants to initiate a payment from their account via the NPP. PayTo will modernise the way we
make direct debits by giving customers more control. Direct debits are currently processed through the
legacy Bulk Electronic Clearing System and are expected to largely transition across to PayTo over the
period ahead.

PayTo can also be used by merchants as an alternative to cards for online payments, and potentially
in-store purchases. The major banks have all made PayTo available to their retail customers, so it now
has the critical mass of consumer accounts for payment services to launch. There are many providers, from
fintechs to major banks, that are developing innovative retail payment services that leverage PayTo.
While it is early days in the development of this service, the volume of PayTo transactions is growing
rapidly.

Looking further ahead, interlinking fast payment systems across countries has the potential to provide
consumers and businesses with an alternative way to make international e-commerce payments. The
ASEAN-5 countries (Indonesia, Malaysia, the Philippines, Singapore and Thailand) are currently
working on interlinking their fast payment systems, with the aim of supporting low-cost remittances and
retail transactions. We are monitoring these developments closely to help assess whether Australia should
be involved in similar initiatives in future. To contribute to this debate, we recently published a
report highlighting the benefits and challenges with linking fast payment systems across countries.

Conclusion

To conclude, we are seeing rapid changes in the payments landscape, with new business models and
technologies emerging, particularly in online retail payments. Given this, the RBA has been working with
the Government to modernise the regulatory framework and we are preparing to launch a holistic review of
retail payments regulation once the PSRA reforms are in place. Your input to this review process will be
highly valuable. There are many interesting policy issues to explore, including the cost and transparency
of payment services and how we can promote competition that benefits end users. We look forward to
continuing working with you all as we promote an efficient, competitive and safe payments system, to the
benefit of all Australians.