KYC Utilities: The Second Coming, Learning from Past Failures
In the previous blog, I examined the current compliance challenge and how e-KYC utilities can solve the age-old challenges of collection, validation and processing of customer data and documentation. In this blog, I look at the KYC utility models of the past and the three key learnings we can take from these experiments for the second coming of e-KYC utilities.
Over the last year or so, we’ve seen financial services providers in the Nordics, the Netherlands, Abu Dhabi and Singapore coming together to create e-KYC utilities in the hope of delivering greater compliance efficiencies and creating a better and more competitive customer experience.
However, KYC utilities are not a new concept in themselves.
Back in 2012, the Financial Action Task Force’s (FATF’s) made recommendations for more robust KYC and Customer Due Diligence (CDD) processes in the face of the global financial crisis. Around that time, several players emerged promulgating KYC utilities as a way to address industry-wide KYC challenges. At that time, the big four players were SWIFT, Depository Trust & Clearing Corporation (DTCC) (Clarient Entity Hub), Markit-Genpact and Thomson Reuters.
These emerging players offered centralized KYC utilities, controlled by a single entity. Each had a KYC utility pilot, comprised of Tier 1 and 2 financial institutions, to test the validity of the need and understand the technology requirements necessary to make the model work optimally. However, with each utility having separate FI members, the overlap of customers and the ability to re-use customer information between them was significantly diluted.