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A New Approach to Banking

A New Approach to Banking. Extending the use of Jam Jar Accounts in the UK. April 2011. The case for a new approach to banking.

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A New Approach to Banking

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  1. A New Approach to Banking Extending the use of Jam Jar Accounts in the UK April 2011 Social Finance is Authorised and Regulated by the Financial Services Authority FSA No: 497568

  2. The case for a new approach to banking The current ‘free-if-in-credit’ bank account model does not appropriately meet the needs of many consumers in the UK who are operating on low incomes or with poor financial management skills. • Having a bank account is seen as fundamental by most people in the UK. They play a key role in enabling better access to affordable goods and services, other essential financial products like low cost loans and insurance, and even employment. • Since the creation of the Financial Inclusion Taskforce in 2005 there has been some improvement in the take-up of bank accounts in the UK. The number of working age adults without access to a transactional (current or basic) bank account is estimated to have fallen from 3.57 million in 2002/03 to 1.54 million in 2010. • However, many individuals on low incomes still choose to manage their finances in cash, limiting their access to affordable goods and services. Many more incur high levels of penalty charges each month due to bounced payments or unauthorised overdrafts. • Existing models of ‘free if in credit’ high street banking were not designed to meet the needs of individuals on low incomes or with poor financial management skills. • HM Treasury commissioned Social Finance to explore and assess the commercial viability of new bank account products that actively support consumers to manage their money, reducing the risk of debt and bill payment arrears, while enabling access to lower cost products and services through automated bill payments and online shopping.

  3. Why does banking failure matter? Access to appropriate banking should lead to significant financial and quality of life benefits. • Families on low incomes pay more for goods, services and financial products; a ‘poverty premium’. Appropriate bank accounts can be a portal to both better value financial services and more affordable utilities and consumer goods. • Appropriate banking products also reduce the less visible costs of financial exclusion – the time and money excluded consumers spend travelling to and queuing at branches or newsagents to pay bills. • Access to an appropriate bank account brings significant psychological benefits: • Consumers feel that their money will be held securely until they need it, leading to greater peace of mind. • Support to make automated bill payments could help consumers to avoid falling into arrears and debt which can exert huge pressure on people’s lives leading to anxiety and depression. • Not having access to a bank account can lead people to feel socially excluded. Having an account is essential for most jobs, so not having a bank account can act as both a practical and psychological barrier to finding employment. • Low income consumers who have recently opened a bank account report that it makes them feel more independent and confident, and more like everybody else.

  4. Why do existing banking models fail people? Current high street bank accounts fail some people because they are less transparent than cash management, there is less perceived control over payments and consumers fear incurring large penalty fees. Part of the preference for cash management among both the banked and the unbanked comes from a greater sense of transparency and control. This is particularly important for people managing on low incomes, “you pay by cash because you know where you are from one day to the next.” Transparency and control Fear of penalty fees Account management challenges • Consumers know that existing bank accounts may charge them large penalty fees if there are insufficient funds in their account to make a payment, “you might be £1 short and then you get charged £24.” • Such fees can put a huge amount of pressure on already tight household finances. • For such households, the decision not to fully engage with existing banking products may be very rational. • Many consumers worry about not being in control of the timing of automated payments, such as direct debits. • Variations in earned income as a result of shift work or casual labour can also make automated payments difficult to manage. • This is particularly problematic if the value of payments varies from month to month with service usage (e.g. telephone bills).

  5. Who could benefit from a new approach to banking? Social Finance estimates that up to 9 million UK consumers are not currently benefiting from existing high street bank accounts. While the unbanked and basic bank account holders tend to have low incomes and high levels of benefit use, penalty fee paying current account holders are a diverse range of individuals in terms of both income and financial capability. 5

  6. What do these consumers want? No single banking product will meet the needs of everyone who is not currently benefiting from banking. However, consumer research indicates that a significant proportion would benefit from an account with the following core account functions. Core Account Functions These functions emulate those offered by most high street banks’ basic and current accounts, but offer significant additional functionality for those transitioning from Post Office Card Accounts or cash management. The removal of penalty fees is important to give consumers confidence and encourage usage of automated payments. 1. Ability to receive funds from a range of sources (wages, benefits, cash, cheques and electronic transfers); 2. Ability to withdraw money at any time from free to use ATMs and to make smaller value cash withdrawals via payment networks; 3. A payment card that can be used to buy goods and services in shops and online; 4. Automated bill payment facilities (one-off payments, standing orders and direct debits); 5. No penalty fees or unauthorised overdrafts.

  7. What do these consumers want? Our review of existing research around consumer needs also revealed a set of budgeting account functions that would support these consumers to stay on top of their finances. Budgeting Account Functions 1. Ability to get real time updates on balances, receipts and spending; 2. Ability to subdivide account balance into ‘Jam Jars’ for spending, saving and bill payment; These functions extend those offered by most high street bank accounts, to offer consumers some of the transparency and convenience they value in cash budgeting, while improving support to help them manage their money with greater confidence. 3. Ability to move funds between Jam Jars in real time; 4. Automated balance warnings if the account is low on funds or does not have sufficient funds to make forthcoming bill payments; 5. Automated sweeps of funds between Jam Jars to support budgeting and improve bill payment behaviour; 6. Timing of bill payments aligned with timing of income; 7. Support to set-up and manage payment of regular bills.

  8. Proposed Jam Jar Account structure Conversations with providers of bank accounts and banking systems, undertaken in the course of this research indicate that these needs may best be met by an account with the following structure: Benefits Earned Income One-off Cash / BACS / Cheques Payments Bill Account Spending Account Savings Account(s) Pre-Paid Card Housing Gas / Electricity Water Council Tax / TV Licence Telephone / Television / Internet One-off BACS Payments Online Purchases Store Purchases Cash Withdrawals

  9. Jam Jar Account features The Jam Jar Account differs from most high street accounts in three significant ways: To support consumers to stay on top of their finances, we propose that income coming into the Jam Jar Account is split into a number of different pots or ‘Jam Jars’. Research suggests that this would emulate the way that many individuals currently manage in cash. Division of account balance into Jam Jars Supported bill payment mechanism Supported account management To support consumers to improve their bill payment behaviour, we propose that the Jam Jar Account operates on the basis of a system of automated balance forecasts, customer alerts and transfers of funds between Jam Jars. A call centre staffed by trained ‘Money Managers’ could support customers to set-up and manage changes to income and bill payments, advise customers on budgeting and refer account holders to specialist consumer services, like Citizens Advice Bureaux or debt advice agencies, where necessary.

  10. Do Jam Jar Accounts already exist? Our screening process identified four UK accounts that seemed to fit closely with the needs of those not currently benefiting from banking. The existence of banking products with Jam Jar Account features in the UK raises questions around why the uptake of such accounts is not higher if they meet reported consumer needs so well. At present we estimate that only around 150,000 UK consumers are taking advantage of such accounts.

  11. If these accounts meet consumer needs so well, why is take-up so limited? In order to improve the take up of Jam Jar Accounts , it is likely that the following elements will need to be addressed: Price Unlike free if in credit high street bank accounts, Jam Jar Account providers do not currently rely on penalty charges or financial product cross-sales to cover their costs. Existing accounts charge consumers fixed fees of £12.50 - £14.50 per month.* Unfortunately, this can put these accounts out of the reach of many individuals on lower incomes. Providers Most existing providers of accounts with Jam Jar features are relatively new / specialist companies with low consumer brand recognition. To increase take-up, Jam Jar Accounts may need to be offered through providers with trusted consumer brands like high street banks, Credit Unions, retail payment networks such as Paypoint, or the Post Office. Profile There is limited awareness of the existence of accounts with Jam Jar features among the UK population. Much of the existing customer base has been driven by referrals from debt management companies. Without greater awareness of the potential benefits of such accounts, uptake is unlikely to increase. * With the exception of Royal Bank of Scotland’s Money Manager account, which is provided at no charge to consumers, but is only made available to existing RBS customers that are considered to be a bad debt risk for the bank.

  12. How could Jam Jar Account uptake be improved? PRICE Social Finance analysis indicates that, to be commercially viable, a new provider offering a full function Jam Jar Account would need to generate revenue of £5-7 per account per month.* While we would expect many consumers to be willing to pay fees that cover the full costs of an account, it may be necessary to identify alternative income streams to ensure take-up among financially vulnerable groups. Consumer Fees Service Provider Fees Research indicates that even consumers on low incomes could be willing and able to pay in the region of £1-1.50 per week (£4-6 per month) for bank accounts that offer them support with financial management and peace of mind that their bills will be paid Social Finance research with a range of service providers (housing associations, utility companies, local authorities and telecoms companies) indicates that there could be a commercial case for them to support the costs of Jam Jar Accounts for high cost to serve customers if usage improved bill payment. Government Contributions Account Provider Revenues There may be a case for Government to financially support Jam Jar Account take-up by some benefit recipients. Proposals to shift from weekly or fortnightly, to monthly or 4-weekly benefit payment may prove difficult to manage for some recipients and vulnerable consumers may struggle to stay on top of their bill payments without support. Account providers could generate additional revenues through cross-subsidisation of products or customers. Such cross-subsidisation plays a central role in funding existing free high street bank accounts. If products (e.g. affordable loans or insurance) were carefully designed to meet consumer needs this could promote further financial inclusion. 12 * It is highly likely that the costs to account providers with existing systems, customers and financial products would be significantly less.

  13. How could Jam Jar Account uptake be improved? PROFILE & BRANDING Social Finance believes that raising consumer awareness of Jam Jar Accounts will be essential to maximise account uptake. Harnessing trusted consumer brands like the Post Office, third sector providers such as Credit Unions, retail payment networks like Paypoint and high street banks would help to improve the attractiveness and increase the uptake of Jam Jar Accounts. • Social Finance believes that referrals from trusted service providers (e.g. housing associations, utility companies, Citizens Advice Bureaux, etc.) will play an important role in raising the profile of Jam Jar Accounts to the consumers that would benefit from them most. • We believe that access to Jam Jar Accounts would be attractive to consumers across the income spectrum. If high quality products are available in the market, in time it is likely that word of mouth would play a significant role in driving account take-up. • Consumer research indicates that a market of multiple providers of Jam Jar Accounts would be preferable as brand preferences differ: • The unbanked express a preference for Post Office and other trusted non-high street bank brands (e.g. Paypoint and supermarkets); • Those currently not benefiting from high street accounts express a preference for staying with a recognised high street bank or building society. • A market of multiple providers would also generate a number of other benefits. These include creating the conditions to ensure ongoing product innovation and service improvement, and reassuring potential referrers that they are promoting a class of financial products rather than a specific account. 13

  14. Recommendations Social Finance believes that there would be considerable value to supporting the take-up of Jam Jar Accounts in the UK.  This report indicates that, if taken up at scale, it should be possible to make Jam Jar Accounts available at a price that would be affordable for low income consumers. • If Government agrees with our findings, we believe that there is scope for them to play an important role in supporting the take-up of Jam Jar accounts in the UK. • Before pushing for roll-out at scale however, we believe that there could be considerable value to funding further research through a pilot of lower cost Jam Jar Accounts to a limited number of consumers. • Such a pilot would demonstrate market demand, maximise the potential to generate interest from a range of potential account providers and demonstrate the case for account revenues from service providers to reduce consumer costs for financially vulnerable customers. • Subject to the findings of such further research, the Government could maximise the social benefit from greater take-up of Jam Jar Accounts by: • Encouraging a range of providers with trusted consumer brands to explore the potential to offer Jam Jar Accounts to consumers, either directly or via existing providers, with consumer fees appropriate to customer circumstances; • Negotiating a system of fees payable to Jam Jar Account providers from service providers (e.g. utility companies, social landlords, etc.) that would benefit from better bill payment, to reduce the fees that consumers on low incomes or in financial difficulty would have to pay for the account; • Approving Government support to Jam Jar Account providers to offer low fee or fee-free Jam Jar Accounts to vulnerable benefit recipients to support their transition to Universal Credit. 14

  15. Further information The research referred to in this presentation was undertaken by Social Finance for the Financial Inclusion Taskforce at HM Treasury between August 2010 and March 2011. Social Finance is an FSA regulated, non-profit organisation with a mission to accelerate the flows of non-government capital to address difficult social issues in the UK. Social Finance’s team brings together individuals with expertise in finance, strategy consultancy and the social sector. Copies of our full report can be downloaded from Social Finance’s website: www.socialfinance.org.uk For further information please contact Louise Savell, Associate Director, Social Finance: Email: louise.savell@socialfinance.org.uk. Telephone: 020 7667 6370 DISCLAIMER Neither Social Finance nor any of its affiliates, directors, officers, employees or agents are responsible for any advice, information, guidance, product or service provided by any third party product or service provider referred to in this presentation. Social Finance has not assumed any responsibility for independent verification of the information contained herein or otherwise made available in connection to with the Report. Neither Social Finance nor any of their respective affiliates, directors, officers, employees or agents makes any express or implied representation, warranty or undertaking with respect to this Report, and none of them accepts any responsibility or liability as to its accuracy or completeness. 15

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