oversight, liquidity monitoring and ALCO reporting — can be adapted to manage these exposures. Recent industry guidance recommends that community banks: • Establish exposure limits and clear board-approved policies for any digital-asset activity. • Verify that stablecoin partners maintain one-to-one reserve backing and transparent proof-of-reserves. • Include redemption processes and stress-testing for temporary peg breaks or liquidity delays. TRM Labs notes that the most successful institutions treat stablecoin oversight as part of their enterprise-wide risk management, integrating it into existing frameworks for liquidity, credit and third-party risk. This includes establishing escalation paths for peg deviations, conducting independent reserve reviews and maintaining contingency playbooks for temporary redemption halts. For banks, this means folding stablecoin exposure into current governance processes — not reinventing them. The same principles that guide vendor management, correspondent relationships and funds availability policies apply here as well. The firm’s blueprint also highlights the importance of governance discipline. Banks should document risk ownership and assign executive accountability for digital-asset exposure, with quarterly reporting to the board. Monitoring tools for wallet flows and blockchain analytics can enhance visibility into transaction patterns and facilitate early warning detection of suspicious activity or liquidity stress. Navigating Uncertainty: Practical Next Steps As stablecoins transition from experimental pilots to mainstream payment rails, the challenge for banks is striking a balance between innovation and safety. Larger institutions are already demonstrating use cases for programmable payments and nearinstant settlement — developments worth monitoring as regulatory clarity improves under the GENIUS Act. Community banks don’t need to issue or hold stablecoins directly to prepare for this shift. A practical first step is simply assessing the exposure points within their own operations — identifying where counterparties or payment processors are beginning to use tokenized settlement, understanding transaction flows and ensuring oversight processes remain sound. Resilience begins with preparation. Banks should regularly test how potential disruptions, such as blockchain outages, counterparty issues or redemption delays, could affect liquidity or customer access. Scenario testing, already familiar from ALCO and business continuity planning, can readily extend to new payment environments. Equally important is staff readiness. Employees should be trained on redemption procedures, reporting requirements and customer communication during periods of stress or market volatility. Clear policy reviews and tabletop exercises help frontline teams understand where stablecoins may intersect with liquidity and payments, ensuring readiness without direct exposure. Regulatory Edge: Why This Matters Now • Federal guardrails. The GENIUS Act provides banks with clear boundaries for what stablecoin activity is permitted, helping to avoid regulatory pitfalls. • Risk management required. Ongoing reserve audits, conservative exposure limits and stress tests protect deposit bases and reputations. Strong governance and contingency plans further strengthen resilience. • Payments upgrade. New standards allow financial institutions to credibly offer faster, programmable and cross-border payments for clients through trusted partners. • Competitive positioning. Early movers can differentiate by integrating digital-asset capabilities under a well-defined compliance umbrella. Recent applications for federal charters suggest that this competitive landscape is expanding rapidly — opening doors for community banks to collaborate with regulated issuers and established financial institutions that are already investing in digital-asset operations. The Bottom Line Stablecoins are moving from headlines to infrastructure — and regulation is catching up. For community banks, the GENIUS Act doesn’t mean launching crypto products. It means they can now explore modern payment capabilities with clearer guardrails and less risk. Banks that extend their existing governance, vendor risk and liquidity practices to digital payments will be best positioned to participate confidently. Innovation doesn’t have to come at the expense of safety, and with regulatory clarity, community banks can finally compete on both. To continue this discussion, or for more information, please contact me at mjohnson@pcbb.com. Michael A. Johnson is senior vice president and Southwest regional manager at PCBB. Dedicated to serving the needs of community banks, PCBB’s comprehensive and robust set of solutions includes cash management services such as Settlement and Liquidity for the FedNow Service, international services, lending solutions and risk management advisory services. 19
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