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EPC Newsletter
Issue 5 - January 2010

SEPA Credit Transfer (SCT) & SEPA Direct Debit (SDD)

Optional SEPA Direct Debit Scheme in the PipelineAdditional SDD Fixed Amount Scheme provides maximum planning security to consumers and billers

28.01.10 BY Javier Santamaría

INTRODUCTION AND SUMMARY

Based on feedback received during the public consultation leading to the release of the SEPA Scheme Rulebooks to take effect in November 2010, the EPC decided to develop a separate optional SEPA Fixed Amount Direct Debit Scheme (SDD FA). The new optional SDD FA Scheme will apply the default regime defined in the Payment Services Directive (PSD) with regard to refund rights; e.g. the refund right is excluded in cases of authorised transactions when the exact amount of the direct debit collection is agreed between the payer (debtor) and the biller (creditor). This option is contingent upon the payer (debtor) and the biller (creditor) having agreed the exact amount and the frequency of collections in the mandate. The option to exclude the refund right as specified above will be the only feature different from the SDD Core Scheme. The difference with regard to the refund rights for authorised transactions will be clearly highlighted in the mandate underlying a related direct debit collection under the new optional SDD Fixed Amount Scheme to avoid misuse of the feature. Javier Santamaría explains the rationale for the development of this new optional scheme which is envisaged to go live in November 2010.

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The PSD default regime with regard to refund rights in case of authorised transactions when the exact amount of collections is agreed

In the change management process leading up to the preparation of the SEPA Core Direct Debit Scheme Rulebook version 4.0 due to take effect on 1 November 2010, a number of suggestions for change requests were received and were subsequently put into public consultation from 15 June to 15 September 2009.
With regard to the SEPA Core Direct Debit Scheme it had been suggested to the EPC that the mandate underlying a SEPA Direct Debit collection should feature the possibility for a payer (debtor) and biller (creditor) to agree on the exact amount of the collections. For example: a newspaper subscriber (payer / debtor) could agree the exact amount of the monthly payment for the subscription to be collected from his account with the newspaper publisher (biller / creditor). In the case that a payer and a biller agreed on the exact amount of the collection(s) in the mandate, the refund-right for authorised transactions is excluded. The exclusion of the refund right is the default regime stipulated in the PSD in such a scenario.


The SDD Core Scheme Rulebook, by comparison, effectively provides a "no-questions-asked" refund right during eight weeks for authorised direct debit collections.


The EPC accepted the suggestion to provide for a "no-refund" feature as outlined above. However, the EPC decided not to include this feature in the SDD Core Scheme. Instead, the EPC will develop a separate SDD Fixed Amount Scheme for optional use by banks. In the new scheme, the "no-refund" option will be the only feature different from the SDD Core Scheme. A separate scheme helps to implement such a fundamental change, easily explained but quite complex to introduce in an existing Rulebook without inducing confusion to the reader. Most importantly, this approach provides sufficient distinction so that consumers' (payers / debtors) rights are enlightened to ensure adequate protection.


The new optional SDD Fixed Amount Scheme is aimed to facilitate payment for goods and services such as, for example, public transport tickets, concert tickets or lottery tickets. Generally, such goods and services, once provided and consumed, are not subject to consumer redress.

 

Complete consumer protection also under the new optional SDD Scheme

As does the SDD Core Scheme, the additional SDD FA Scheme provides for complete protection of payers (debtors) such as consumers. In the event of unauthorised direct debit collections, the payers right to claim a refund as stipulated in the PSD and, accordingly, in the SDD Core Scheme, extends to thirteen months. Naturally, the right to a refund in case of an unauthorised transaction during a period of thirteen months is granted to the payer also under the new optional SDD FA Scheme, in full compliance with the PSD.

The mandate to be signed by a payer (debtor) authorising a biller (creditor) to collect payments under the new SDD FA Scheme will clearly highlight the difference to the SDD Core Scheme as regards the exclusion of the refund right in case of authorised transactions to avoid misuse of the “no-refund” feature. Also: the mandate to be signed under the new optional SDD FA Scheme will specify the exact amount of the collection as well as the frequency of the collections. In case the biller (creditor) collects a different amount than the amount stated in the mandate or if the biller (creditor) diverts from the frequency of collections agreed in the mandate, the payer can make a claim for a refund stating a case of an unauthorised transaction.

 

Clear separation means no confusion

There are a number of reasons to develop the "no-refund" feature as a separate scheme rather than to include this feature as an option in the current SDD Core Scheme:

The SDD Core Scheme effectively gives the unconditional refund right for authorised transactions within eight weeks. This "no-questions-asked" refund right is viewed as a fundamental principle of the SDD Core Scheme. It is therefore considered confusing for all concerned to introduce a new feature into the SDD Core Scheme which would align the refund rights in case of authorised transactions with the default regime established by the PSD. It is also confirmed that, as a best practice, a separate scheme aimed for this purpose is currently in place in some European marketplaces where these schemes are operated seamlessly and are accepted among payers (debtors) such as consumers and billers (creditors) alike.

Also, the two existing SDD Rulebooks (SDD Core and SDD B2B) already have the e-mandate option as a Rulebook annex and it is felt undesirable to proliferate this approach; i.e. to continue adding annexes to the existing SDD Rulebooks, with possible interference between numerous annexes if other solutions not conveying risk of confusion are available and prove superior.

The clarity afforded by developing a separate optional SDD Fixed Amount Scheme extends to the adjacent deliverables, in particular ensuring that the Implementation Guidelines are kept as straightforward as possible. These adjacent deliverables, e.g. new documents to be delivered by the EPC together with the new SDD FA Scheme Rulebook, include:

  • Interbank and Customer-to-Bank Implementation Guidelines (based on ISO 20022 XML Direct Debit Message Standards).
  • Implementation Guidelines for the e-mandate XML messages.
  • A separate mandate (plus approved translations) and a specific set of layout guidelines. It should be clear that, as for the SDD Core and B2B Schemes, mandate translations will need to be provided in local language and English. It will be a requirement that the mandate which applies the PSD default regime is clearly different from the Core and B2B mandates and clearly states that no refund is applicable for authorised transactions when the exact amount and the frequency of collections are agreed.
  • An adherence pack including the necessary documentation for payment service providers wishing to adhere to the new SDD FA Scheme (see also below).

 

Avoid two mandates in one scheme

As mentioned above, there will be two clearly different mandates, i.e. one for the SDD Core Scheme featuring the "no-questions-asked" refund right for authorised transactions, and one for the new optional SDD Fixed Amount Scheme which excludes the right in case of authorised transactions when amount and frequency of the collections are agreed. These two mandates are best kept apart in separate schemes. Debtor rights will be clear in each case, with fewer possibilities for misunderstandings.

 

Clear distinction between mandatory and optional features

Only those Scheme Participants (payment service providers) wishing to offer the new option would need to refer to the separate SDD FA Rulebook. This is seen as preferable to all Scheme Participants having to navigate a more complex document containing several options, some of which could be irrelevant for readers. With a separate Rulebook for the new optional SDD FA Scheme in place, the SDD Core Rulebook therefore will not contain any material which is of interest only to a select audience.

 

Time to Market

Given the market demand in several communities, the new SDD Fixed Amount Scheme should be launched as soon as possible. The option of a separate scheme places no constraints on this endeavour. Were the "no-refund" option to be included in the SDD Core Scheme, then - in accordance with the timelines underlying the scheme change management process - a one-year freeze period would apply and the feature could only be introduced in November 2011.

It is expected that the new SDD FA Scheme Rulebook will be published in June 2010. The new scheme rulebook, once issued, will follow the same scheme management process and time cycle as the SDD Core Scheme.

 

Separate adherence to the new optional SDD Fixed Amount Scheme is required

There will be a separate adherence process to the new optional SDD FA Scheme for payment service providers wishing to offer services based on this scheme and adherence will only be open for those who also adhere to the SDD Core Scheme. The adherence process is scheduled to commence in the third quarter 2010 so that communities could start delivering the service by November 2010. A separate EPC Register of Participants for the new SDD Fixed Amount Scheme will be published on the EPC web site (along the EPC Participant Registers for SCT, SDD Core and SDD B2B) to provide clarity on which banks are reachable for the new scheme.

As participation in the new SDD FA Scheme will be optional and considering that the “no-refund” feature for authorised transactions is currently common practice only in a few communities and under specific business conditions, it is, for the time being, not an objective to achieve full reachability within SEPA for the SDD FA Scheme. An initial narrow scope will provide more comfort to users that need experience to digest the feature and will be helpful in providing a growing acceptance that, eventually, will foster its use beyond the departing case.

Javier Santamaría is the Chair of the EPC SEPA Payment Schemes Working Group.

 


Related article in previous issue of the EPC Newsletter::

New SEPA Scheme Rulebooks out now. Latest editions address further customer and industry needs (EPC Newsletter, Issue 4, October 2009)

 

1.  Note that the "exact amount"-feature in this context differs from the optional SDD B2B Scheme (which went live on 2 November 2009) where variable amounts are a key requirement of users.

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