FDIC Proposes Stablecoin Rule for GENIUS Act Implementation
Summary
Jones Day summarizes the FDIC's April 10, 2026 proposed rule to implement the GENIUS Act for permitted payment stablecoin issuers (PPSIs) and FDIC-supervised custodians. The proposal establishes permitted/prohibited activities, 1:1 reserve requirements, $5 million minimum capital during the three-year de novo period, two-business-day redemption windows, and custody standards for stablecoin reserves.
What changed
Jones Day analyzes the FDIC's proposed rule implementing the GENIUS Act for permitted payment stablecoin issuers and FDIC-supervised custodians. The proposal covers permitted activities (issuing, redeeming, reserve management, limited custody), prohibited activities (paying interest, pledging reserves, providing credit for purchases), and establishes reserve requirements at a 1:1 ratio with monthly audits, a $5 million capital floor during the three-year de novo period, and two-business-day redemption windows with FDIC notification if redemption requests exceed 10% in 24 hours.
Banks and FDIC-supervised institutions considering stablecoin issuance should monitor this rulemaking and prepare for compliance with capital, reserve, and custody standards. The proposal clarifies that beneficial stablecoin owners are not covered by FDIC insurance and that stablecoin reserve deposits are insured only as corporate deposits. The OCC and NCUA have issued parallel proposals under the GENIUS Act, creating a coordinated federal regulatory framework for stablecoin issuers.
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Apr 16, 2026GovPing captured this document from the original source. If the source has since changed or been removed, this is the text as it existed at that time.
April 16, 2026
FDIC Proposes Stablecoin Rule for GENIUS Act Implementation
Nathan Brownback, Trevin Crider, Michael Dawson, Paul DiPadua, Abradat Kamalpour, Nick Podsiadly, Laura Pruitt, Mark Rasmussen, Michael Rust Jones Day + Follow Contact LinkedIn Facebook X ;) Embed
On April 10, 2026, the Federal Deposit Insurance Corporation ("FDIC") proposed a new rule to implement the requirements of the Guiding and Establishing National Innovation for U.S. Stablecoins Act (the "GENIUS Act") for permitted payment stablecoin issuers ("PPSIs") and FDIC-supervised custodians.
The proposed rule would establish a comprehensive regulatory framework for FDIC-supervised PPSIs. The proposal follows the FDIC's earlier proposed rulemaking in December 2025, which outlined the application procedures for banks seeking to issue stablecoins through a subsidiary. The OCC and the National Credit Union Association have also issued proposed rules under the GENIUS Act, as discussed in our prior Commentary, " The GENIUS Act in Action: The OCC Proposes Stablecoin Regulations." The FDIC's proposed rule generally follows these recent OCC and NCUA proposals.
Key Provisions of the FDIC's Proposed Requirements for Stablecoin Issuers
- Permitted and Prohibited Activities. PPSIs may engage in four "core" activities: (i) issuing payment stablecoins; (ii) redeeming payment stablecoins; (iii) managing reserves for payment stablecoins; and (iv) providing limited custody services. PPSIs are prohibited from paying interest or yield on stablecoins, pledging or rehypothecating reserve assets (subject to limited exceptions), and providing credit to customers to purchase stablecoins.
- Reserve Requirements. PPSIs must maintain reserves that fully back outstanding stablecoins at a 1:1 ratio, publish monthly reserve composition reports audited by a registered public accounting firm, and limit exposure at any single eligible institution to 40% of total reserve assets.
- Redemption. Stablecoins must be redeemable within two business days. If redemption requests exceed 10% of outstanding issuance within 24 hours, the PPSI must immediately notify the FDIC and may request an extension of the redemption period.
- Capital. The FDIC would establish a $5 million floor as a minimum capital requirement during a three-year de novo period. PPSIs must also maintain an operational backstop of highly liquid assets separate from reserves.
- Custody Standards. FDIC-supervised custodians must treat stablecoin reserves and collateral as customer property, protect assets from creditor claims, and, subject to limited exceptions, may not commingle customer assets with their own.
- Deposit Insurance Clarifications. Beneficial owners of stablecoins are not covered by the insurance of the FDIC. The proposal clarifies that deposits held as stablecoin reserves are insured only as corporate deposits of the PPSI, rather than on a pass-through basis. The proposal also confirms that tokenized deposits are not a separate category under the Federal Deposit Insurance Act. The FDIC's latest proposal contributes to the broader effort by the United States to provide regulatory clarity and encourage PPSIs to operate onshore.
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