The FCA’s latest priorities for payments portfolio firms

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On 3 February 2025, the FCA published a Dear CEO letter outlining the FCA’s priorities for payments and e-money firms. The letter follows one of 16 March 2023 that highlighted priorities for payments firms at the time.
The letter sets out the following outcomes for firms:
To achieve these outcomes, the letter outlines the FCA’s priorities and good practices in each area, including making recommendations on governance, oversight and leadership.
Importantly, the letter signals consistency with the Government’s approach to payments set out in the National Payments Vision.
Effective competition and innovation
The FCA acknowledges that Open Banking and the Consumer Duty have benefitted customers, but they remain concerned where products and services are not consistently delivering good customer outcomes or where firms are not acting in customers’ best interests. To assist with this, the FCA has signalled its openness to speaking to firms looking to offer new and innovative products and services and remains committed to supporting firms through its Innovation Hub support services.
From a Consumer Duty perspective, the FCA is broadly concerned with its implementation across regulated firms. However, a sector-specific priority is examining the clarity of foreign exchange pricing in payment services. To address this, the FCA will be assessing the extent to which firms’ approaches help ensure consumers are able to clearly understand the price they pay for such services.
Firms do not compromise financial system integrity
The FCA considers financial crime a key focus. Firms are reminded to read the October 2024 Dear CEO letter on reimbursement requirements for authorised push payment (“APP”) fraud which has been carried out through the Faster Payments System and the Clearing House Automated Payment System (“CHAPS”).
Similarly, the FCA guidance on the new payment delays legislation is essential for firms to digest to protect customers and minimise any impact on legitimate payments.
From an operational resilience perspective, the transitional period for new rules to strengthen operational resilience in the financial services sector ends on 31 March 2025. Firms must have performed mapping and testing to ensure that they are able to remain within impact tolerances for each important business service. For a reminder of the new operational resilience regime, see our previous blog post here.
Firms keep customers’ money safe
Concerns remain, in spite of general improvements to firms’ financial resilience, that customer money may not always be safe if payments firms fail. To address this, the FCA has suggested that firms consider and implement the following:
Governance, oversight and leadership
The FCA regards weaknesses in governance, oversight and leadership as the root cause of many of the regulatory issues they see in the payments portfolio. The FCA outlines that firms should:
Looking ahead
Another policy priority area relevant to the payments industry is revocation of the payments authentication elements of Strong Customer Authentication (“SCA”) and incorporation of the technical standards into the FCA’s rules. The FCA intends to engage with industry, consumer organisations, and other stakeholders on the approach to replacing the SCA, including on the contactless limits.
The letter also makes it clear that firms are expected to discuss and deliver on each of the outcomes. The FCA plans to engage with firms to ensure that this takes place.
This article was written by Matthew Pegler
High standards instil trust and confidence, which are essential for innovation, competition, growth, and the UK’s international competitiveness. We remain concerned that there are still risks of harm to consumers and financial system integrity. Accordingly, in this letter, we have set out three key outcomes for firms, which we believe are essential to good customer outcomes.......
https://www.fca.org.uk/publication/correspondence/payments-portfolio-letter-2025.pdf