Federal Reserve Ends Its Targeted Crypto Oversight Program

By Jack 15 Min Read

The Federal Reserve ends its targeted crypto oversight program, signaling a shift in how the central bank supervises digital asset activities within U.S. banks. This program, originally established to monitor novel risks associated with cryptocurrencies and fintech operations, has been formally retired, and oversight will now occur through standard supervisory frameworks. While the change does not remove regulatory requirements, it reduces the special scrutiny previously applied to banks engaging in crypto services.

Contents
What Does It Mean That the Federal Reserve Ended Its Targeted Crypto Oversight ProgramDefinition of the targeted crypto oversight programTimeline of when the program was introduced and endedScope of activities the program originally coveredHow the Federal Reserve’s Crypto Oversight Program WorkedSupervisory processes used under the targeted programHow crypto and fintech activities were reviewedDifferences from standard bank supervisionWhy the Federal Reserve Ended Its Targeted Crypto Oversight ProgramOfficial reasons cited by the Federal ReserveRegulatory and political context behind the decisionIndustry pressure and policy reassessment factorsWhat Replaced the Targeted Crypto Oversight ProgramReturn to standard supervisory frameworksHow crypto activities are evaluated under normal bank examsOngoing expectations for risk managementRoles and Responsibilities After the Program’s EndResponsibilities of banks engaging in crypto activitiesRole of Federal Reserve examiners going forwardCoordination with other U.S. regulatorsWhy This Decision Matters for the U.S. Financial SystemImpact on financial stability oversightSignals about the Federal Reserve’s regulatory postureBroader implications for innovation and risk balanceBenefits for Banks and Financial InstitutionsReduced regulatory complexityIncreased clarity for crypto-related servicesPotential expansion of permissible activitiesImplications for the Crypto and Digital Asset IndustryChanges in Bank Crypto PartnershipsEffects on custody, payments, and stablecoinsMarket confidence and institutional participationCompliance Expectations Despite the End of Targeted OversightExisting laws and regulations that still applyRisk management and internal controls requirementsReporting and supervisory review obligationsCommon Risks and Misinterpretations of the Policy ChangeMisconception that crypto oversight has ended entirelyOperational and compliance risks for banksRegulatory uncertainty and enforcement exposureTools and Frameworks Banks Use to Manage Crypto RiskGovernance and compliance systemsRisk assessment and monitoring toolsThird-party and vendor oversight mechanismsActionable Checklist for Banks After the Program EndsReviewing existing crypto activitiesAligning policies with standard supervisionPreparing for future regulatory changesHow the Federal Reserve’s Approach Compares to Other RegulatorsComparison with SEC and FDIC oversightDifferences between U.S. and international crypto supervisionRegulatory consistency and gapsFAQsDoes the Federal Reserve ends its targeted crypto oversight program mean crypto is no longer regulated? How will banks offering crypto services be affected by the program ending? Could the Federal Reserve reintroduce a specialized crypto oversight program in the future? What steps should institutions take to prepare for post-program oversight? How does ending the targeted program impact the broader crypto and digital asset industry?

This decision reflects the Federal Reserve’s assessment that it now has sufficient expertise to evaluate crypto-related risks under existing examination processes. By ending the targeted program, banks and the broader digital asset industry can expect more predictable supervision, while regulators maintain their focus on risk management, financial stability, and compliance standards. The move is significant for institutions navigating crypto services, offering clarity without diminishing accountability.

What Does It Mean That the Federal Reserve Ended Its Targeted Crypto Oversight Program

The Federal Reserve ending its targeted crypto oversight program means crypto-related bank activities are no longer supervised under a special, separate framework.
Oversight now happens through the same supervisory processes used for other banking activities.

  • The change removes a crypto-specific supervisory layer

  • Crypto activities are still regulated, just not singled out

  • Standard safety and soundness expectations remain in place

Definition of the targeted crypto oversight program

The targeted crypto oversight program was a specialized supervisory initiative focused on banks’ crypto and fintech activities.
It was designed to monitor novel risks tied to digital assets.

Timeline of when the program was introduced and ended

The program was introduced in 2023 and formally ended in 2025.
The Federal Reserve rescinded the supervisory guidance that created it.

  • Launched after increased concern over crypto-related bank risks

  • Used during a period of market instability

  • Ended once regulators assessed oversight maturity had improved

Scope of activities the program originally covered

The program covered crypto and distributed ledger activities conducted by supervised banks.
It focused on areas viewed as higher risk or less established.

  • Crypto custody and safekeeping services

  • Stablecoin-related activities

  • Blockchain-based payment and settlement systems

How the Federal Reserve’s Crypto Oversight Program Worked

The program worked by applying enhanced supervisory attention to crypto activities outside normal exams.
It relied on targeted reviews rather than routine inspection cycles.

  • Separate monitoring streams

  • More frequent supervisory engagement

  • Early intervention when risks emerged

Supervisory processes used under the targeted program

Supervision relied on specialized reviews rather than standard exam timing.
Banks were evaluated based on activity-specific risk profiles.

  • Dedicated supervisory teams

  • Ongoing dialogue with bank management

  • Focus on governance and controls

How crypto and fintech activities were reviewed

Crypto and fintech activities were reviewed as novel and higher-risk operations.
Examiners emphasized risk identification over historical performance.

  • Forward-looking risk assessments

  • Scenario analysis and stress considerations

  • Emphasis on operational resilience

Differences from standard bank supervision

The program differed by isolating crypto activities from routine bank oversight.
Standard supervision evaluates all activities together.

  • Separate review tracks

  • Higher scrutiny thresholds

  • Less reliance on established supervisory precedents

Why the Federal Reserve Ended Its Targeted Crypto Oversight Program

The Federal Reserve ended the program after determining standard supervision could address crypto risks effectively.
Officials cited increased regulatory experience and clearer expectations.

  • Oversight tools became more mature

  • Crypto risks were better understood

  • Separate treatment was no longer necessary

Official reasons cited by the Federal Reserve

The Fed stated it now has sufficient insight to supervise crypto activities through normal processes.
The change reflects confidence in existing supervisory frameworks.

  • Improved examiner expertise

  • Clearer industry practices

  • Established risk management expectations

Regulatory and political context behind the decision

The decision occurred amid broader debate over regulatory overreach and innovation limits.
Crypto oversight had become a policy flashpoint.

  • Lawmaker scrutiny of specialized supervision

  • Concerns over debanking

  • Pressure to normalize crypto regulation

Industry pressure and policy reassessment factors

Banks and industry groups argued the program created unnecessary friction.
The Fed reassessed whether special treatment remained justified.

  • Higher compliance costs

  • Slower product approvals

  • Competitive disadvantages

What Replaced the Targeted Crypto Oversight Program

The targeted program was replaced by standard supervisory frameworks.
Crypto activities are now reviewed alongside other banking operations.

  • No crypto-only supervisory channel

  • Same exam cycles as other activities

  • Consistent risk-based supervision

Return to standard supervisory frameworks

Banks are now supervised under routine safety and soundness examinations.
Crypto risks are assessed as part of overall risk profiles.

  • Integrated risk reviews

  • Normal exam scheduling

  • Established supervisory methods

How crypto activities are evaluated under normal bank exams

Crypto activities are evaluated based on risk, controls, and compliance outcomes.
They are no longer treated as exceptional by default.

  • Governance and board oversight

  • Financial and operational risk controls

  • Compliance with applicable laws

Ongoing expectations for risk management

Risk management expectations remain high despite the program’s end.
Banks must demonstrate effective controls.

  • Clear risk ownership

  • Documented policies

  • Ongoing monitoring

Roles and Responsibilities After the Program’s End

Responsibilities are now more evenly distributed between banks and examiners.
No special supervisory carve-outs exist.

  • Banks manage crypto risk internally

  • Examiners assess outcomes, not labels

  • Coordination continues across agencies

Responsibilities of banks engaging in crypto activities

Banks remain fully responsible for managing crypto-related risks.
Ending the program does not reduce accountability.

  • Strong governance structures

  • Effective compliance programs

  • Ongoing risk assessments

Role of Federal Reserve examiners going forward

Examiners assess crypto activities as part of normal bank operations.
Focus remains on safety, soundness, and consumer protection.

  • Risk-based evaluations

  • Consistent supervisory standards

  • Escalation when issues arise

Coordination with other U.S. regulators

The Fed continues coordinating with other federal regulators.
Oversight remains multi-agency.

  • SEC for securities-related issues

  • FDIC for deposit and resolution concerns

  • Shared supervisory intelligence

Why This Decision Matters for the U.S. Financial System

The decision signals a shift toward normalized crypto oversight within banking.
It reflects regulatory stabilization.

  • Reduced fragmentation

  • Clearer expectations

  • Greater consistency

Impact on financial stability oversight

Financial stability oversight remains unchanged in its core objectives.
Crypto risks are addressed within existing frameworks.

  • Systemic risk monitoring

  • Capital and liquidity standards

  • Operational resilience checks

Signals about the Federal Reserve’s regulatory posture

The move suggests a more measured and less reactive stance.
The Fed is signaling confidence in its supervisory tools.

  • Less experimentation

  • More consistency

  • Predictable supervision

Broader implications for innovation and risk balance

The change may lower barriers while maintaining controls.
Innovation is not prioritized over safety.

  • Balanced risk approach

  • Clearer pathways for development

  • Reduced uncertainty

Benefits for Banks and Financial Institutions

Banks gain clearer and more predictable oversight.
Supervision becomes easier to plan around.

  • Fewer overlapping reviews

  • Lower compliance complexity

  • Improved operational planning

Reduced regulatory complexity

Removing a special program simplifies supervisory engagement.
Banks interact through one primary oversight channel.

  • Fewer reporting layers

  • Clearer examiner expectations

  • Streamlined governance

Increased clarity for crypto-related services

Banks can better assess what is permissible.
Rules are applied consistently.

  • Clear compliance benchmarks

  • Predictable supervisory responses

  • Better internal decision-making

Potential expansion of permissible activities

Some banks may reassess previously paused initiatives.
Risk appetite decisions become clearer.

  • Custody services

  • Payments infrastructure

  • Tokenized assets

Implications for the Crypto and Digital Asset Industry

The crypto industry gains improved access to regulated banking services.
Barriers tied to special oversight are reduced.

  • Easier bank partnerships

  • Improved infrastructure access

  • Greater legitimacy

Changes in Bank Crypto Partnerships

Banks may reengage with crypto firms more confidently.
Supervisory uncertainty is lower.

  • More service offerings

  • Clearer onboarding processes

  • Reduced compliance friction

Effects on custody, payments, and stablecoins

Core crypto services may see gradual expansion.
Banks can evaluate risks under standard frameworks.

  • Institutional custody growth

  • Blockchain-based payments

  • Stablecoin infrastructure support

Market confidence and institutional participation

Normalized oversight can improve institutional confidence.
Regulatory predictability matters to large players.

  • Increased participation

  • Long-term investment planning

  • Reduced regulatory shock risk

Compliance Expectations Despite the End of Targeted Oversight

Compliance obligations remain fully in force.
Ending the program does not weaken legal requirements.

  • Existing laws apply

  • Enforcement authority remains

  • Supervisory accountability continues

Existing laws and regulations that still apply

Banks must comply with all applicable financial laws.
Crypto activities receive no exemptions.

  • Bank Secrecy Act

  • Anti-money laundering rules

  • Consumer protection laws

Risk management and internal controls requirements

Strong internal controls are still expected.
Crypto activities must meet the same standards as others.

  • Board oversight

  • Internal audits

  • Control testing

Reporting and supervisory review obligations

Reporting duties remain unchanged.
Supervisors can still request detailed information.

  • Activity disclosures

  • Risk reporting

  • Incident notifications

Common Risks and Misinterpretations of the Policy Change

The biggest risk is assuming crypto oversight no longer exists.
That assumption is incorrect.

  • Oversight continues

  • Enforcement authority remains

  • Expectations stay high

Misconception that crypto oversight has ended entirely

Crypto activities are still regulated within banks.
Only the specialized program ended.

  • No regulatory vacuum

  • No reduced scrutiny by default

  • No exemption from supervision

Operational and compliance risks for banks

Banks face risk if they relax controls prematurely.
Supervisors will still assess outcomes.

  • Weak governance

  • Inadequate controls

  • Poor documentation

Regulatory uncertainty and enforcement exposure

Misreading the change can increase enforcement risk.
Assumptions may not align with examiner views.

  • Inconsistent interpretations

  • Policy gaps

  • Reactive compliance fixes

Tools and Frameworks Banks Use to Manage Crypto Risk

Banks rely on established governance and risk frameworks.
Crypto activities fit within existing systems.

  • Enterprise risk management

  • Compliance monitoring

  • Vendor oversight

Governance and compliance systems

Governance frameworks set accountability and controls.
Crypto activities require clear ownership.

  • Board-approved policies

  • Management oversight

  • Compliance escalation paths

Risk assessment and monitoring tools

Risk tools track exposure and performance.
Crypto risks are measured like others.

  • Risk scoring models

  • Ongoing monitoring dashboards

  • Incident tracking

Third-party and vendor oversight mechanisms

Vendor risk management is critical for crypto services.
Many activities rely on external providers.

  • Due diligence reviews

  • Contractual controls

  • Ongoing monitoring

Actionable Checklist for Banks After the Program Ends

Banks should reassess crypto activities under standard supervision.
A structured review reduces risk.

  • Inventory activities

  • Align controls

  • Prepare for exams

Reviewing existing crypto activities

Banks should identify all crypto-related operations.
Visibility comes first.

  • Custody services

  • Technology partnerships

  • Payment solutions

Aligning policies with standard supervision

Policies should reflect normal supervisory expectations.
Crypto should not sit outside core governance.

  • Update risk policies

  • Integrate compliance controls

  • Train staff

Preparing for future regulatory changes

Regulatory conditions can change quickly.
Prepared banks adapt faster.

  • Monitor guidance

  • Maintain flexibility

  • Document decisions

How the Federal Reserve’s Approach Compares to Other Regulators

The Fed’s approach aligns more closely with peer regulators after the change.
Crypto is treated as part of broader financial oversight.

  • Less fragmentation

  • More coordination

  • Clearer roles

Comparison with SEC and FDIC oversight

Each regulator focuses on its statutory mandate.
Overlap remains but roles are clearer.

  • SEC handles securities issues

  • FDIC focuses on depositor protection

  • Fed emphasizes bank safety

Differences between U.S. and international crypto supervision

International regulators vary widely in approach.
The U.S. favors risk-based supervision.

  • EU uses formal crypto frameworks

  • Some jurisdictions impose licensing regimes

  • Others restrict bank involvement

Regulatory consistency and gaps

Consistency has improved, but gaps remain.
Coordination continues to evolve.

  • Overlapping authority

  • Emerging asset classes

  • Cross-border issues

FAQs

Does the Federal Reserve ends its targeted crypto oversight program mean crypto is no longer regulated?

No. Crypto activities within banks are still subject to regulation under standard supervisory frameworks. The program’s end does not remove compliance obligations or oversight authority.

How will banks offering crypto services be affected by the program ending?

Banks now face oversight through normal examination processes, which simplifies supervisory engagement but maintains full risk management expectations.

Could the Federal Reserve reintroduce a specialized crypto oversight program in the future?

Yes. If new risks emerge or market conditions change, the Fed has the authority to establish targeted supervision again.

What steps should institutions take to prepare for post-program oversight?

Banks should review crypto activities, update policies to align with standard supervision, and ensure robust risk management and compliance controls are in place.

How does ending the targeted program impact the broader crypto and digital asset industry?

The industry may experience clearer access to regulated banking services, more predictable oversight, and opportunities for expanded bank–crypto partnerships.

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