Mina and Cross-Chain Interoperability: Connecting Blockchains for Seamless Integration

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Understanding Mina and Cross-Chain Interoperability

What is Mina?

Mina is a groundbreaking cryptocurrency project that aims to revolutionize the blockchain industry through its unique approach to scalability and decentralization. Unlike traditional blockchains that face challenges as transaction volume increases, Mina maintains a constant blockchain size by leveraging zk-SNARKs, a cutting-edge technology. zk-SNARKs enable Mina to reduce the size of transaction data while preserving its integrity, resulting in faster transaction processing, lower fees, and an improved user experience. Moreover, Mina’s lightweight blockchain design promotes decentralization, allowing anyone to participate in the network and contribute to its security and consensus mechanisms. By addressing scalability issues and prioritizing decentralization, Mina paves the way for a more efficient and accessible blockchain ecosystem.

Mina’s groundbreaking cryptocurrency project aims to revolutionize the blockchain industry by focusing on scalability and decentralization. By employing the unique technology of zk-SNARKs, Mina maintains a constant blockchain size regardless of the number of transactions. This scalability breakthrough ensures faster transaction processing, lower fees, and an enhanced user experience. Additionally, Mina’s commitment to decentralization fosters a democratic and robust ecosystem, allowing anyone to participate in the network and contribute to its security. With its innovative approach, Mina sets the stage for a more efficient and accessible blockchain ecosystem that can drive the industry forward.

The Significance of Cross-Chain Interoperability

As the blockchain ecosystem continues to expand, the need for seamless integration between different blockchain networks becomes increasingly important. Cross-chain interoperability enables the transfer of assets and data across multiple blockchains, unlocking a myriad of possibilities for decentralized applications (dApps) and decentralized finance (DeFi).

Mina: Pioneering Cross-Chain Interoperability

Bridging Blockchains with Mina

Mina is at the forefront of cross-chain interoperability, providing a robust framework for connecting different blockchains. By leveraging its zk-SNARKs technology, Mina enables efficient and secure transfer of assets and data across various chains. This capability opens up endless opportunities for developers and users alike.

Advantages of Mina’s Cross-Chain Interoperability

  • Scalability: Mina’s zk-SNARKs technology ensures that the blockchain remains lightweight and scalable. This scalability is essential for accommodating the growing demands of decentralized applications and supporting increased transaction volumes.
  • Enhanced Privacy: Mina’s privacy-focused approach enables users to transact and interact with other blockchains while preserving their privacy. The integration of zk-SNARKs allows for secure and anonymous transactions, protecting sensitive user information.
  • Interconnectivity: By connecting various blockchains, Mina promotes collaboration and synergy between different decentralized ecosystems. Developers can leverage the unique features of different chains, leading to the creation of more powerful and versatile applications.
  • Reduced Complexity: Mina simplifies the process of interacting with different blockchains. Through its cross-chain interoperability framework, users can seamlessly access and utilize assets and functionalities from disparate networks, eliminating the complexities of managing multiple wallets and accounts.

Real-World Applications of Mina’s Cross-Chain Interoperability

DeFi and Mina

Mina’s cross-chain interoperability is particularly valuable in the decentralized finance (DeFi) space. DeFi protocols can leverage Mina’s technology to interact with multiple blockchains, accessing liquidity and assets from different networks. This interconnectivity enhances the efficiency and effectiveness of DeFi applications, unlocking new possibilities for users and developers.

Cross-Chain NFT Marketplaces

Non-fungible tokens (NFTs) have gained immense popularity in recent years. Mina’s cross-chain interoperability offers exciting opportunities for NFT marketplaces. Artists and collectors can showcase their creations across multiple blockchains, expanding their reach and audience. Mina’s technology ensures that the ownership and provenance of NFTs are securely preserved during cross-chain transactions.

Decentralized Exchanges (DEXs)

Decentralized exchanges play a pivotal role in the cryptocurrency ecosystem. With Mina’s cross-chain interoperability, DEXs can access liquidity and trading pairs from various blockchains, facilitating seamless asset exchange. This integration fosters a vibrant and diverse trading environment, enhancing liquidity and market efficiency.

Conclusion

Mina’s innovative approach to cross-chain interoperability has the potential to reshape the blockchain landscape. By connecting different blockchains and enabling seamless integration, Mina empowers developers and users to harness the full potential of decentralized applications. Whether in the realms of DeFi, NFTs, or decentralized exchanges, Mina’s technology paves the way for a more interconnected and efficient blockchain ecosystem.To stay ahead in the ever-evolving world of digital marketing, it’s essential to understand the latest trends and technologies. Embracing Mina’s cross-chain interoperability and staying up-to-date with emerging blockchain developments can help businesses unlock new opportunities and maintain a competitive edge.

Cracking the Code: Exploring the Potential of SCRT in the Blockchain Space

  The blockchain space has witnessed significant growth and innovation in recent years. As new technologies and projects emerge, one platform that has gained attention is Secret Network (SCRT). In this article, we will delve into the potential of SCRT and how it is poised to revolutionize the blockchain industry. You may click here to start your trading journey now!

Understanding Secret Network

Secret Network is an open-source blockchain protocol that enables privacy-preserving smart contracts. Built on the Cosmos SDK, it provides developers with a secure and scalable platform to build decentralized applications (dApps) with enhanced privacy features. SCRT, the native cryptocurrency of Secret Network, powers the network and serves as a medium of exchange within the ecosystem.

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Enhanced Privacy and Confidentiality

One of the key features that sets Secret Network apart is its focus on privacy. Traditional blockchain networks lack privacy by default, as transaction details and smart contract data are visible to all participants. However, Secret Network employs a unique approach called “secret contracts” to address this issue.

Secret contracts enable encrypted inputs, outputs, and state within the smart contracts. This means that sensitive data remains hidden from validators and other network participants, ensuring confidentiality. This enhanced privacy feature opens up a wide range of possibilities for businesses and individuals looking to leverage blockchain technology without compromising sensitive information.

Use Cases and Applications

The potential use cases for Secret Network and SCRT are diverse and far-reaching. Let’s explore a few areas where this platform can make a significant impact:

  • Finance and DeFi

Secret Network can revolutionize the finance sector by enabling privacy-preserving decentralized finance (DeFi) applications. With Secret Network, users can engage in activities such as lending, borrowing, and trading without exposing their financial data to the public. This privacy-enhanced DeFi ecosystem can attract users who prioritize data confidentiality and security.

  • Supply Chain Management

Supply chains often involve sensitive data such as trade secrets, product formulations, and supplier details. By utilizing Secret Network, businesses can build secure and private supply chain management solutions. They can track and verify the authenticity of goods while maintaining confidentiality, protecting proprietary information from competitors and unauthorized parties.

  • Healthcare and Data Sharing

In the healthcare industry, data privacy is of utmost importance. Secret Network can enable secure and private data sharing between healthcare providers, researchers, and patients. Medical records, clinical trial data, and genomic information can be stored on the blockchain, allowing authorized access while preserving patient confidentiality.

  • Gaming and NFTs

The gaming industry has embraced blockchain technology, particularly in the realm of non-fungible tokens (NFTs). Secret Network can add an extra layer of privacy to NFTs, allowing gamers to retain ownership of their assets without revealing sensitive details. This can enhance the user experience and ensure the integrity of in-game assets.

Advantages of Secret Network

Now that we have explored the potential use cases, let’s highlight the advantages of Secret Network and why it stands out in the blockchain space:

  • Privacy by Design

Unlike many other blockchain networks, Secret Network prioritizes privacy from the ground up. By default, all transactions and smart contract inputs remain encrypted, ensuring that sensitive information is protected.

  • Scalability and Interoperability

Secret Network is built on the Cosmos SDK, which provides a scalable and interoperable framework for blockchain development. Developers can build their applications on Secret Network and easily integrate with other Cosmos-based chains, expanding the ecosystem’s potential.

  • Secure Computation

Secret Network leverages secure multi-party computation (sMPC) to perform computations on encrypted data. This allows for privacy-preserving data analysis and processing, enhancing the overall security of the network.

  • Community and Governance

The Secret Network community is vibrant and actively involved in the platform’s development. Through on-chain governance, token holders can participate in decision-making processes, ensuring a decentralized and inclusive ecosystem.

Conclusion

Secret Network and SCRT present a promising avenue for the future of blockchain technology. With its privacy-focused approach, Secret Network enables a wide range of use cases across various industries. From finance to supply chain management, healthcare to gaming, the potential for innovation is immense.As blockchain technology continues to evolve, it is crucial to explore solutions that prioritize privacy and confidentiality. Secret Network’s unique approach with secret contracts opens up new possibilities for businesses and individuals seeking secure and private blockchain solutions. Embrace the potential of SCRT and join the revolution in the blockchain space.

Tron: Building a Decentralized Internet for Content Creators

  Tron is an innovative blockchain-based platform that aims to revolutionize the way content creators interact with the internet. With its focus on Delegated Proof of Stake, Tron offers a promising solution for artists, musicians, writers, and other creators seeking more control over their work and fair compensation for their contributions.

In this article, we will delve into the concept of Tron, exploring its core principles, features, and the potential impact it can have on the content creation landscape. Let’s embark on this journey to uncover the transformative power of Tron and how it is shaping the future of the internet.

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What is Tron?

Decentralization at its Core

Tron is a blockchain-based platform that aims to build a decentralized internet ecosystem. It provides a transparent and secure infrastructure for content creators to directly connect with their audience without the need for intermediaries. By leveraging blockchain technology, Tron ensures that creators have full control over their intellectual property rights and are fairly rewarded for their work.

Smart Contracts and Token Economy

At the heart of Tron’s ecosystem are smart contracts. These self-executing contracts enable seamless interactions between content creators, consumers, and various decentralized applications (dApps) within the Tron network. Smart contracts eliminate the need for intermediaries, reducing costs and enabling faster transactions.

Tron’s native cryptocurrency is called TRX. It acts as the fuel that powers the Tron network, facilitating transactions and incentivizing content creators. With TRX, creators can monetize their content directly, without the constraints imposed by traditional platforms.

Cutting-edge Technology: Tron Virtual Machine (TVM)

Tron’s technology is driven by the Tron Virtual Machine (TVM), a Turing complete virtual machine specifically designed for the Tron blockchain. TVM ensures compatibility with the Ethereum Virtual Machine (EVM), allowing for seamless migration of existing Ethereum dApps to the Tron network. This interoperability opens up a vast array of possibilities for developers and content creators.

Benefits for Content Creators

Ownership and Control

One of the key advantages Tron offers to content creators is the ability to maintain ownership and control over their creations. Traditional platforms often exercise strict control over content, making it challenging for creators to protect their intellectual property rights. With Tron, creators can publish their work directly on the blockchain, ensuring secure ownership and control throughout the content lifecycle.

Direct Monetization

Tron enables content creators to monetize their work more directly and efficiently. By eliminating intermediaries, creators can establish direct relationships with their audience and receive payments instantly. The transparent nature of blockchain technology ensures that creators receive fair compensation for their contributions, without the need to navigate complex revenue-sharing models.

Community Building and Engagement

Tron fosters a vibrant community where creators can connect with their audience on a deeper level. Through dApps built on the Tron network, creators can engage in real-time interactions, host live events, and receive immediate feedback from their fans. This direct line of communication strengthens the bond between creators and their supporters, leading to more meaningful collaborations and opportunities.

The Future of Content Creation with Tron

Tron has the potential to reshape the landscape of content creation, empowering individuals to take control of their digital presence. By removing barriers and intermediaries, Tron allows creators to focus on what they do best—creating remarkable content.

A Fairer Economy

With Tron’s token economy, content creators are no longer at the mercy of centralized platforms that dictate terms and siphon off substantial portions of revenue. Tron’s transparent and decentralized approach ensures a fairer distribution of wealth, enabling creators to receive the value they truly deserve.

Innovation and Collaboration

Tron’s open ecosystem encourages innovation and collaboration among creators. With access to a wide range of dApps and tools, creators can explore new possibilities and push the boundaries of their craft. The synergy between developers, artists, and entrepreneurs within the Tron community fosters an environment conducive to groundbreaking projects and creative breakthroughs.

In conclusion, Tron presents an exciting vision for a decentralized internet, where content creators, such as those on Bitcoin Era which is an Online trading platform, are at the forefront of their digital journey. By leveraging blockchain technology, Tron offers a transparent, secure, and efficient platform that empowers creators with ownership, control, and direct monetization. With Tron, the future of content creation is brighter than ever, and the possibilities for creators are limitless.

Understanding MX Token: The Key to Unlocking Its Potential

  In today’s digital landscape, cryptocurrencies, including Bitcoin Era which is an online trading platform, have emerged as a revolutionary force, disrupting traditional financial systems and offering new opportunities for individuals and businesses alike. Among the vast array of cryptocurrencies, MX Token stands out as a formidable player with immense potential. In this article, we delve into the intricacies of MX Token, exploring its unique features, use cases, and the reasons why it holds the key to unlocking a world of possibilities. Looking for a safe cryptocurrency trading platform to invest in Bitcoin? Then have a look at this source

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Introduction to MX Token

MX Token is a revolutionary form of digital currency built on the Ethereum blockchain. It leverages advanced technologies to facilitate secure, efficient, and transparent transactions. Functioning as a utility token, MX Token plays a vital role within the MXC ecosystem, providing users with access to a wide range of services, opportunities for governance participation, and the ability to take advantage of a flourishing digital economy.

Operating on the Ethereum blockchain, MX Token harnesses the power of decentralized technology to ensure the integrity and reliability of transactions. This blockchain-based approach eliminates the need for intermediaries, such as banks or financial institutions, resulting in faster and more cost-effective transfers.

As a utility token, MX Token serves as the foundation of the MXC ecosystem, a thriving digital network that encompasses various services and applications. Users can utilize MX Token to access services like data trading, IoT device connectivity, and asset digitization, among others. By holding and using MX Token, individuals can unlock the full potential of the MXC ecosystem, benefiting from its diverse offerings.

Furthermore, MX Token empowers token holders to participate in governance decisions within the MXC ecosystem. Through a decentralized governance model, users can contribute their opinions and ideas, and collectively shape the future development of the platform. This democratic approach fosters transparency and inclusivity, ensuring that the community’s interests are considered in decision-making processes.

In addition to its utility within the ecosystem, MX Token presents opportunities for individuals to thrive in the digital economy. By actively engaging with the MXC ecosystem and utilizing MX Token, users can explore avenues for investment, trading, and entrepreneurship. The token’s liquidity and market availability enable users to seize potential financial benefits and contribute to the growth of the ecosystem.

The Advantages of MX Token

  • Decentralization: One of the key advantages of MX Token lies in its decentralized nature. Powered by blockchain technology, MX Token eliminates the need for intermediaries, allowing for direct peer-to-peer transactions. This decentralized approach ensures transparency, security, and immutability, fostering trust among users.
  • Efficient Transactions: MX Token offers swift and seamless transactions, thanks to its integration with the Ethereum blockchain. With low transaction fees and rapid settlement times, MX Token enables users to transact with ease, facilitating speedy cross-border payments and reducing friction in financial transactions.
  • Liquidity Mining: MX Token provides an opportunity for users to engage in liquidity mining, a process by which individuals can earn additional tokens by providing liquidity to the MXC ecosystem. This incentivizes participation, boosts liquidity, and rewards users for contributing to the growth and stability of the network.
  • Governance and Voting Rights: Holding MX Token grants users the power to participate in the decision-making process within the MXC ecosystem. By staking MX Tokens, individuals can actively engage in voting for protocol upgrades, strategic partnerships, and other crucial matters, ensuring a democratic and community-driven governance structure.

Use Cases of MX Token

  • IoT Applications: MX Token finds significant utility in the Internet of Things (IoT) sector, enabling secure and efficient data transactions between connected devices. With the increasing prevalence of IoT devices in various industries, MX Token plays a pivotal role in fostering seamless communication and data exchange, revolutionizing sectors such as smart cities, agriculture, logistics, and healthcare.
  • Asset Tokenization: The flexibility of MX Token extends to the realm of asset tokenization, where real-world assets such as real estate, commodities, and intellectual property can be represented digitally. By tokenizing assets on the MXC platform, individuals gain access to fractional ownership, increased liquidity, and enhanced tradability, opening up new investment opportunities.
  • DeFi Solutions: MX Token serves as a catalyst for decentralized finance (DeFi) applications, offering users access to a wide range of financial services, including lending, borrowing, yield farming, and decentralized exchanges. The integration of MX Token within the DeFi ecosystem enables individuals to unlock the potential of their assets, earn passive income, and participate in the burgeoning DeFi revolution.

Unlocking the Potential of MX Token

MX Token possesses the inherent capability to unlock a multitude of opportunities in the digital landscape. Its decentralized nature, efficient transactions, and versatile use cases make it a formidable player in the cryptocurrency realm. By embracing MX Token, individuals and businesses can harness the power of blockchain technology, redefine traditional financial systems, and pave the way for a future where digital transactions are seamless, secure, and accessible to all.

In conclusion, MX Token represents a compelling investment opportunity and a gateway to the future of finance. Its potential to revolutionize various industries and empower individuals cannot be overstated. By understanding the intricacies of MX Token and exploring its vast array of use cases, individuals and businesses can position themselves at the forefront of the digital revolution.

Third G20 Finance Ministers and Central Bank Governors Meeting

 All G20 Finance Ministers and Central Bank Governors agreed to paragraphs 1, 4, and paragraphs 6 to 26 along with Annexes 1 and 2.

  1. We, the Finance Ministers and Central Bank Governors of G20 countries, met on 17-18 July 2023, in Gandhinagar, India. Under the Indian Presidency’s theme of “One Earth, One Family, One Future”, we pledge to prioritize the well-being of our people and the planet and reaffirm our commitment to enhancing international economic cooperation, strengthening global development for all and steering the global economy towards strong, sustainable, balanced, and inclusive growth (SSBIG).
  2. 1 2Since February 2022, we have also witnessed the war in Ukraine further adversely impact the global economy. There was a discussion on the issue. We reiterated our national positions as expressed in other fora, including the UN Security Council and the UN General Assembly, which, in Resolution No. ES- 11/1 dated 2 March 2022, as adopted by majority vote (141 votes for, 5 against, 35 abstentions, 12 absent), deplores in the strongest terms the aggression by the Russian Federation against Ukraine and demands its complete and unconditional withdrawal from the territory of Ukraine. Most members strongly condemned the war in Ukraine and stressed that it is causing immense human suffering and exacerbating existing fragilities in the global economy constraining growth, increasing inflation, disrupting supply chains, heightening energy and food insecurity, and elevating financial stability risks. There were other views and different assessments of the situation and sanctions. Recognising that the G20 is not the forum to resolve security issues, we acknowledge that security issues can have significant consequences for the global economy.
  3. It is essential to uphold international law and the multilateral system that safeguards peace and stability. This includes defending all the Purposes and Principles enshrined in the Charter of the United Nations and adhering to international humanitarian law, including the protection of civilians and infrastructure in armed conflicts. The use or threat of use of nuclear weapons is inadmissible. The peaceful resolution of conflicts, efforts to address crises, as well as diplomacy and dialogue are vital. Today’s era must not be of war.

1 China stated that the G20 FMCBG meeting is not the right forum to discuss geopolitical issues.

2 Russia dissociated itself from the status of this document as a common outcome because of references in paragraphs 2, 3 and 5.

  1. Global economic growth is below its long-run average and remains uneven. The uncertainty around the outlook remains high. With notable tightening in global financial conditions, which could worsen debt vulnerabilities, persistent inflation and geoeconomic tensions, the balance of risks remains tilted to the downside. We, therefore, reiterate the need for well-calibrated monetary, fiscal, financial, and structural policies to promote growth, reduce inequalities and maintain macroeconomic and financial stability. We will continue to enhance macro policy cooperation and support the progress towards the 2030 Agenda for Sustainable Development. We reaffirm that achieving SSBIG will require policymakers to stay agile and flexible in their policy response, as evidenced during the recent banking turbulence in a few advanced economies where expeditious action by relevant authorities helped to maintain financial stability and manage spillovers. We welcome the initial steps taken by the Financial Stability Board (FSB), Standard Setting Bodies (SSBs) and in certain jurisdictions to examine what lessons can be learned from this recent banking turbulence and encourage them to advance their ongoing work. We will use macroprudential policies, where required, to safeguard against downside risks. Central banks remain strongly committed to achieving price stability in line with their respective mandates. They will ensure that inflation expectations remain well anchored and will clearly communicate policy stances to help limit negative cross-country spillovers. Central bank independence is crucial to maintaining policy credibility. We will prioritise temporary and targeted fiscal measures to protect the poor and the most vulnerable, while maintaining medium-term fiscal sustainability. We will ensure the coherence of the overall monetary and fiscal stances. We recognise the importance of supply-side policies, especially policies that increase labour supply and enhance productivity to boost growth and alleviate price pressures. We reaffirm our April 2021 exchange rate commitments. We also reaffirm the importance of the rules-based, non-discriminatory, fair, open, inclusive, equitable, sustainable and transparent multilateral trading system with the World Trade Organization (WTO) at its core in restoring growth and job creation and reiterate our commitment to fight protectionism and encourage concerted efforts for reform of the WTO.
  2. While global food and energy prices have fallen from their peak levels, the potential for high levels of volatility in food and energy markets remains, given the uncertainties in the global economy. In this context, we welcome the G20 Report on Macroeconomic Impacts of Food and Energy Insecurity and their Implications for the Global Economy, informed by policy experiences shared by members and supported by analysis from the International Monetary Fund (IMF), World Bank Group (WBG), International Energy Agency (IEA) and Food and Agriculture Organisation (FAO) and take note of its voluntary and non-binding policy learnings. We look forward to an ambitious replenishment of the International Fund for Agricultural Development (IFAD) resources at the end of the year by IFAD members, to support IFAD’s fight against food insecurity.
  3. We also take note of the discussions on assessing macroeconomic risks to SSBIG, including those stemming from climate change and various transition policies considering country-specific circumstances and different levels of development. The macroeconomic costs of the physical impacts of climate change are significant at an aggregate level and the cost of inaction substantially outweighs that of orderly and just climate transitions. We recognise the importance of international dialogue and cooperation, including in the areas of finance and technology, and timely policy action consistent with country- specific circumstances. It is also critical to assess and account for the short, medium and long-term macroeconomic impact of both the physical impact of climate change and transition policies, including on growth, inflation, and unemployment. We endorse the G20 Report on Macroeconomic Risks Stemming from Climate Change and Transition Pathways that presents an evidence-based assessment informed by policy experiences shared by members and technical inputs from the IMF, IEA, and the Network of Central Banks and Supervisors for Greening the Financial System (NGFS). Building on analysis in this Report, we will consider further work on the macroeconomic implications, as appropriate, particularly as relevant for fiscal and monetary policies, drawing on the inputs from a diverse set of stakeholders.
  4. We remain committed to pursuing ambitious efforts to evolve and strengthen Multilateral Development Banks (MDBs) to address the global challenges of the 21st century with a continued focus on addressing the development needs of low- and middle-income countries.
  5. Following up on the mandate from our Leaders in Bali in November 2022 and based on the updates from MDBs in Spring 2023, a G20 Roadmap for Implementing the Recommendations of the G20 Independent Review of MDBs Capital Adequacy Frameworks (CAFs) has been developed. We endorse this Roadmap and call for its ambitious implementation, within MDBs’ own governance frameworks while safeguarding their long-term financial sustainability, robust credit ratings and preferred creditor status. We also call for a regular review of the progress of implementation on a rolling basis including through engaging with MDBs, subject experts and shareholders. We commend the MDBs for their progress in implementing the CAF recommendations, especially with respect to adapting definitions of risk appetite and financial innovation. At the same time, we emphasise the need to give an additional push to CAF implementation. We appreciate the ongoing collaboration among MDBs on the timely release of Global Emerging Markets (GEMs) data and the launch of GEMs 2.0 as a stand-alone entity by early 2024. Going forward, we also encourage MDBs to collaborate in areas such as hybrid capital, callable capital, and guarantees. We appreciate the enhanced dialogue between the MDBs, Credit Rating Agencies and shareholders and encourage continued transparency in the exchange of information and rating methodologies. We take note that initial CAF measures, including those under implementation and consideration, could potentially yield additional lending headroom of approximately USD 200 billion over the next decade, as estimated in the G20 CAF Roadmap. While these are encouraging first steps, we will need continued and further impetus on CAF implementation.
  6. Furthermore, we reiterate our call for the MDBs to undertake comprehensive efforts to evolve their vision, incentive structures, operational approaches and financial capacities so that they are better equipped to maximize their impact in addressing a wide range of global challenges, while being consistent with their mandate and commitment to accelerate progress towards Sustainable Development Goals (SDGs). Recognising the urgent need to strengthen and evolve the MDB ecosystem for the 21st century, we appreciate the efforts of the G20 Independent Expert Group on Strengthening MDBs in preparing Volume 1 of the Report, and we will examine it in conjunction with Volume 2 expected in October 2023. We take note of Volume 1’s recommendations and the MDBs may choose to discuss these recommendations as relevant and appropriate, within their governance frameworks, in due course, with a view to enhancing the effectiveness of MDBs. We look forward to a High-Level Seminar, on the sidelines of the Fourth FMCBG meeting in October 2023 on strengthening the financial capacity of MDBs. We encourage MDBs to update the International Financial Architecture Working Group (IFA WG) on their evolution efforts to better address global challenges. We welcome the March 2023 Report on Evolution of the World Bank Group and call on the World Bank to advance the implementation of the agreed actions and continue to develop further proposals that can contribute to significant progress of the Bank’s evolution exercise by the IMF/WBG 2023 Annual Meetings in Marrakech. Recognising other multilateral efforts in this area, we take note of the Summit for a New Global Financing Pact. We also look forward to an ambitious IDA21 replenishment. We acknowledge the concluding report on the 2020 Shareholding Review of the International Bank for Reconstruction and Development (IBRD) and look forward to the 2025 Shareholding Review.
  7. We reiterate our commitment to a strong, quota-based, and adequately resourced IMF at the centre of the global financial safety net. We remain committed to revisiting the adequacy of quotas and will continue the process of IMF governance reform under the 16th General Review of Quotas (GRQ), including a new quota formula as a guide, and ensure the primary role of quotas in IMF resources, to be concluded by December 15, 2023. In this context, we support at least maintaining the IMF’s current resource envelope. We welcome the landmark achievement of the global ambition of USD 100 billion of voluntary contributions (in SDRs or equivalent) and USD 2.6 billion of grants in pledges for countries most in need and call for the swift delivery of pending pledges. We welcome the progress achieved under the Resilience and Sustainability Trust (RST) and Poverty Reduction and Growth Trust (PRGT) with pledges for the RST amounting to about USD 45.5 billion and for the PRGT to about USD 24.2 billion in loan resources and nearly USD 1.9 billion in subsidy resources, respectively, through the voluntary channelling of Special Drawing Rights (SDRs) or equivalent contributions. We call for further voluntary subsidy and loan pledges to the PRGT by the IMF/WBG 2023 Annual Meetings in Marrakech to meet the first stage PRGT fundraising needs. We look forward to the IMF delivering a preliminary analysis, by the 2023 IMF/WBG Annual Meetings, of the range of options to put the PRGT on a sustainable footing with a view to meeting the growing needs of low-income countries in the coming years. The G20 reiterates its continued support to Africa, including through the G20 Compact with Africa. We will continue to monitor progress on channelling SDRs or equivalent contributions from countries with strong external positions and look forward to the IMF Ex-Post Report on the use of SDRs in September. We will continue to monitor the effectiveness of RST supported programs and look forward to interim review scheduled for April 2024. We look forward to further progress on the exploration of viable options for channelling SDRs through MDBs, while respecting relevant legal frameworks and the need to preserve the reserve asset character and status of SDRs. We look forward to the review of precautionary arrangements (FCL, PLL and SLL) and take note of the discussions held on the IMF surcharge policy.
  8. We welcome discussions on the potential macro-financial implications arising from the introduction and adoption of Central Bank Digital Currencies (CBDCs), notably on cross-border payments as well as on the international monetary and financial system. We welcome the BIS Innovation Hub (BISIH) Report on Lessons Learnt on CBDCs and look forward to the IMF Report on Potential macro-financial implications of widespread adoption of CBDCs to advance the discussion on this issue. We also look forward to continued discussions on the implementation of international frameworks for the use of different tools in addressing capital flow volatility based on the policy updates by the IMF, the OECD, and the BIS while being mindful of their original purpose. We reiterate our commitment to promote sustainable capital flows. To this effect, we note the OECD’s Report on Towards Orderly Green Transition – Investment Requirements and Managing Risks to Capital Flows.
  9. We re-emphasise the importance of addressing debt vulnerabilities in low and middle-income countries in an effective, comprehensive and systematic manner. We continue to stand by all the commitments made in the Common Framework for Debt Treatments beyond the DSSI, including those in the second and final paragraphs, as agreed on November 13, 2020, and step up the implementation of the Common Framework in a predictable, timely, orderly and coordinated manner. To this end, we ask the G20 International Financial Architecture Working Group (IFA WG) to continue discussing policy-related issues linked to implementation of the Common Framework and make appropriate recommendations. We welcome the recent agreement between the Government of Zambia and official creditor committee on a debt treatment and look forward to a swift resolution. We welcome the formation of an official creditor committee for Ghana and look forward to an agreement on a debt treatment as soon as possible. We also call for a swift conclusion of the debt treatment for Ethiopia. Beyond the Common Framework, we welcome all efforts for timely resolution of the debt situation of Sri Lanka, including the formation of the official creditor committee, and we call for the resolution as soon as possible. Noting the work in developing the G20 Note on the Global Debt Landscape in a fair and comprehensive manner, we ask the G20 IFA WG to continue the development expeditiously. We encourage the efforts of the Global Sovereign Debt Roundtable (GSDR) participants to strengthen communication and foster a common understanding among key stakeholders, both within and outside the Common Framework, for facilitating effective debt treatments.
  10. We welcome joint efforts by all stakeholders, including private creditors, to continue working towards enhancing debt transparency. We note the results of the voluntary stocktaking exercise of data sharing with International Financial Institutions. We welcome the efforts of private sector lenders who have already contributed data to the joint Institute of International Finance (IIF)/OECD Data Repository Portal and continue to encourage others to also contribute on a voluntary basis.
  11. We emphasise the need for enhanced mobilisation of finances and efficient use of existing resources in our efforts to make the cities of tomorrow inclusive, resilient, and sustainable. To this effect, we endorse the G20 Principles for Financing Cities of Tomorrow, which are voluntary and non-binding in nature and the G20/OECD Report on Financing Cities of Tomorrow, which provides a financing strategy as well as presents a compendium of innovative urban planning and financing models. We encourage stakeholders, including the Development Financial Institutions and the MDBs, to explore the potential of drawing upon these principles in their planning and financing of urban infrastructure wherever applicable and share experiences from early pilot cases. We note the progress in outlining the enablers of inclusive cities. We also note the customisable G20/ADB Framework on Capacity Building of Urban Administration to guide local governments in assessing and enhancing their overall institutional capacity for the effective delivery of public services. We note the ongoing pilot application of the voluntary and non-binding Quality Infrastructure Investment (QII) Indicators and look forward to further discussion on their application considering the country circumstances. We thank the Global Infrastructure Hub for supporting the G20’s multi-year infrastructure agenda since 2014. We note that the GIH Board and shareholders are currently engaged in exploring a way to best sustain the value created so far. We look forward to the outcome report of the 2023 Infrastructure Investors Dialogue focused on integrating the private sector perspective in designing policies for financing cities of tomorrow.
  12. We continue to reaffirm our steadfast commitment to strengthening the full and effective implementation of the United Nations Framework Convention on Climate Change (UNFCCC) and the Paris Agreement. We recall and reaffirm the commitment made by developed countries to the goal of mobilising jointly USD 100 billion climate finance per year by 2020, and annually through 2025, to address the needs of developing countries, in the context of meaningful mitigation action and transparency in implementation. Developed country- contributors expect this goal to be met for the first time in 2023. In this context, we also support continued deliberations on an ambitious new collective quantified goal of climate finance from a floor of USD 100 billion per year to support developing countries, that helps in fulfilling the objective of the UNFCCC and implementation of the Paris Agreement.
  13. We welcome the Sustainable Finance Working Group (SFWG) recommendations on the mechanisms to support the timely and adequate mobilisation of resources for climate finance, while ensuring support for transition activities in line with country circumstances. We also recognise the significant role of public finance, as an important enabler of climate actions such as leveraging much-needed private finance through blended financial instruments, mechanisms and risk-sharing facilities, to address both adaptation and mitigation efforts in a balanced manner for reaching the ambitious Nationally Determined Contributions (NDCs), carbon neutrality and net-zero considering different national circumstances. We welcome the recommendations for scaling up blended finance and risk-sharing facilities, including the enhanced role of MDBs in mobilizing climate finance. We underscore the importance of maximizing the effect of concessional resources, such as those of the multilateral climate funds to support developing countries’ implementation of the Paris Agreement and look forward to an ambitious replenishment of the Green Climate Fund (GCF) this year. Recognizing the importance of supporting the commercialization of early-stage technologies that avoid, abate and remove greenhouse gas emissions and facilitate adaptation, we note the recommendations on financial solutions, policies, and incentives to encourage greater private flows for the rapid development, demonstration, and deployment of green and low-carbon technologies. We reiterate the importance of a policy mix consisting of fiscal, market and regulatory mechanisms including, as appropriate, the use of carbon pricing and non-pricing mechanisms and incentives, toward carbon neutrality and net zero. We look forward to the early finalisation of the Compendium comprising the discussions on Non-Pricing Policy Levers to Support Sustainable Investment.
  14. We reiterate our commitment to take action to scale up sustainable finance. In line with the G20 Sustainable Finance Roadmap, we welcome the analytical framework for SDG-aligned finance, and voluntary recommendations for scaling-up adoption of social impact investment instruments and improving nature-related data and reporting, informed by the stocktaking analyses, considering country circumstances. We encourage all relevant stakeholders to consider these recommendations in their actions and support for the 2030 Agenda.
  15. We endorse the multi-year G20 Technical Assistance Action Plan (TAAP) and the voluntary recommendations made to overcome data-related barriers to climate investments. We encourage the implementation of TAAP by relevant jurisdictions and stakeholders in line with the national circumstances. We look forward to reporting on the progress made by members, international organisations, networks and initiatives in the implementation of the G20 Sustainable Finance Roadmap, which is voluntary and flexible in nature, and call for further efforts to advance the Roadmap’s recommended actions that will scale up sustainable finance, including among others the implementation of the Transition Finance Framework. We look forward to the finalisation of the 2023 G20 Sustainable Finance Report, including a review of the implementation of the G20 Sustainable Finance Roadmap. We welcome finalization of the sustainability and climate-related disclosure standards published by the International Sustainability Standards Board (ISSB) in June 2023, which provide the mechanisms that address proportionality and promote interoperability. It is important that flexibility, to take into account country- specific circumstances, is preserved in the implementation of those standards. When put into practice as above, those standards will help to support globally comparable and reliable disclosures.
  16. We remain committed to strengthening the global health architecture for pandemic prevention, preparedness and response (PPR) through enhanced collaboration between Finance and Health Ministries under the Joint Finance and Health Task Force (JFHTF). Under the JFHTF, we welcome the participation of invited key regional organisations in the Task Force meetings as they enhance the voice of low-income countries. We welcome the discussion on the Framework on Economic Vulnerabilities and Risks (FEVR) and the initial Report for Economic Vulnerabilities and Risks arising from pandemics, created through collaboration between World Health Organisation (WHO), World Bank, IMF, and European Investment Bank (EIB). We call on the Task Force to continue refining this Framework over its multi-year work plan in order to regularly assess economic vulnerabilities and risks due to evolving pandemic threats, taking into account country-specific circumstances. We welcome the Report on Best Practices from Finance Health Institutional Arrangements during Covid-19 that will contribute towards joint finance-health sector readiness to support our response to future pandemics. We welcome the Report on Mapping Pandemic Response Financing Options and Gaps developed by the WHO and World Bank and look forward to further deliberations on how financing mechanisms could be optimized, better coordinated and, when necessary, suitably enhanced, to deploy the necessary financing quickly and efficiently, duly considering discussions in other global forums. The analysis provided by these three reports will offer important inputs for discussion in the Joint Finance-Health Ministerial Meeting in August on global response to the next pandemic threat. We welcome the conclusion of the call for proposals by the Pandemic Fund and look forward to the first round of funding in the coming months.
  17. We reaffirm our commitment to continue cooperation towards a globally fair, sustainable and modern international tax system appropriate to the needs of the 21st century. We welcome the delivery of a text of a Multilateral Convention (MLC) on Amount A, significant progress of work on Amount B and the completion of the work on the development of the Subject to Tax Rule (STTR) and its implementation framework as set out in the July 2023 Outcome Statement of the OECD/G20 Inclusive Framework on BEPS (Inclusive Framework). We call on the Inclusive Framework to swiftly resolve the few pending issues relating to the MLC with a view to prepare the MLC for signature in the second half of 2023 and complete the work on Amount B by end of 2023. We welcome the steps taken by various countries to implement the Global Anti-Base Erosion (GloBE) Rules as a common approach. We recognise the need for coordinated efforts towards capacity building to implement the two-pillar international tax package effectively and in particular, welcome a plan for additional support and technical assistance for developing countries. We welcome the launch of the pilot programme of the South Asia Academy in India for tax and financial crime investigation in collaboration with OECD. We note the 2023 update of the G20/OECD Roadmap on Developing Countries and International Taxation. We note the Update on the Implementation of the 2021 Strategy on Unleashing the Potential of Automatic Exchange of Information for Developing Countries by the Global Forum on Transparency and Exchange of Information for Tax Purposes (“Global Forum”). We call for the swift implementation of the Crypto-Asset Reporting Framework (“CARF”) and amendments to the CRS. We ask the Global Forum to identify an appropriate and coordinated timeline to commence exchanges by relevant jurisdictions, noting the aspiration of a significant number of these jurisdictions to start CARF exchanges by 2027, and to report to our future meetings on the progress of its work. We note the OECD Report on Enhancing International Tax Transparency on Real Estate and the Global Forum Report on Facilitating the Use of Tax-Treaty-Exchanged Information for Non-Tax Purposes. We note the discussions held at the G20 High-Level Tax Symposium on Combatting Tax Evasion, Corruption and Money Laundering.
  18. We continue to closely monitor the risks of the fast-paced developments in the crypto-asset ecosystem. We endorse the Financial Stability Board’s (FSB’s) high-level recommendations for the regulation, supervision and oversight of crypto-assets activities and markets and of global stablecoin arrangements. We ask the FSB and standard-setting bodies (SSBs) to promote the effective and timely implementation of these recommendations in a consistent manner globally to avoid regulatory arbitrage. We welcome the shared FSB and SSBs workplan for crypto assets. We look forward to receiving the IMF-FSB Synthesis Paper, including a Roadmap, before the Leaders’ Summit in September 2023, to support a coordinated and comprehensive policy and regulatory framework taking into account the full range of risks, and risks specific to the emerging market and developing economies (EMDEs) and ongoing global implementation of FATF standards to address money laundering and terrorism financing risks. In this context, we note the Presidency Note as an important input for the Synthesis Paper. We also welcome the BIS Report on The Crypto Ecosystem: Key Elements and Risks.
  19. We continue to strongly support the work of the FSB and SSBs to address vulnerabilities and enhance the resilience of non-bank financial intermediation (NBFI) from a systemic perspective while monitoring evolving developments in NBFI. We welcome the FSB’s consultation report on revisions to the FSB 2017 recommendations on addressing liquidity mismatch in open-ended funds, and we support work to promote implementation of the FSB money market fund proposals, enhance margining practices, and address vulnerabilities from non-bank leverage. We welcome the FSB’s recommendations to achieve greater convergence in cyber incident reporting, updates to the Cyber Lexicon and Concept Note for a Format for Incident Reporting Exchange (FIRE). We look forward to the FSB’s work to identify the reporting needs and the prerequisites for and feasibility of the development of FIRE, and we ask the FSB to develop an action plan with appropriate timelines.
  20. We welcome the FSB’s consultation Report on Enhancing Third-party Risk Management and Oversight. We expect the toolkit to support efforts in enhancing the operational resilience of financial institutions, addressing the challenges arising from their growing reliance on critical third-party service providers including BigTechs and FinTechs, as well as reducing fragmentation in regulatory and supervisory approaches across jurisdictions and in different areas of the financial services sector. We reaffirm our commitment to the effective implementation of the prioritised actions for the next phase of the G20 Roadmap for Enhancing Cross-border Payments and welcome the initiatives undertaken by SSBs and international organisations in this direction. To that end, we look forward to the FSB’s progress report in October on the implementation of this roadmap. We look forward to the G20 TechSprint 2023, a joint initiative with the BIS Innovation Hub, which will promote innovative solutions aimed at improving cross-border payments. We welcome the annual progress Report on the FSB’s Roadmap for Addressing Financial Risks from Climate Change. We endorse the revised G20/OECD Principles of Corporate Governance with the aim to strengthen policy and regulatory frameworks for corporate governance that support sustainability and access to finance from capital markets, which in turn can contribute to the resilience of the broader economy.
  21. We welcome the progress made by the Global Partnership for Financial Inclusion (GPFI) towards the completion of the deliverables under the G20 2020 Financial Inclusion Action Plan (FIAP). We welcome the 2023 Update to Leaders on Progress towards the G20 Remittance Target and endorse the Regulatory Toolkit for Enhanced Digital Financial Inclusion of Micro, Small and Medium Enterprises (MSMEs). We endorse the voluntary and non-binding G20 Policy Recommendations for Advancing Financial Inclusion and Productivity Gains through Digital Public Infrastructure. We take note of the significant role of digital public infrastructure in helping to advance financial inclusion in support of inclusive growth and sustainable development. We also encourage the continuous development and responsible use of technological innovations including innovative payment systems, to achieve financial inclusion of the last mile and progress towards reducing the cost of remittances in line with the G20 Leaders’ directions. We also support continuous efforts to strengthen digital financial literacy and consumer protection. We endorse the G20 2023 FIAP, which provides an action-oriented and forward-looking roadmap for rapidly accelerating the financial inclusion of individuals and MSMEs, particularly vulnerable and underserved groups in the G20 countries and beyond. We also endorse the 2023 Updated GPFI Terms of Reference.
  22. We recognise the importance of delivering on the strategic priorities of the Financial Action Task Force (FATF) and FATF Style Regional Bodies. We commit to supporting their increasing resource needs and encourage others to do the same, including for the next round of mutual evaluations. We remain committed to the timely and global implementation of the revised FATF Standards on the transparency of beneficial ownership of legal persons and legal arrangements to make it more difficult for criminals to hide and launder ill- gotten gains. We welcome the ongoing work of the FATF to enhance global efforts to recover criminal proceeds, in particular, the progress made by the FATF towards revising its standards on asset recovery and reinforcing global asset recovery networks. We reiterate the importance of countries developing and implementing effective regulatory and supervisory frameworks to mitigate risks associated with virtual assets in line with FATF Standards especially for terrorism financing, money laundering, and proliferation financing risks. In this regard, we support the FATF’s initiative to accelerate the global implementation of its standards, including the “travel rule”, and its work on risks of emerging technologies and innovations, including decentralised finance (DeFi) arrangements and peer-to-peer transactions. We look forward to the completion of FATF’s work on the use of crowdfunding for terrorism financing and on money laundering related to cyber-enabled fraud.
  23. With a vision reminiscent of Mahatma Gandhi’s teachings, we, the Finance Ministers and Central Bank Governors of G20 countries, envisage a future in which every nation thrives, prosperity is widely shared, and the well-being of humanity and the planet are harmoniously intertwined.

 

Annex I: Issues for further work

This Annex lists the deliverables from various G20 Finance Track workstreams following the July FMCBG meeting.

Framework Working Group

  • G20 IMF Report on Strong, Sustainable, Balanced and Inclusive Growth, October 2023, in the context of increasing vulnerabilities associated with macroeconomic instabilities and financial globalisation.

International Financial Architecture Working Group

· Volume 2 of the Report of G20 Expert Group on Strengthening MDBs

  • Regular review of the progress of implementation of CAF recommendations on a rolling basis including through engaging with MDBs, subject experts and shareholders

· Updates from IMF on the progress of the 16th General Review of Quotas

  • Update from the IMF on the ex-post assessment of 2021 SDR allocation
  • Continued exploration of opportunities for a “User manual” for the Common

Framework presenting the experience of the first cases.

  • G20 IFA WG to continue developing expeditiously the G20 Note on the Global Debt Landscape in a fair and comprehensive manner.
  • IFA WG to continue discussing policy-related issues linked to implementation of the Common Framework and make appropriate recommendations
  • Technical workshops to be held under the ambit of GSDR, such as the one on Comparability of Treatment (CoT).
  • Improvements to sovereign debt restructuring by continuing the discussion on some specific debt instruments, including potential best practices for LICs on collateralised financing practices, exploring ways to increase private sector involvement, in particular regarding the restructuring of syndicated loans, collective action clauses, assessing the benefits and complications of state- contingent debt instruments (SCDI), and climate-resilient debt clauses in international sovereign bonds and in official bilateral lending.
  • IMF Report on the potential macro-financial implication of widespread adoption of CBDCs, in September 2023.

Infrastructure

  • Continuation of the InfraTracker 2.0 to track planned infrastructure investments across G20 member economies using publicly available sources and transition it to an online tool.
  • Compilation of the scope and taxonomies related to infrastructure across G-20 economies and International Organisations.

Sustainable Finance Working Group

  • Monitoring and reporting of progress on G20 Sustainable Finance Roadmap on the SFWG online dashboard.
  • Finalisation of the 2023 G20 Sustainable Finance Report.
  • Compendium of case studies for financing SDGs.

International Taxation

  • A Handbook by the OECD on Pillar Two to facilitate implementation through a common approach, especially to assist capacity-constrained jurisdictions and present the Handbook by October 2023.

Financial Sector Issues

  • A joint synthesis paper by the IMF and the FSB integrating the macroeconomic and regulatory perspectives of crypto assets to be submitted in September 2023.
  • An interim report by the BIS Committee on Payments and Market Infrastructures (CPMI) on Fast Payment Systems (FPS) interlinking governance, risk management and oversight considerations; and the final report on ISO 20022 harmonisation requirements for cross-border payments in October 2023.
  • FSB to provide a report on the financial stability implications of leverage in NBFI in September 2023.
  • FSB to provide an overall progress report on enhancing the resilience of NBFI in September 2023.
  • FSB to provide its Annual Report on Promoting Global Financial Stability in October 2023.
  • FSB to report in October 2023 its progress on the implementation of the G20 Roadmap for Enhancing Cross-Border Payments.
  • FSB, in coordination with the ISSB and IOSCO, to prepare a report on the progress of jurisdictions and firms on climate-related financial disclosures by October 2023.

Global Partnership for Financial Inclusion

  • GPFI will continue work to complete the Second Update of National Remittance Plans and present a case-study on the impact of digital remittances in reducing the cost of remittances.
  • GPFI will report on progress in implementing the G20 GPFI High-Level Principles on Digital Financial Inclusion.
  • GPFI to work on SME best practices and innovative instruments to overcome common constraints in SME financing based on GPFI SME living database.

 

Annex 2: Reports and Documents received

  1. G20 Report on Macroeconomic Impacts of Food and Energy Insecurity and their implications for the global economy
  2. G20 Report on Macroeconomic risks stemming from climate change and transition pathways
  3. G20 Roadmap for implementing the recommendations of the G20 Independent Review of MDBs Capital Adequacy Frameworks (CAFs)
  4. Volume 1 of the G20 Expert Group on Strengthening MDBs
  5. BIS Innovation Hub (BISIH) Report on “Lessons learnt on CBDCs”
  6. OECD’s report on “Towards Orderly Green Transition – Investment Requirements and Managing Risks to Capital Flows
  7. G20 note on the total global ambition of USD 100bn of voluntary contributions for countries most in need
  8. G20 Principles for Financing Cities of Tomorrow: inclusive, resilient and sustainable
  9. G20/OECD Report on Financing Cities of Tomorrow
  10. G20/ADB Framework on Capacity Building of Urban Administration
  11. G20 Sustainable Finance Working Group Deliverables
  12. Framework on Economic Vulnerabilities and Risks (FEVR) and the initial Report for economic vulnerabilities and risks arising from pandemics
  13. Report on Best Practices from Finance Health Institutional Arrangements during Covid-19
  14. Report on Mapping Pandemic Response Financing Options and Gaps developed by the WHO and World Bank
  15. G20/OECD Roadmap on Developing Countries and International Taxation Update 2023
  16. OECD Report on ‘Enhancing International Tax Transparency on Real Estate’
  17. Global Forum Report on ‘Facilitating the Use of Tax-Treaty-Exchanged Information for Non-Tax Purposes’
  18. Global Forum Update on the implementation of the 2021 Strategy on Unleashing the Potential of Automatic Exchange of Information for Developing Countries
  19. FSB Chair’s Letters to G20 Finance Ministers and Central Bank Governors, April and July 2023.
  20. FSB’s global regulatory framework for crypto-asset activities: Umbrella public note to accompany final framework
  21. FSB’s high-level recommendations for the regulation, supervision, and oversight of crypto-asset activities and markets
  22. FSB’s high-level recommendations for the regulation, supervision, and oversight of global stablecoin arrangements
  23. BIS Report on “The crypto ecosystem: key elements and risks”.
  24. FSB Consultation report on addressing liquidity mismatch in open-ended funds-Revisions to the FSB 2017 policy recommendations
  25. FSB Report on Enhancing Third-Party Risk Management and Oversight: A toolkit for financial institutions and financial authorities
  26. FSB Roadmap for Addressing Financial Risks from Climate Change: 2023 Progress Report
  27. FSB Recommendations to Achieve Greater Convergence in Cyber Incident Reporting: Final Report
  28. FSB Concept Note on Format for Incident Reporting Exchange (FIRE) – A possible way forward
  29. Revised G20/OECD Principles of Corporate Governance
  30. G20 Policy Recommendations for Advancing Financial Inclusion and Productivity Gains through Digital Public Infrastructure
  31. 2023 Update to Leaders on Progress towards the G20 Remittance Target
  32. Regulatory Toolkit for Enhanced Digital Financial Inclusion of Micro, Small and Medium Enterprises (MSMEs)
  33. G20 2023 FIAP
  34. 2023 Updated GPFI Terms of Reference.
  35. 2023 GPFI Progress Report to G20 Leaders
  36. G20 Financial Inclusion Action Plan Progress Report 2021-23
  37. FATF Report- Countering Ransomware Financing Report (March 2023)
  38. Targeted Update on the Implementation of the FATF Standards for Virtual Assets (June 2023)
  39. FATF Report on Guidance on Beneficial Ownership Transparency for Legal Persons (March 2023)

****

The Potential of Chiliz (CHZ) for Disrupting the Ticketing Industry

  In recent years, the world of sports and entertainment has witnessed a rapid shift towards digitalization, which has resulted in the emergence of new business models and revenue streams. One such innovative solution that has gained traction in the industry is Chiliz (CHZ), a blockchain-based platform that offers sports and entertainment fans a unique way to engage with their favorite teams, clubs, and celebrities. One potential use case for Chiliz (CHZ) is to integrate with The official site immediate-wealth.org which is an online trading platform for more seamless and efficient transactions. In this article, we will explore the potential of Chiliz (CHZ) for disrupting the ticketing industry and revolutionizing the way fans interact with their idols.

What is Chiliz (CHZ)?

Chiliz (CHZ) is a blockchain-based cryptocurrency that is designed to serve as the native token of the Socios.com platform. This platform is a revolutionary fan engagement and monetization platform that seeks to bridge the gap between fans and their favorite sports teams, celebrities, and other public figures. By leveraging blockchain technology, Socios.com provides fans with a direct connection to their idols, thereby enabling them to participate in decision-making processes, gain exclusive access to unique rewards and experiences, and become a part of their favorite communities.

One of the key features of the Socios.com platform is the Fan Token Offering (FTO), which allows fans to purchase Fan Tokens that represent a form of ownership in their favorite teams or celebrities. These Fan Tokens are unique digital assets that are created on the blockchain and are used to provide fans with exclusive benefits that are not available to non-token holders. These benefits include access to VIP experiences, exclusive merchandise, voting rights, and more.

The Fan Tokens are designed to be fungible, meaning that they can be traded on leading cryptocurrency exchanges such as Binance, Huobi, and OKEx. This allows fans to buy, sell, and trade their tokens with other fans, creating a new market for sports and entertainment fans.

The Chiliz cryptocurrency serves as the underlying technology that powers the Socios.com platform. It is used to facilitate transactions between fans and their idols, as well as to reward fans for their participation in the platform. As a result, Chiliz has become one of the most widely adopted cryptocurrencies in the sports and entertainment industries, with over 100+ partners across the globe.

Photo by Ono Kosuki on Pexels.com

Why is Chiliz (CHZ) Important for the Ticketing Industry?

The ticketing industry has long been plagued by issues such as ticket fraud, ticket scalping, and lack of transparency. Fans often have to rely on third-party resellers to purchase tickets, which not only results in inflated prices but also exposes them to the risk of buying fake tickets. Chiliz (CHZ) offers a solution to these problems by creating a secure and transparent ecosystem where fans can purchase tickets directly from the source using Fan Tokens. The platform allows clubs, teams, and celebrities to issue Fan Tokens that can be used to purchase tickets, merchandise, and other exclusive experiences.

Chiliz (CHZ) also enables clubs and teams to create their own digital assets, such as non-fungible tokens (NFTs), that can be sold to fans as collectibles. These digital assets can be used to unlock special privileges, such as VIP access to events, meet and greet sessions with players, and behind-the-scenes tours of stadiums.

How Chiliz (CHZ) is Disrupting the Ticketing Industry?

Chiliz (CHZ) is disrupting the ticketing industry by creating a direct connection between fans and their idols, eliminating the need for middlemen and reducing the risk of fraud and scalping. The platform is also bringing transparency and accountability to the industry by using blockchain technology to track the ownership and transfer of digital assets. This not only makes it easier for fans to purchase tickets and other exclusive experiences but also creates a new revenue stream for clubs, teams, and celebrities.

Chiliz (CHZ) is also driving innovation in the industry by introducing new ways for fans to engage with their idols. The platform allows fans to vote on club-related decisions, such as jersey designs, player transfers, and match locations, using their Fan Tokens. This gives fans a sense of ownership and involvement in their favorite clubs and teams, creating a more loyal and engaged fan base.

Conclusion

In conclusion, Chiliz (CHZ) has the potential to disrupt the ticketing industry by creating a secure and transparent ecosystem that connects fans directly with their idols. The platform is revolutionizing the way fans engage with sports and entertainment by introducing new revenue streams and innovative ways to interact with their favorite clubs, teams, and celebrities. As the world of sports and entertainment continues to evolve, Chiliz (CHZ) is poised to play a significant role in shaping the future of fan engagement.

The legal and regulatory landscape of Floki: What you need to know

  Cryptocurrencies have taken the world by storm, and the latest craze in the market is Floki. It is no surprise that investors and traders are flocking to this exciting new investment opportunity. However, before diving into the world of Floki, it is important to understand the legal and regulatory landscape surrounding cryptocurrencies. Bit Capex 360 is an online trading platform that enables investors to buy and sell cryptocurrencies.

Floki is a decentralized digital currency that is not controlled by any government or financial institution. It operates on a blockchain technology network, which is a public ledger that records all transactions in a secure and transparent manner. However, despite its decentralized nature, the legality of cryptocurrencies like Floki is still a matter of debate in many countries.

Photo by Alesia Kozik on Pexels.com

The legal status of cryptocurrencies varies from country to country. Some countries have completely banned their use, while others have embraced them and are actively encouraging their adoption. In the United States, for example, cryptocurrencies are not illegal, but their use is heavily regulated. The Commodity Futures Trading Commission (CFTC) has classified cryptocurrencies as commodities, which means that they are subject to certain regulations and oversight.

When it comes to trading cryptocurrencies like Floki, it is important to choose a reputable platform. However, before investing in Floki or any other cryptocurrency, it is crucial to understand the risks involved.

Cryptocurrencies are highly volatile, and their prices can fluctuate rapidly. They are also vulnerable to hacking and cyber attacks, which can result in the loss of funds. Therefore, it is important to invest only what you can afford to lose and to keep your funds secure by using a reputable exchange and a secure wallet.

Regulation of cryptocurrencies

The world of cryptocurrencies has always been a controversial topic, with regulators and policymakers struggling to keep up with the rapid pace of technological innovation. The legal status of cryptocurrencies varies from country to country, with some countries banning them altogether, while others are more accepting of them.

In the United States, cryptocurrencies are considered commodities and are regulated by the Commodity Futures Trading Commission (CFTC). The Securities and Exchange Commission (SEC) also regulates some cryptocurrencies that are considered securities. It’s important to note that not all cryptocurrencies are considered securities, and therefore not all of them fall under the purview of the SEC.

Floki and the legal landscape

Floki is a relatively new cryptocurrency, and as such, there is still a lot of uncertainty surrounding its legal status. In general, cryptocurrencies are considered legal as long as they don’t violate any existing laws or regulations. However, some countries have taken a more cautious approach to cryptocurrencies, and it’s important to understand how Floki is being regulated in your jurisdiction.

In the United States, the SEC has not yet made any official statements regarding Floki. However, investors and traders should be aware that the SEC has cracked down on other cryptocurrencies that it deemed to be unregistered securities. It’s also important to note that the CFTC has issued warnings about the risks associated with investing in cryptocurrencies, and investors should do their due diligence before investing in any cryptocurrency.

Tax implications of investing in Floki

Investing in cryptocurrencies has become a popular form of investment for many people worldwide, but it is important to be aware of the potential tax implications. One such cryptocurrency that has gained significant attention is Floki, a digital currency named after the dog made famous by Elon Musk’s tweets.

In the United States, the Internal Revenue Service (IRS) has classified cryptocurrencies as property for tax purposes. This classification means that just like other assets, such as stocks and bonds, capital gains tax applies when you sell or exchange your cryptocurrency for fiat currency (such as US dollars).

Capital gains tax is calculated by subtracting the cost basis, or the original purchase price, of the cryptocurrency from the selling price. The resulting amount is the taxable capital gain. It is important to keep accurate records of all cryptocurrency transactions, including the purchase price, date of purchase, and date of sale or exchange, to properly calculate the capital gains tax owed.

In addition to capital gains tax, other tax implications may arise when investing in cryptocurrencies. For example, if you receive cryptocurrency as payment for goods or services, the value of the cryptocurrency at the time of receipt is considered taxable income. Likewise, if you mine cryptocurrency, the value of the coins at the time of receipt is taxable income.

To ensure compliance with all tax regulations, it is crucial to consult with a tax professional who is knowledgeable about cryptocurrency taxation. A tax professional can help you navigate the complex tax implications of investing in cryptocurrencies like Floki, and ensure that you are reporting your cryptocurrency investments accurately on your tax returns.

Conclusion

Floki is an exciting new investment opportunity that has captured the attention of many investors and traders. However, it’s essential to understand the legal and regulatory landscape surrounding it before investing. While cryptocurrencies are generally considered legal, there are still many uncertainties and risks associated with investing in them. It’s important to do your due diligence and consult with a financial advisor before investing in any cryptocurrency.

Ethereum will change the finance segment forever.

  A single process can consist of thousands of companies and touch people around the globe. Payment transactions, credit card fees, etc., occur at different times and with different currencies. Ethereum is a blockchain-based distributed computing platform that fuels intelligent contract functionality. If you want entirely automated trading services, you can visit websites like https://ethereumcode.app; here, you will get all the advanced bitcoin trading features. 

It allows for more flexible and transparent payments cheaper than today’s alternatives for everyone involved in the transaction—no matter where they are located or what currency they use. In finance, this will eliminate high fees for cross-border payments and limited payment options.

Photo by Jonathan Borba on Pexels.com

Cross-border payments are a critical part of the global value chain industry. There is no better time than now to test and explore this technology — with cryptocurrencies being available to all, the opportunity to integrate blockchain into modern finance is a gift that keeps on giving. Ethereum’s potential as a payment solution in supply chain relationships and worldwide reach is unparalleled. 

Implementation of blockchain in cross-border payments:

Implementing blockchain technology in these areas has endless possibilities, but it will take time. Because of this, many businesses are not taking advantage of this opportunity because they need to see it as likely for their specific industry. The finance sector is still littered with legacy systems that need to meet the needs of today’s companies. Financing, credit, and securities are all complicated processes that require complex forms and long waiting times. 

At the same time, compliance has become paramount in financial institutions worldwide. Blockchain technology can take those concerns off the table and simplify these processes for everyone involved. By using smart contracts to automate payments, projects can move forward more efficiently and quickly. In addition, innovative contract technology will eliminate a lot of unnecessary friction from working in this industry — which is desperately needed as banks evolve their services to accommodate new customers.

Peer-to-peer lending powered by Ethereum:

In finance, we typically see projects which rely on a centralized system or rely on an intermediary to facilitate the transaction. These technologies need to be updated and quickly replaced by newer ones. Cryptocurrencies provide a better way to make payments and lend money — primarily through peer-to-peer loans. Blockchain provides the necessary infrastructure for these platforms to flourish in this industry.

Blockchain can simplify loan agreements by automating processing through smart contracts. At these startups, borrowers provide good credit history and income verification, automatically verified by an automated system using blockchain smart contracts.

Ethereum can eliminate the option of remittance fees:

Remittance fees are a massive issue for global businesses. Sending money to other countries can be expensive and time-consuming, but it’s also this industry’s highest cost. These fees take a significant toll on business operations, and they need to be better suited to the digital age.

In supply chain relationships, remittances have become an essential part of the process. However, today’s methods are much more expensive and time-consuming than sending money through blockchain technology. Cross-border transactions made possible by smart contracts will eliminate all fees for international transactions — bringing about transfer savings of up to 80%.

Ethereum is one of the most scalable blockchains:

Blockchain has long been praised for its ability to handle high volumes of transactions. However, the block size limits the data people on a blockchain can record.   Ethereum can easily handle these volumes through sharding — a method that partitions data between validators. This method will increase the transaction speed, and the cost will decrease even further.

Ethereum enables more flexible and transparent payments:

The finance and tech industry has become very complicated in recent years — with so many contracts and transactions, it’s important to give businesses as much freedom as possible to adapt to their specific needs. Blockchain allows us to do this using smart contracts, which people can customize to include relevant data or regulations. 

In finance, we have limited options when it comes to cross-border payments. There are only so many services that offer transparency and flexibility while also being able to handle all the varying regulations in different countries. Ethereum’s global reach and decentralized nature is set up very well for this problem.

It is only the beginning of what’s possible with blockchain technology. While there are still many hurdles to clear before these technologies are widely adopted, Ethereum is well positioned at the forefront of these changes — creating a more efficient way for businesses and people to transact financially. 

Ethereum can make finance completely decentralized:

The blockchain “revolution” has just begun, and some of the most exciting and innovative projects are still in the works. Still, Ethereum is already showing tremendous potential for the finance industry.

Ethereum enables transactions without an intermediary:

The financial world has been plagued by intermediaries who take advantage of inefficiencies and make things more complicated than they need to be. The outdated systems we’re currently using don’t make sense for today’s world — with so many online businesses, it’s inefficient to have all these different third parties involved in every transaction.

The Top 5 Altcoins to Watch in 2023

  As we move further into the new year, the world of cryptocurrency is evolving rapidly. While Bitcoin and Ethereum continue to lead the way, there are several other altcoins that are gaining traction and are worth watching closely. In this article, we’ll take a look at the top 5 altcoins to watch in 2023. If you’re interested in trading Bitcoin, you can visit this site here to begin your trading journey. This platform offers a user-friendly interface and a wide range of features to help you trade Bitcoin effectively. 

Photo by Anna Tarazevich on Pexels.com

Cardano (ADA)

Cardano is a third-generation blockchain platform that has been making headlines in the cryptocurrency world. Its remarkable growth in the past year has seen its price surge by more than 500%. Its success is largely attributed to the innovative solutions it provides to some of the most pressing issues facing the industry today.

One of the key issues Cardano aims to solve is scalability. Scalability is a challenge for many blockchain platforms, as they struggle to handle high transaction volumes. This can lead to slower transaction speeds, increased fees, and a decrease in overall user experience. Cardano’s approach to scalability involves using multiple layers, which allows for faster transaction speeds and lower fees.

Polkadot (DOT)

Polkadot is a decentralized, next-generation blockchain protocol that allows different blockchains to communicate with each other. It is considered one of the most promising altcoins that have gained significant momentum in recent months.

At its core, Polkadot aims to solve some of the biggest challenges faced by current blockchain networks. One of the most significant challenges is scalability. Traditional blockchain networks can only handle a limited number of transactions per second, making it difficult for them to scale to meet the demands of a growing user base. Polkadot addresses this issue by using a sharding mechanism, which divides the network into smaller parts, allowing it to process a higher number of transactions.

Solana (SOL)

Solana is a blockchain platform that is gaining attention in the blockchain industry due to its high performance, low transaction fees, and the ability to process transactions quickly and efficiently. It provides a platform for decentralized applications that require speed, scalability, and security. Solana uses a unique proof-of-history (PoH) consensus algorithm, which enables it to process thousands of transactions per second while maintaining the security and decentralization of the network.

Unlike traditional blockchain platforms that rely on complex consensus algorithms, Solana’s PoH algorithm is based on a simple mathematical equation that links each transaction to a unique timestamp. This timestamp allows Solana to process transactions in a way that is both fast and secure, making it ideal for decentralized applications that require high-speed processing. The PoH algorithm is also designed to prevent double-spending and other fraudulent activities that can undermine the security of a blockchain network.

Chainlink (LINK)

Chainlink is a blockchain-based decentralized oracle network that aims to connect smart contracts to real-world data in a secure, reliable, and trustworthy manner. The platform has gained significant traction among developers building decentralized applications due to its unique approach to providing decentralized and tamper-proof data feeds.

At its core, Chainlink seeks to bridge the gap between the blockchain world and the real world by providing smart contracts with access to off-chain data sources, such as APIs, data feeds, and traditional financial systems. This capability enables smart contracts to operate autonomously, without human intervention, based on real-time data from the external world.

One of the key features that sets Chainlink apart from other oracle solutions is its decentralized approach to data aggregation and delivery. Instead of relying on a single centralized data source, Chainlink leverages a decentralized network of independent node operators that retrieve data from various sources and validate it before delivering it to the requesting smart contract. This approach ensures that the data provided is accurate, tamper-proof, and resistant to manipulation or censorship.

Avalanche (AVAX)

Avalanche is a highly scalable, customizable, and secure blockchain platform that aims to provide a new standard for decentralized finance (DeFi) applications. With its high throughput and low transaction fees, Avalanche is an attractive option for developers looking to build DeFi solutions that can handle high volumes of transactions. Its interoperability with other blockchains also provides a more seamless experience for users.

In conclusion, the world of cryptocurrency is constantly evolving, and these 5 altcoins are worth keeping an eye on in 2023. While Bitcoin and Ethereum remain dominant, these altcoins offer unique features and solutions that could potentially disrupt the industry. As always, it’s important to do your own research and invest wisely.

Third G20 Finance Ministers and Central Bank Governors Meeting

 All G20 Finance Ministers and Central Bank Governors agreed to paragraphs 1, 4, and paragraphs 6 to 26 along with Annexes 1 and 2.

  1. We, the Finance Ministers and Central Bank Governors of G20 countries, met on 17-18 July 2023, in Gandhinagar, India. Under the Indian Presidency’s theme of “One Earth, One Family, One Future”, we pledge to prioritize the well-being of our people and the planet and reaffirm our commitment to enhancing international economic cooperation, strengthening global development for all and steering the global economy towards strong, sustainable, balanced, and inclusive growth (SSBIG).
  2. 1 2Since February 2022, we have also witnessed the war in Ukraine further adversely impact the global economy. There was a discussion on the issue. We reiterated our national positions as expressed in other fora, including the UN Security Council and the UN General Assembly, which, in Resolution No. ES- 11/1 dated 2 March 2022, as adopted by majority vote (141 votes for, 5 against, 35 abstentions, 12 absent), deplores in the strongest terms the aggression by the Russian Federation against Ukraine and demands its complete and unconditional withdrawal from the territory of Ukraine. Most members strongly condemned the war in Ukraine and stressed that it is causing immense human suffering and exacerbating existing fragilities in the global economy constraining growth, increasing inflation, disrupting supply chains, heightening energy and food insecurity, and elevating financial stability risks. There were other views and different assessments of the situation and sanctions. Recognising that the G20 is not the forum to resolve security issues, we acknowledge that security issues can have significant consequences for the global economy.
  3. It is essential to uphold international law and the multilateral system that safeguards peace and stability. This includes defending all the Purposes and Principles enshrined in the Charter of the United Nations and adhering to international humanitarian law, including the protection of civilians and infrastructure in armed conflicts. The use or threat of use of nuclear weapons is inadmissible. The peaceful resolution of conflicts, efforts to address crises, as well as diplomacy and dialogue are vital. Today’s era must not be of war.

1 China stated that the G20 FMCBG meeting is not the right forum to discuss geopolitical issues.

2 Russia dissociated itself from the status of this document as a common outcome because of references in paragraphs 2, 3 and 5.

  1. Global economic growth is below its long-run average and remains uneven. The uncertainty around the outlook remains high. With notable tightening in global financial conditions, which could worsen debt vulnerabilities, persistent inflation and geoeconomic tensions, the balance of risks remains tilted to the downside. We, therefore, reiterate the need for well-calibrated monetary, fiscal, financial, and structural policies to promote growth, reduce inequalities and maintain macroeconomic and financial stability. We will continue to enhance macro policy cooperation and support the progress towards the 2030 Agenda for Sustainable Development. We reaffirm that achieving SSBIG will require policymakers to stay agile and flexible in their policy response, as evidenced during the recent banking turbulence in a few advanced economies where expeditious action by relevant authorities helped to maintain financial stability and manage spillovers. We welcome the initial steps taken by the Financial Stability Board (FSB), Standard Setting Bodies (SSBs) and in certain jurisdictions to examine what lessons can be learned from this recent banking turbulence and encourage them to advance their ongoing work. We will use macroprudential policies, where required, to safeguard against downside risks. Central banks remain strongly committed to achieving price stability in line with their respective mandates. They will ensure that inflation expectations remain well anchored and will clearly communicate policy stances to help limit negative cross-country spillovers. Central bank independence is crucial to maintaining policy credibility. We will prioritise temporary and targeted fiscal measures to protect the poor and the most vulnerable, while maintaining medium-term fiscal sustainability. We will ensure the coherence of the overall monetary and fiscal stances. We recognise the importance of supply-side policies, especially policies that increase labour supply and enhance productivity to boost growth and alleviate price pressures. We reaffirm our April 2021 exchange rate commitments. We also reaffirm the importance of the rules-based, non-discriminatory, fair, open, inclusive, equitable, sustainable and transparent multilateral trading system with the World Trade Organization (WTO) at its core in restoring growth and job creation and reiterate our commitment to fight protectionism and encourage concerted efforts for reform of the WTO.
  2. While global food and energy prices have fallen from their peak levels, the potential for high levels of volatility in food and energy markets remains, given the uncertainties in the global economy. In this context, we welcome the G20 Report on Macroeconomic Impacts of Food and Energy Insecurity and their Implications for the Global Economy, informed by policy experiences shared by members and supported by analysis from the International Monetary Fund (IMF), World Bank Group (WBG), International Energy Agency (IEA) and Food and Agriculture Organisation (FAO) and take note of its voluntary and non-binding policy learnings. We look forward to an ambitious replenishment of the International Fund for Agricultural Development (IFAD) resources at the end of the year by IFAD members, to support IFAD’s fight against food insecurity.
  3. We also take note of the discussions on assessing macroeconomic risks to SSBIG, including those stemming from climate change and various transition policies considering country-specific circumstances and different levels of development. The macroeconomic costs of the physical impacts of climate change are significant at an aggregate level and the cost of inaction substantially outweighs that of orderly and just climate transitions. We recognise the importance of international dialogue and cooperation, including in the areas of finance and technology, and timely policy action consistent with country- specific circumstances. It is also critical to assess and account for the short, medium and long-term macroeconomic impact of both the physical impact of climate change and transition policies, including on growth, inflation, and unemployment. We endorse the G20 Report on Macroeconomic Risks Stemming from Climate Change and Transition Pathways that presents an evidence-based assessment informed by policy experiences shared by members and technical inputs from the IMF, IEA, and the Network of Central Banks and Supervisors for Greening the Financial System (NGFS). Building on analysis in this Report, we will consider further work on the macroeconomic implications, as appropriate, particularly as relevant for fiscal and monetary policies, drawing on the inputs from a diverse set of stakeholders.
  4. We remain committed to pursuing ambitious efforts to evolve and strengthen Multilateral Development Banks (MDBs) to address the global challenges of the 21st century with a continued focus on addressing the development needs of low- and middle-income countries.
  5. Following up on the mandate from our Leaders in Bali in November 2022 and based on the updates from MDBs in Spring 2023, a G20 Roadmap for Implementing the Recommendations of the G20 Independent Review of MDBs Capital Adequacy Frameworks (CAFs) has been developed. We endorse this Roadmap and call for its ambitious implementation, within MDBs’ own governance frameworks while safeguarding their long-term financial sustainability, robust credit ratings and preferred creditor status. We also call for a regular review of the progress of implementation on a rolling basis including through engaging with MDBs, subject experts and shareholders. We commend the MDBs for their progress in implementing the CAF recommendations, especially with respect to adapting definitions of risk appetite and financial innovation. At the same time, we emphasise the need to give an additional push to CAF implementation. We appreciate the ongoing collaboration among MDBs on the timely release of Global Emerging Markets (GEMs) data and the launch of GEMs 2.0 as a stand-alone entity by early 2024. Going forward, we also encourage MDBs to collaborate in areas such as hybrid capital, callable capital, and guarantees. We appreciate the enhanced dialogue between the MDBs, Credit Rating Agencies and shareholders and encourage continued transparency in the exchange of information and rating methodologies. We take note that initial CAF measures, including those under implementation and consideration, could potentially yield additional lending headroom of approximately USD 200 billion over the next decade, as estimated in the G20 CAF Roadmap. While these are encouraging first steps, we will need continued and further impetus on CAF implementation.
  6. Furthermore, we reiterate our call for the MDBs to undertake comprehensive efforts to evolve their vision, incentive structures, operational approaches and financial capacities so that they are better equipped to maximize their impact in addressing a wide range of global challenges, while being consistent with their mandate and commitment to accelerate progress towards Sustainable Development Goals (SDGs). Recognising the urgent need to strengthen and evolve the MDB ecosystem for the 21st century, we appreciate the efforts of the G20 Independent Expert Group on Strengthening MDBs in preparing Volume 1 of the Report, and we will examine it in conjunction with Volume 2 expected in October 2023. We take note of Volume 1’s recommendations and the MDBs may choose to discuss these recommendations as relevant and appropriate, within their governance frameworks, in due course, with a view to enhancing the effectiveness of MDBs. We look forward to a High-Level Seminar, on the sidelines of the Fourth FMCBG meeting in October 2023 on strengthening the financial capacity of MDBs. We encourage MDBs to update the International Financial Architecture Working Group (IFA WG) on their evolution efforts to better address global challenges. We welcome the March 2023 Report on Evolution of the World Bank Group and call on the World Bank to advance the implementation of the agreed actions and continue to develop further proposals that can contribute to significant progress of the Bank’s evolution exercise by the IMF/WBG 2023 Annual Meetings in Marrakech. Recognising other multilateral efforts in this area, we take note of the Summit for a New Global Financing Pact. We also look forward to an ambitious IDA21 replenishment. We acknowledge the concluding report on the 2020 Shareholding Review of the International Bank for Reconstruction and Development (IBRD) and look forward to the 2025 Shareholding Review.
  7. We reiterate our commitment to a strong, quota-based, and adequately resourced IMF at the centre of the global financial safety net. We remain committed to revisiting the adequacy of quotas and will continue the process of IMF governance reform under the 16th General Review of Quotas (GRQ), including a new quota formula as a guide, and ensure the primary role of quotas in IMF resources, to be concluded by December 15, 2023. In this context, we support at least maintaining the IMF’s current resource envelope. We welcome the landmark achievement of the global ambition of USD 100 billion of voluntary contributions (in SDRs or equivalent) and USD 2.6 billion of grants in pledges for countries most in need and call for the swift delivery of pending pledges. We welcome the progress achieved under the Resilience and Sustainability Trust (RST) and Poverty Reduction and Growth Trust (PRGT) with pledges for the RST amounting to about USD 45.5 billion and for the PRGT to about USD 24.2 billion in loan resources and nearly USD 1.9 billion in subsidy resources, respectively, through the voluntary channelling of Special Drawing Rights (SDRs) or equivalent contributions. We call for further voluntary subsidy and loan pledges to the PRGT by the IMF/WBG 2023 Annual Meetings in Marrakech to meet the first stage PRGT fundraising needs. We look forward to the IMF delivering a preliminary analysis, by the 2023 IMF/WBG Annual Meetings, of the range of options to put the PRGT on a sustainable footing with a view to meeting the growing needs of low-income countries in the coming years. The G20 reiterates its continued support to Africa, including through the G20 Compact with Africa. We will continue to monitor progress on channelling SDRs or equivalent contributions from countries with strong external positions and look forward to the IMF Ex-Post Report on the use of SDRs in September. We will continue to monitor the effectiveness of RST supported programs and look forward to interim review scheduled for April 2024. We look forward to further progress on the exploration of viable options for channelling SDRs through MDBs, while respecting relevant legal frameworks and the need to preserve the reserve asset character and status of SDRs. We look forward to the review of precautionary arrangements (FCL, PLL and SLL) and take note of the discussions held on the IMF surcharge policy.
  8. We welcome discussions on the potential macro-financial implications arising from the introduction and adoption of Central Bank Digital Currencies (CBDCs), notably on cross-border payments as well as on the international monetary and financial system. We welcome the BIS Innovation Hub (BISIH) Report on Lessons Learnt on CBDCs and look forward to the IMF Report on Potential macro-financial implications of widespread adoption of CBDCs to advance the discussion on this issue. We also look forward to continued discussions on the implementation of international frameworks for the use of different tools in addressing capital flow volatility based on the policy updates by the IMF, the OECD, and the BIS while being mindful of their original purpose. We reiterate our commitment to promote sustainable capital flows. To this effect, we note the OECD’s Report on Towards Orderly Green Transition – Investment Requirements and Managing Risks to Capital Flows.
  9. We re-emphasise the importance of addressing debt vulnerabilities in low and middle-income countries in an effective, comprehensive and systematic manner. We continue to stand by all the commitments made in the Common Framework for Debt Treatments beyond the DSSI, including those in the second and final paragraphs, as agreed on November 13, 2020, and step up the implementation of the Common Framework in a predictable, timely, orderly and coordinated manner. To this end, we ask the G20 International Financial Architecture Working Group (IFA WG) to continue discussing policy-related issues linked to implementation of the Common Framework and make appropriate recommendations. We welcome the recent agreement between the Government of Zambia and official creditor committee on a debt treatment and look forward to a swift resolution. We welcome the formation of an official creditor committee for Ghana and look forward to an agreement on a debt treatment as soon as possible. We also call for a swift conclusion of the debt treatment for Ethiopia. Beyond the Common Framework, we welcome all efforts for timely resolution of the debt situation of Sri Lanka, including the formation of the official creditor committee, and we call for the resolution as soon as possible. Noting the work in developing the G20 Note on the Global Debt Landscape in a fair and comprehensive manner, we ask the G20 IFA WG to continue the development expeditiously. We encourage the efforts of the Global Sovereign Debt Roundtable (GSDR) participants to strengthen communication and foster a common understanding among key stakeholders, both within and outside the Common Framework, for facilitating effective debt treatments.
  10. We welcome joint efforts by all stakeholders, including private creditors, to continue working towards enhancing debt transparency. We note the results of the voluntary stocktaking exercise of data sharing with International Financial Institutions. We welcome the efforts of private sector lenders who have already contributed data to the joint Institute of International Finance (IIF)/OECD Data Repository Portal and continue to encourage others to also contribute on a voluntary basis.
  11. We emphasise the need for enhanced mobilisation of finances and efficient use of existing resources in our efforts to make the cities of tomorrow inclusive, resilient, and sustainable. To this effect, we endorse the G20 Principles for Financing Cities of Tomorrow, which are voluntary and non-binding in nature and the G20/OECD Report on Financing Cities of Tomorrow, which provides a financing strategy as well as presents a compendium of innovative urban planning and financing models. We encourage stakeholders, including the Development Financial Institutions and the MDBs, to explore the potential of drawing upon these principles in their planning and financing of urban infrastructure wherever applicable and share experiences from early pilot cases. We note the progress in outlining the enablers of inclusive cities. We also note the customisable G20/ADB Framework on Capacity Building of Urban Administration to guide local governments in assessing and enhancing their overall institutional capacity for the effective delivery of public services. We note the ongoing pilot application of the voluntary and non-binding Quality Infrastructure Investment (QII) Indicators and look forward to further discussion on their application considering the country circumstances. We thank the Global Infrastructure Hub for supporting the G20’s multi-year infrastructure agenda since 2014. We note that the GIH Board and shareholders are currently engaged in exploring a way to best sustain the value created so far. We look forward to the outcome report of the 2023 Infrastructure Investors Dialogue focused on integrating the private sector perspective in designing policies for financing cities of tomorrow.
  12. We continue to reaffirm our steadfast commitment to strengthening the full and effective implementation of the United Nations Framework Convention on Climate Change (UNFCCC) and the Paris Agreement. We recall and reaffirm the commitment made by developed countries to the goal of mobilising jointly USD 100 billion climate finance per year by 2020, and annually through 2025, to address the needs of developing countries, in the context of meaningful mitigation action and transparency in implementation. Developed country- contributors expect this goal to be met for the first time in 2023. In this context, we also support continued deliberations on an ambitious new collective quantified goal of climate finance from a floor of USD 100 billion per year to support developing countries, that helps in fulfilling the objective of the UNFCCC and implementation of the Paris Agreement.
  13. We welcome the Sustainable Finance Working Group (SFWG) recommendations on the mechanisms to support the timely and adequate mobilisation of resources for climate finance, while ensuring support for transition activities in line with country circumstances. We also recognise the significant role of public finance, as an important enabler of climate actions such as leveraging much-needed private finance through blended financial instruments, mechanisms and risk-sharing facilities, to address both adaptation and mitigation efforts in a balanced manner for reaching the ambitious Nationally Determined Contributions (NDCs), carbon neutrality and net-zero considering different national circumstances. We welcome the recommendations for scaling up blended finance and risk-sharing facilities, including the enhanced role of MDBs in mobilizing climate finance. We underscore the importance of maximizing the effect of concessional resources, such as those of the multilateral climate funds to support developing countries’ implementation of the Paris Agreement and look forward to an ambitious replenishment of the Green Climate Fund (GCF) this year. Recognizing the importance of supporting the commercialization of early-stage technologies that avoid, abate and remove greenhouse gas emissions and facilitate adaptation, we note the recommendations on financial solutions, policies, and incentives to encourage greater private flows for the rapid development, demonstration, and deployment of green and low-carbon technologies. We reiterate the importance of a policy mix consisting of fiscal, market and regulatory mechanisms including, as appropriate, the use of carbon pricing and non-pricing mechanisms and incentives, toward carbon neutrality and net zero. We look forward to the early finalisation of the Compendium comprising the discussions on Non-Pricing Policy Levers to Support Sustainable Investment.
  14. We reiterate our commitment to take action to scale up sustainable finance. In line with the G20 Sustainable Finance Roadmap, we welcome the analytical framework for SDG-aligned finance, and voluntary recommendations for scaling-up adoption of social impact investment instruments and improving nature-related data and reporting, informed by the stocktaking analyses, considering country circumstances. We encourage all relevant stakeholders to consider these recommendations in their actions and support for the 2030 Agenda.
  15. We endorse the multi-year G20 Technical Assistance Action Plan (TAAP) and the voluntary recommendations made to overcome data-related barriers to climate investments. We encourage the implementation of TAAP by relevant jurisdictions and stakeholders in line with the national circumstances. We look forward to reporting on the progress made by members, international organisations, networks and initiatives in the implementation of the G20 Sustainable Finance Roadmap, which is voluntary and flexible in nature, and call for further efforts to advance the Roadmap’s recommended actions that will scale up sustainable finance, including among others the implementation of the Transition Finance Framework. We look forward to the finalisation of the 2023 G20 Sustainable Finance Report, including a review of the implementation of the G20 Sustainable Finance Roadmap. We welcome finalization of the sustainability and climate-related disclosure standards published by the International Sustainability Standards Board (ISSB) in June 2023, which provide the mechanisms that address proportionality and promote interoperability. It is important that flexibility, to take into account country- specific circumstances, is preserved in the implementation of those standards. When put into practice as above, those standards will help to support globally comparable and reliable disclosures.
  16. We remain committed to strengthening the global health architecture for pandemic prevention, preparedness and response (PPR) through enhanced collaboration between Finance and Health Ministries under the Joint Finance and Health Task Force (JFHTF). Under the JFHTF, we welcome the participation of invited key regional organisations in the Task Force meetings as they enhance the voice of low-income countries. We welcome the discussion on the Framework on Economic Vulnerabilities and Risks (FEVR) and the initial Report for Economic Vulnerabilities and Risks arising from pandemics, created through collaboration between World Health Organisation (WHO), World Bank, IMF, and European Investment Bank (EIB). We call on the Task Force to continue refining this Framework over its multi-year work plan in order to regularly assess economic vulnerabilities and risks due to evolving pandemic threats, taking into account country-specific circumstances. We welcome the Report on Best Practices from Finance Health Institutional Arrangements during Covid-19 that will contribute towards joint finance-health sector readiness to support our response to future pandemics. We welcome the Report on Mapping Pandemic Response Financing Options and Gaps developed by the WHO and World Bank and look forward to further deliberations on how financing mechanisms could be optimized, better coordinated and, when necessary, suitably enhanced, to deploy the necessary financing quickly and efficiently, duly considering discussions in other global forums. The analysis provided by these three reports will offer important inputs for discussion in the Joint Finance-Health Ministerial Meeting in August on global response to the next pandemic threat. We welcome the conclusion of the call for proposals by the Pandemic Fund and look forward to the first round of funding in the coming months.
  17. We reaffirm our commitment to continue cooperation towards a globally fair, sustainable and modern international tax system appropriate to the needs of the 21st century. We welcome the delivery of a text of a Multilateral Convention (MLC) on Amount A, significant progress of work on Amount B and the completion of the work on the development of the Subject to Tax Rule (STTR) and its implementation framework as set out in the July 2023 Outcome Statement of the OECD/G20 Inclusive Framework on BEPS (Inclusive Framework). We call on the Inclusive Framework to swiftly resolve the few pending issues relating to the MLC with a view to prepare the MLC for signature in the second half of 2023 and complete the work on Amount B by end of 2023. We welcome the steps taken by various countries to implement the Global Anti-Base Erosion (GloBE) Rules as a common approach. We recognise the need for coordinated efforts towards capacity building to implement the two-pillar international tax package effectively and in particular, welcome a plan for additional support and technical assistance for developing countries. We welcome the launch of the pilot programme of the South Asia Academy in India for tax and financial crime investigation in collaboration with OECD. We note the 2023 update of the G20/OECD Roadmap on Developing Countries and International Taxation. We note the Update on the Implementation of the 2021 Strategy on Unleashing the Potential of Automatic Exchange of Information for Developing Countries by the Global Forum on Transparency and Exchange of Information for Tax Purposes (“Global Forum”). We call for the swift implementation of the Crypto-Asset Reporting Framework (“CARF”) and amendments to the CRS. We ask the Global Forum to identify an appropriate and coordinated timeline to commence exchanges by relevant jurisdictions, noting the aspiration of a significant number of these jurisdictions to start CARF exchanges by 2027, and to report to our future meetings on the progress of its work. We note the OECD Report on Enhancing International Tax Transparency on Real Estate and the Global Forum Report on Facilitating the Use of Tax-Treaty-Exchanged Information for Non-Tax Purposes. We note the discussions held at the G20 High-Level Tax Symposium on Combatting Tax Evasion, Corruption and Money Laundering.
  18. We continue to closely monitor the risks of the fast-paced developments in the crypto-asset ecosystem. We endorse the Financial Stability Board’s (FSB’s) high-level recommendations for the regulation, supervision and oversight of crypto-assets activities and markets and of global stablecoin arrangements. We ask the FSB and standard-setting bodies (SSBs) to promote the effective and timely implementation of these recommendations in a consistent manner globally to avoid regulatory arbitrage. We welcome the shared FSB and SSBs workplan for crypto assets. We look forward to receiving the IMF-FSB Synthesis Paper, including a Roadmap, before the Leaders’ Summit in September 2023, to support a coordinated and comprehensive policy and regulatory framework taking into account the full range of risks, and risks specific to the emerging market and developing economies (EMDEs) and ongoing global implementation of FATF standards to address money laundering and terrorism financing risks. In this context, we note the Presidency Note as an important input for the Synthesis Paper. We also welcome the BIS Report on The Crypto Ecosystem: Key Elements and Risks.
  19. We continue to strongly support the work of the FSB and SSBs to address vulnerabilities and enhance the resilience of non-bank financial intermediation (NBFI) from a systemic perspective while monitoring evolving developments in NBFI. We welcome the FSB’s consultation report on revisions to the FSB 2017 recommendations on addressing liquidity mismatch in open-ended funds, and we support work to promote implementation of the FSB money market fund proposals, enhance margining practices, and address vulnerabilities from non-bank leverage. We welcome the FSB’s recommendations to achieve greater convergence in cyber incident reporting, updates to the Cyber Lexicon and Concept Note for a Format for Incident Reporting Exchange (FIRE). We look forward to the FSB’s work to identify the reporting needs and the prerequisites for and feasibility of the development of FIRE, and we ask the FSB to develop an action plan with appropriate timelines.
  20. We welcome the FSB’s consultation Report on Enhancing Third-party Risk Management and Oversight. We expect the toolkit to support efforts in enhancing the operational resilience of financial institutions, addressing the challenges arising from their growing reliance on critical third-party service providers including BigTechs and FinTechs, as well as reducing fragmentation in regulatory and supervisory approaches across jurisdictions and in different areas of the financial services sector. We reaffirm our commitment to the effective implementation of the prioritised actions for the next phase of the G20 Roadmap for Enhancing Cross-border Payments and welcome the initiatives undertaken by SSBs and international organisations in this direction. To that end, we look forward to the FSB’s progress report in October on the implementation of this roadmap. We look forward to the G20 TechSprint 2023, a joint initiative with the BIS Innovation Hub, which will promote innovative solutions aimed at improving cross-border payments. We welcome the annual progress Report on the FSB’s Roadmap for Addressing Financial Risks from Climate Change. We endorse the revised G20/OECD Principles of Corporate Governance with the aim to strengthen policy and regulatory frameworks for corporate governance that support sustainability and access to finance from capital markets, which in turn can contribute to the resilience of the broader economy.
  21. We welcome the progress made by the Global Partnership for Financial Inclusion (GPFI) towards the completion of the deliverables under the G20 2020 Financial Inclusion Action Plan (FIAP). We welcome the 2023 Update to Leaders on Progress towards the G20 Remittance Target and endorse the Regulatory Toolkit for Enhanced Digital Financial Inclusion of Micro, Small and Medium Enterprises (MSMEs). We endorse the voluntary and non-binding G20 Policy Recommendations for Advancing Financial Inclusion and Productivity Gains through Digital Public Infrastructure. We take note of the significant role of digital public infrastructure in helping to advance financial inclusion in support of inclusive growth and sustainable development. We also encourage the continuous development and responsible use of technological innovations including innovative payment systems, to achieve financial inclusion of the last mile and progress towards reducing the cost of remittances in line with the G20 Leaders’ directions. We also support continuous efforts to strengthen digital financial literacy and consumer protection. We endorse the G20 2023 FIAP, which provides an action-oriented and forward-looking roadmap for rapidly accelerating the financial inclusion of individuals and MSMEs, particularly vulnerable and underserved groups in the G20 countries and beyond. We also endorse the 2023 Updated GPFI Terms of Reference.
  22. We recognise the importance of delivering on the strategic priorities of the Financial Action Task Force (FATF) and FATF Style Regional Bodies. We commit to supporting their increasing resource needs and encourage others to do the same, including for the next round of mutual evaluations. We remain committed to the timely and global implementation of the revised FATF Standards on the transparency of beneficial ownership of legal persons and legal arrangements to make it more difficult for criminals to hide and launder ill- gotten gains. We welcome the ongoing work of the FATF to enhance global efforts to recover criminal proceeds, in particular, the progress made by the FATF towards revising its standards on asset recovery and reinforcing global asset recovery networks. We reiterate the importance of countries developing and implementing effective regulatory and supervisory frameworks to mitigate risks associated with virtual assets in line with FATF Standards especially for terrorism financing, money laundering, and proliferation financing risks. In this regard, we support the FATF’s initiative to accelerate the global implementation of its standards, including the “travel rule”, and its work on risks of emerging technologies and innovations, including decentralised finance (DeFi) arrangements and peer-to-peer transactions. We look forward to the completion of FATF’s work on the use of crowdfunding for terrorism financing and on money laundering related to cyber-enabled fraud.
  23. With a vision reminiscent of Mahatma Gandhi’s teachings, we, the Finance Ministers and Central Bank Governors of G20 countries, envisage a future in which every nation thrives, prosperity is widely shared, and the well-being of humanity and the planet are harmoniously intertwined.

 

Annex I: Issues for further work

This Annex lists the deliverables from various G20 Finance Track workstreams following the July FMCBG meeting.

Framework Working Group

  • G20 IMF Report on Strong, Sustainable, Balanced and Inclusive Growth, October 2023, in the context of increasing vulnerabilities associated with macroeconomic instabilities and financial globalisation.

International Financial Architecture Working Group

· Volume 2 of the Report of G20 Expert Group on Strengthening MDBs

  • Regular review of the progress of implementation of CAF recommendations on a rolling basis including through engaging with MDBs, subject experts and shareholders

· Updates from IMF on the progress of the 16th General Review of Quotas

  • Update from the IMF on the ex-post assessment of 2021 SDR allocation
  • Continued exploration of opportunities for a “User manual” for the Common

Framework presenting the experience of the first cases.

  • G20 IFA WG to continue developing expeditiously the G20 Note on the Global Debt Landscape in a fair and comprehensive manner.
  • IFA WG to continue discussing policy-related issues linked to implementation of the Common Framework and make appropriate recommendations
  • Technical workshops to be held under the ambit of GSDR, such as the one on Comparability of Treatment (CoT).
  • Improvements to sovereign debt restructuring by continuing the discussion on some specific debt instruments, including potential best practices for LICs on collateralised financing practices, exploring ways to increase private sector involvement, in particular regarding the restructuring of syndicated loans, collective action clauses, assessing the benefits and complications of state- contingent debt instruments (SCDI), and climate-resilient debt clauses in international sovereign bonds and in official bilateral lending.
  • IMF Report on the potential macro-financial implication of widespread adoption of CBDCs, in September 2023.

Infrastructure

  • Continuation of the InfraTracker 2.0 to track planned infrastructure investments across G20 member economies using publicly available sources and transition it to an online tool.
  • Compilation of the scope and taxonomies related to infrastructure across G-20 economies and International Organisations.

Sustainable Finance Working Group

  • Monitoring and reporting of progress on G20 Sustainable Finance Roadmap on the SFWG online dashboard.
  • Finalisation of the 2023 G20 Sustainable Finance Report.
  • Compendium of case studies for financing SDGs.

International Taxation

  • A Handbook by the OECD on Pillar Two to facilitate implementation through a common approach, especially to assist capacity-constrained jurisdictions and present the Handbook by October 2023.

Financial Sector Issues

  • A joint synthesis paper by the IMF and the FSB integrating the macroeconomic and regulatory perspectives of crypto assets to be submitted in September 2023.
  • An interim report by the BIS Committee on Payments and Market Infrastructures (CPMI) on Fast Payment Systems (FPS) interlinking governance, risk management and oversight considerations; and the final report on ISO 20022 harmonisation requirements for cross-border payments in October 2023.
  • FSB to provide a report on the financial stability implications of leverage in NBFI in September 2023.
  • FSB to provide an overall progress report on enhancing the resilience of NBFI in September 2023.
  • FSB to provide its Annual Report on Promoting Global Financial Stability in October 2023.
  • FSB to report in October 2023 its progress on the implementation of the G20 Roadmap for Enhancing Cross-Border Payments.
  • FSB, in coordination with the ISSB and IOSCO, to prepare a report on the progress of jurisdictions and firms on climate-related financial disclosures by October 2023.

Global Partnership for Financial Inclusion

  • GPFI will continue work to complete the Second Update of National Remittance Plans and present a case-study on the impact of digital remittances in reducing the cost of remittances.
  • GPFI will report on progress in implementing the G20 GPFI High-Level Principles on Digital Financial Inclusion.
  • GPFI to work on SME best practices and innovative instruments to overcome common constraints in SME financing based on GPFI SME living database.

 

Annex 2: Reports and Documents received

  1. G20 Report on Macroeconomic Impacts of Food and Energy Insecurity and their implications for the global economy
  2. G20 Report on Macroeconomic risks stemming from climate change and transition pathways
  3. G20 Roadmap for implementing the recommendations of the G20 Independent Review of MDBs Capital Adequacy Frameworks (CAFs)
  4. Volume 1 of the G20 Expert Group on Strengthening MDBs
  5. BIS Innovation Hub (BISIH) Report on “Lessons learnt on CBDCs”
  6. OECD’s report on “Towards Orderly Green Transition – Investment Requirements and Managing Risks to Capital Flows
  7. G20 note on the total global ambition of USD 100bn of voluntary contributions for countries most in need
  8. G20 Principles for Financing Cities of Tomorrow: inclusive, resilient and sustainable
  9. G20/OECD Report on Financing Cities of Tomorrow
  10. G20/ADB Framework on Capacity Building of Urban Administration
  11. G20 Sustainable Finance Working Group Deliverables
  12. Framework on Economic Vulnerabilities and Risks (FEVR) and the initial Report for economic vulnerabilities and risks arising from pandemics
  13. Report on Best Practices from Finance Health Institutional Arrangements during Covid-19
  14. Report on Mapping Pandemic Response Financing Options and Gaps developed by the WHO and World Bank
  15. G20/OECD Roadmap on Developing Countries and International Taxation Update 2023
  16. OECD Report on ‘Enhancing International Tax Transparency on Real Estate’
  17. Global Forum Report on ‘Facilitating the Use of Tax-Treaty-Exchanged Information for Non-Tax Purposes’
  18. Global Forum Update on the implementation of the 2021 Strategy on Unleashing the Potential of Automatic Exchange of Information for Developing Countries
  19. FSB Chair’s Letters to G20 Finance Ministers and Central Bank Governors, April and July 2023.
  20. FSB’s global regulatory framework for crypto-asset activities: Umbrella public note to accompany final framework
  21. FSB’s high-level recommendations for the regulation, supervision, and oversight of crypto-asset activities and markets
  22. FSB’s high-level recommendations for the regulation, supervision, and oversight of global stablecoin arrangements
  23. BIS Report on “The crypto ecosystem: key elements and risks”.
  24. FSB Consultation report on addressing liquidity mismatch in open-ended funds-Revisions to the FSB 2017 policy recommendations
  25. FSB Report on Enhancing Third-Party Risk Management and Oversight: A toolkit for financial institutions and financial authorities
  26. FSB Roadmap for Addressing Financial Risks from Climate Change: 2023 Progress Report
  27. FSB Recommendations to Achieve Greater Convergence in Cyber Incident Reporting: Final Report
  28. FSB Concept Note on Format for Incident Reporting Exchange (FIRE) – A possible way forward
  29. Revised G20/OECD Principles of Corporate Governance
  30. G20 Policy Recommendations for Advancing Financial Inclusion and Productivity Gains through Digital Public Infrastructure
  31. 2023 Update to Leaders on Progress towards the G20 Remittance Target
  32. Regulatory Toolkit for Enhanced Digital Financial Inclusion of Micro, Small and Medium Enterprises (MSMEs)
  33. G20 2023 FIAP
  34. 2023 Updated GPFI Terms of Reference.
  35. 2023 GPFI Progress Report to G20 Leaders
  36. G20 Financial Inclusion Action Plan Progress Report 2021-23
  37. FATF Report- Countering Ransomware Financing Report (March 2023)
  38. Targeted Update on the Implementation of the FATF Standards for Virtual Assets (June 2023)
  39. FATF Report on Guidance on Beneficial Ownership Transparency for Legal Persons (March 2023)

****

Mina and Cross-Chain Interoperability: Connecting Blockchains for Seamless Integration

  In the fast-paced world of digital marketing, staying ahead of the competition is crucial. As an SEO and senior copywriter, I understand the importance of creating high-quality English content that can surpass other websites. Today, I will delve into the topic of Mina and Cross-Chain Interoperability, exploring how it connects blockchains for seamless integration. This comprehensive article aims to provide valuable insights and rank high in Google search results. Let’s explore this exciting concept and its implications in the world of blockchain technology. Online Website for trading named Immediate Profit has revolutionized the way people trade crypto. Try now!

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Understanding Mina and Cross-Chain Interoperability

What is Mina?

Mina is a groundbreaking cryptocurrency project that aims to revolutionize the blockchain industry through its unique approach to scalability and decentralization. Unlike traditional blockchains that face challenges as transaction volume increases, Mina maintains a constant blockchain size by leveraging zk-SNARKs, a cutting-edge technology. zk-SNARKs enable Mina to reduce the size of transaction data while preserving its integrity, resulting in faster transaction processing, lower fees, and an improved user experience. Moreover, Mina’s lightweight blockchain design promotes decentralization, allowing anyone to participate in the network and contribute to its security and consensus mechanisms. By addressing scalability issues and prioritizing decentralization, Mina paves the way for a more efficient and accessible blockchain ecosystem.

Mina’s groundbreaking cryptocurrency project aims to revolutionize the blockchain industry by focusing on scalability and decentralization. By employing the unique technology of zk-SNARKs, Mina maintains a constant blockchain size regardless of the number of transactions. This scalability breakthrough ensures faster transaction processing, lower fees, and an enhanced user experience. Additionally, Mina’s commitment to decentralization fosters a democratic and robust ecosystem, allowing anyone to participate in the network and contribute to its security. With its innovative approach, Mina sets the stage for a more efficient and accessible blockchain ecosystem that can drive the industry forward.

The Significance of Cross-Chain Interoperability

As the blockchain ecosystem continues to expand, the need for seamless integration between different blockchain networks becomes increasingly important. Cross-chain interoperability enables the transfer of assets and data across multiple blockchains, unlocking a myriad of possibilities for decentralized applications (dApps) and decentralized finance (DeFi).

Mina: Pioneering Cross-Chain Interoperability

Bridging Blockchains with Mina

Mina is at the forefront of cross-chain interoperability, providing a robust framework for connecting different blockchains. By leveraging its zk-SNARKs technology, Mina enables efficient and secure transfer of assets and data across various chains. This capability opens up endless opportunities for developers and users alike.

Advantages of Mina’s Cross-Chain Interoperability

  • Scalability: Mina’s zk-SNARKs technology ensures that the blockchain remains lightweight and scalable. This scalability is essential for accommodating the growing demands of decentralized applications and supporting increased transaction volumes.
  • Enhanced Privacy: Mina’s privacy-focused approach enables users to transact and interact with other blockchains while preserving their privacy. The integration of zk-SNARKs allows for secure and anonymous transactions, protecting sensitive user information.
  • Interconnectivity: By connecting various blockchains, Mina promotes collaboration and synergy between different decentralized ecosystems. Developers can leverage the unique features of different chains, leading to the creation of more powerful and versatile applications.
  • Reduced Complexity: Mina simplifies the process of interacting with different blockchains. Through its cross-chain interoperability framework, users can seamlessly access and utilize assets and functionalities from disparate networks, eliminating the complexities of managing multiple wallets and accounts.

Real-World Applications of Mina’s Cross-Chain Interoperability

DeFi and Mina

Mina’s cross-chain interoperability is particularly valuable in the decentralized finance (DeFi) space. DeFi protocols can leverage Mina’s technology to interact with multiple blockchains, accessing liquidity and assets from different networks. This interconnectivity enhances the efficiency and effectiveness of DeFi applications, unlocking new possibilities for users and developers.

Cross-Chain NFT Marketplaces

Non-fungible tokens (NFTs) have gained immense popularity in recent years. Mina’s cross-chain interoperability offers exciting opportunities for NFT marketplaces. Artists and collectors can showcase their creations across multiple blockchains, expanding their reach and audience. Mina’s technology ensures that the ownership and provenance of NFTs are securely preserved during cross-chain transactions.

Decentralized Exchanges (DEXs)

Decentralized exchanges play a pivotal role in the cryptocurrency ecosystem. With Mina’s cross-chain interoperability, DEXs can access liquidity and trading pairs from various blockchains, facilitating seamless asset exchange. This integration fosters a vibrant and diverse trading environment, enhancing liquidity and market efficiency.

Conclusion

Mina’s innovative approach to cross-chain interoperability has the potential to reshape the blockchain landscape. By connecting different blockchains and enabling seamless integration, Mina empowers developers and users to harness the full potential of decentralized applications. Whether in the realms of DeFi, NFTs, or decentralized exchanges, Mina’s technology paves the way for a more interconnected and efficient blockchain ecosystem.To stay ahead in the ever-evolving world of digital marketing, it’s essential to understand the latest trends and technologies. Embracing Mina’s cross-chain interoperability and staying up-to-date with emerging blockchain developments can help businesses unlock new opportunities and maintain a competitive edge.

Cracking the Code: Exploring the Potential of SCRT in the Blockchain Space

  The blockchain space has witnessed significant growth and innovation in recent years. As new technologies and projects emerge, one platform that has gained attention is Secret Network (SCRT). In this article, we will delve into the potential of SCRT and how it is poised to revolutionize the blockchain industry. You may click here to start your trading journey now!

Understanding Secret Network

Secret Network is an open-source blockchain protocol that enables privacy-preserving smart contracts. Built on the Cosmos SDK, it provides developers with a secure and scalable platform to build decentralized applications (dApps) with enhanced privacy features. SCRT, the native cryptocurrency of Secret Network, powers the network and serves as a medium of exchange within the ecosystem.

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Enhanced Privacy and Confidentiality

One of the key features that sets Secret Network apart is its focus on privacy. Traditional blockchain networks lack privacy by default, as transaction details and smart contract data are visible to all participants. However, Secret Network employs a unique approach called “secret contracts” to address this issue.

Secret contracts enable encrypted inputs, outputs, and state within the smart contracts. This means that sensitive data remains hidden from validators and other network participants, ensuring confidentiality. This enhanced privacy feature opens up a wide range of possibilities for businesses and individuals looking to leverage blockchain technology without compromising sensitive information.

Use Cases and Applications

The potential use cases for Secret Network and SCRT are diverse and far-reaching. Let’s explore a few areas where this platform can make a significant impact:

  • Finance and DeFi

Secret Network can revolutionize the finance sector by enabling privacy-preserving decentralized finance (DeFi) applications. With Secret Network, users can engage in activities such as lending, borrowing, and trading without exposing their financial data to the public. This privacy-enhanced DeFi ecosystem can attract users who prioritize data confidentiality and security.

  • Supply Chain Management

Supply chains often involve sensitive data such as trade secrets, product formulations, and supplier details. By utilizing Secret Network, businesses can build secure and private supply chain management solutions. They can track and verify the authenticity of goods while maintaining confidentiality, protecting proprietary information from competitors and unauthorized parties.

  • Healthcare and Data Sharing

In the healthcare industry, data privacy is of utmost importance. Secret Network can enable secure and private data sharing between healthcare providers, researchers, and patients. Medical records, clinical trial data, and genomic information can be stored on the blockchain, allowing authorized access while preserving patient confidentiality.

  • Gaming and NFTs

The gaming industry has embraced blockchain technology, particularly in the realm of non-fungible tokens (NFTs). Secret Network can add an extra layer of privacy to NFTs, allowing gamers to retain ownership of their assets without revealing sensitive details. This can enhance the user experience and ensure the integrity of in-game assets.

Advantages of Secret Network

Now that we have explored the potential use cases, let’s highlight the advantages of Secret Network and why it stands out in the blockchain space:

  • Privacy by Design

Unlike many other blockchain networks, Secret Network prioritizes privacy from the ground up. By default, all transactions and smart contract inputs remain encrypted, ensuring that sensitive information is protected.

  • Scalability and Interoperability

Secret Network is built on the Cosmos SDK, which provides a scalable and interoperable framework for blockchain development. Developers can build their applications on Secret Network and easily integrate with other Cosmos-based chains, expanding the ecosystem’s potential.

  • Secure Computation

Secret Network leverages secure multi-party computation (sMPC) to perform computations on encrypted data. This allows for privacy-preserving data analysis and processing, enhancing the overall security of the network.

  • Community and Governance

The Secret Network community is vibrant and actively involved in the platform’s development. Through on-chain governance, token holders can participate in decision-making processes, ensuring a decentralized and inclusive ecosystem.

Conclusion

Secret Network and SCRT present a promising avenue for the future of blockchain technology. With its privacy-focused approach, Secret Network enables a wide range of use cases across various industries. From finance to supply chain management, healthcare to gaming, the potential for innovation is immense.As blockchain technology continues to evolve, it is crucial to explore solutions that prioritize privacy and confidentiality. Secret Network’s unique approach with secret contracts opens up new possibilities for businesses and individuals seeking secure and private blockchain solutions. Embrace the potential of SCRT and join the revolution in the blockchain space.

Understanding MX Token: The Key to Unlocking Its Potential

  In today’s digital landscape, cryptocurrencies, including Bitcoin Era which is an online trading platform, have emerged as a revolutionary force, disrupting traditional financial systems and offering new opportunities for individuals and businesses alike. Among the vast array of cryptocurrencies, MX Token stands out as a formidable player with immense potential. In this article, we delve into the intricacies of MX Token, exploring its unique features, use cases, and the reasons why it holds the key to unlocking a world of possibilities. Looking for a safe cryptocurrency trading platform to invest in Bitcoin? Then have a look at this source

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Introduction to MX Token

MX Token is a revolutionary form of digital currency built on the Ethereum blockchain. It leverages advanced technologies to facilitate secure, efficient, and transparent transactions. Functioning as a utility token, MX Token plays a vital role within the MXC ecosystem, providing users with access to a wide range of services, opportunities for governance participation, and the ability to take advantage of a flourishing digital economy.

Operating on the Ethereum blockchain, MX Token harnesses the power of decentralized technology to ensure the integrity and reliability of transactions. This blockchain-based approach eliminates the need for intermediaries, such as banks or financial institutions, resulting in faster and more cost-effective transfers.

As a utility token, MX Token serves as the foundation of the MXC ecosystem, a thriving digital network that encompasses various services and applications. Users can utilize MX Token to access services like data trading, IoT device connectivity, and asset digitization, among others. By holding and using MX Token, individuals can unlock the full potential of the MXC ecosystem, benefiting from its diverse offerings.

Furthermore, MX Token empowers token holders to participate in governance decisions within the MXC ecosystem. Through a decentralized governance model, users can contribute their opinions and ideas, and collectively shape the future development of the platform. This democratic approach fosters transparency and inclusivity, ensuring that the community’s interests are considered in decision-making processes.

In addition to its utility within the ecosystem, MX Token presents opportunities for individuals to thrive in the digital economy. By actively engaging with the MXC ecosystem and utilizing MX Token, users can explore avenues for investment, trading, and entrepreneurship. The token’s liquidity and market availability enable users to seize potential financial benefits and contribute to the growth of the ecosystem.

The Advantages of MX Token

  • Decentralization: One of the key advantages of MX Token lies in its decentralized nature. Powered by blockchain technology, MX Token eliminates the need for intermediaries, allowing for direct peer-to-peer transactions. This decentralized approach ensures transparency, security, and immutability, fostering trust among users.
  • Efficient Transactions: MX Token offers swift and seamless transactions, thanks to its integration with the Ethereum blockchain. With low transaction fees and rapid settlement times, MX Token enables users to transact with ease, facilitating speedy cross-border payments and reducing friction in financial transactions.
  • Liquidity Mining: MX Token provides an opportunity for users to engage in liquidity mining, a process by which individuals can earn additional tokens by providing liquidity to the MXC ecosystem. This incentivizes participation, boosts liquidity, and rewards users for contributing to the growth and stability of the network.
  • Governance and Voting Rights: Holding MX Token grants users the power to participate in the decision-making process within the MXC ecosystem. By staking MX Tokens, individuals can actively engage in voting for protocol upgrades, strategic partnerships, and other crucial matters, ensuring a democratic and community-driven governance structure.

Use Cases of MX Token

  • IoT Applications: MX Token finds significant utility in the Internet of Things (IoT) sector, enabling secure and efficient data transactions between connected devices. With the increasing prevalence of IoT devices in various industries, MX Token plays a pivotal role in fostering seamless communication and data exchange, revolutionizing sectors such as smart cities, agriculture, logistics, and healthcare.
  • Asset Tokenization: The flexibility of MX Token extends to the realm of asset tokenization, where real-world assets such as real estate, commodities, and intellectual property can be represented digitally. By tokenizing assets on the MXC platform, individuals gain access to fractional ownership, increased liquidity, and enhanced tradability, opening up new investment opportunities.
  • DeFi Solutions: MX Token serves as a catalyst for decentralized finance (DeFi) applications, offering users access to a wide range of financial services, including lending, borrowing, yield farming, and decentralized exchanges. The integration of MX Token within the DeFi ecosystem enables individuals to unlock the potential of their assets, earn passive income, and participate in the burgeoning DeFi revolution.

Unlocking the Potential of MX Token

MX Token possesses the inherent capability to unlock a multitude of opportunities in the digital landscape. Its decentralized nature, efficient transactions, and versatile use cases make it a formidable player in the cryptocurrency realm. By embracing MX Token, individuals and businesses can harness the power of blockchain technology, redefine traditional financial systems, and pave the way for a future where digital transactions are seamless, secure, and accessible to all.

In conclusion, MX Token represents a compelling investment opportunity and a gateway to the future of finance. Its potential to revolutionize various industries and empower individuals cannot be overstated. By understanding the intricacies of MX Token and exploring its vast array of use cases, individuals and businesses can position themselves at the forefront of the digital revolution.

The legal and regulatory landscape of Floki: What you need to know

  Cryptocurrencies have taken the world by storm, and the latest craze in the market is Floki. It is no surprise that investors and traders are flocking to this exciting new investment opportunity. However, before diving into the world of Floki, it is important to understand the legal and regulatory landscape surrounding cryptocurrencies. Bit Capex 360 is an online trading platform that enables investors to buy and sell cryptocurrencies.

Floki is a decentralized digital currency that is not controlled by any government or financial institution. It operates on a blockchain technology network, which is a public ledger that records all transactions in a secure and transparent manner. However, despite its decentralized nature, the legality of cryptocurrencies like Floki is still a matter of debate in many countries.

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The legal status of cryptocurrencies varies from country to country. Some countries have completely banned their use, while others have embraced them and are actively encouraging their adoption. In the United States, for example, cryptocurrencies are not illegal, but their use is heavily regulated. The Commodity Futures Trading Commission (CFTC) has classified cryptocurrencies as commodities, which means that they are subject to certain regulations and oversight.

When it comes to trading cryptocurrencies like Floki, it is important to choose a reputable platform. However, before investing in Floki or any other cryptocurrency, it is crucial to understand the risks involved.

Cryptocurrencies are highly volatile, and their prices can fluctuate rapidly. They are also vulnerable to hacking and cyber attacks, which can result in the loss of funds. Therefore, it is important to invest only what you can afford to lose and to keep your funds secure by using a reputable exchange and a secure wallet.

Regulation of cryptocurrencies

The world of cryptocurrencies has always been a controversial topic, with regulators and policymakers struggling to keep up with the rapid pace of technological innovation. The legal status of cryptocurrencies varies from country to country, with some countries banning them altogether, while others are more accepting of them.

In the United States, cryptocurrencies are considered commodities and are regulated by the Commodity Futures Trading Commission (CFTC). The Securities and Exchange Commission (SEC) also regulates some cryptocurrencies that are considered securities. It’s important to note that not all cryptocurrencies are considered securities, and therefore not all of them fall under the purview of the SEC.

Floki and the legal landscape

Floki is a relatively new cryptocurrency, and as such, there is still a lot of uncertainty surrounding its legal status. In general, cryptocurrencies are considered legal as long as they don’t violate any existing laws or regulations. However, some countries have taken a more cautious approach to cryptocurrencies, and it’s important to understand how Floki is being regulated in your jurisdiction.

In the United States, the SEC has not yet made any official statements regarding Floki. However, investors and traders should be aware that the SEC has cracked down on other cryptocurrencies that it deemed to be unregistered securities. It’s also important to note that the CFTC has issued warnings about the risks associated with investing in cryptocurrencies, and investors should do their due diligence before investing in any cryptocurrency.

Tax implications of investing in Floki

Investing in cryptocurrencies has become a popular form of investment for many people worldwide, but it is important to be aware of the potential tax implications. One such cryptocurrency that has gained significant attention is Floki, a digital currency named after the dog made famous by Elon Musk’s tweets.

In the United States, the Internal Revenue Service (IRS) has classified cryptocurrencies as property for tax purposes. This classification means that just like other assets, such as stocks and bonds, capital gains tax applies when you sell or exchange your cryptocurrency for fiat currency (such as US dollars).

Capital gains tax is calculated by subtracting the cost basis, or the original purchase price, of the cryptocurrency from the selling price. The resulting amount is the taxable capital gain. It is important to keep accurate records of all cryptocurrency transactions, including the purchase price, date of purchase, and date of sale or exchange, to properly calculate the capital gains tax owed.

In addition to capital gains tax, other tax implications may arise when investing in cryptocurrencies. For example, if you receive cryptocurrency as payment for goods or services, the value of the cryptocurrency at the time of receipt is considered taxable income. Likewise, if you mine cryptocurrency, the value of the coins at the time of receipt is taxable income.

To ensure compliance with all tax regulations, it is crucial to consult with a tax professional who is knowledgeable about cryptocurrency taxation. A tax professional can help you navigate the complex tax implications of investing in cryptocurrencies like Floki, and ensure that you are reporting your cryptocurrency investments accurately on your tax returns.

Conclusion

Floki is an exciting new investment opportunity that has captured the attention of many investors and traders. However, it’s essential to understand the legal and regulatory landscape surrounding it before investing. While cryptocurrencies are generally considered legal, there are still many uncertainties and risks associated with investing in them. It’s important to do your due diligence and consult with a financial advisor before investing in any cryptocurrency.

Tron: Building a Decentralized Internet for Content Creators

  Tron is an innovative blockchain-based platform that aims to revolutionize the way content creators interact with the internet. With its focus on Delegated Proof of Stake, Tron offers a promising solution for artists, musicians, writers, and other creators seeking more control over their work and fair compensation for their contributions.

In this article, we will delve into the concept of Tron, exploring its core principles, features, and the potential impact it can have on the content creation landscape. Let’s embark on this journey to uncover the transformative power of Tron and how it is shaping the future of the internet.

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What is Tron?

Decentralization at its Core

Tron is a blockchain-based platform that aims to build a decentralized internet ecosystem. It provides a transparent and secure infrastructure for content creators to directly connect with their audience without the need for intermediaries. By leveraging blockchain technology, Tron ensures that creators have full control over their intellectual property rights and are fairly rewarded for their work.

Smart Contracts and Token Economy

At the heart of Tron’s ecosystem are smart contracts. These self-executing contracts enable seamless interactions between content creators, consumers, and various decentralized applications (dApps) within the Tron network. Smart contracts eliminate the need for intermediaries, reducing costs and enabling faster transactions.

Tron’s native cryptocurrency is called TRX. It acts as the fuel that powers the Tron network, facilitating transactions and incentivizing content creators. With TRX, creators can monetize their content directly, without the constraints imposed by traditional platforms.

Cutting-edge Technology: Tron Virtual Machine (TVM)

Tron’s technology is driven by the Tron Virtual Machine (TVM), a Turing complete virtual machine specifically designed for the Tron blockchain. TVM ensures compatibility with the Ethereum Virtual Machine (EVM), allowing for seamless migration of existing Ethereum dApps to the Tron network. This interoperability opens up a vast array of possibilities for developers and content creators.

Benefits for Content Creators

Ownership and Control

One of the key advantages Tron offers to content creators is the ability to maintain ownership and control over their creations. Traditional platforms often exercise strict control over content, making it challenging for creators to protect their intellectual property rights. With Tron, creators can publish their work directly on the blockchain, ensuring secure ownership and control throughout the content lifecycle.

Direct Monetization

Tron enables content creators to monetize their work more directly and efficiently. By eliminating intermediaries, creators can establish direct relationships with their audience and receive payments instantly. The transparent nature of blockchain technology ensures that creators receive fair compensation for their contributions, without the need to navigate complex revenue-sharing models.

Community Building and Engagement

Tron fosters a vibrant community where creators can connect with their audience on a deeper level. Through dApps built on the Tron network, creators can engage in real-time interactions, host live events, and receive immediate feedback from their fans. This direct line of communication strengthens the bond between creators and their supporters, leading to more meaningful collaborations and opportunities.

The Future of Content Creation with Tron

Tron has the potential to reshape the landscape of content creation, empowering individuals to take control of their digital presence. By removing barriers and intermediaries, Tron allows creators to focus on what they do best—creating remarkable content.

A Fairer Economy

With Tron’s token economy, content creators are no longer at the mercy of centralized platforms that dictate terms and siphon off substantial portions of revenue. Tron’s transparent and decentralized approach ensures a fairer distribution of wealth, enabling creators to receive the value they truly deserve.

Innovation and Collaboration

Tron’s open ecosystem encourages innovation and collaboration among creators. With access to a wide range of dApps and tools, creators can explore new possibilities and push the boundaries of their craft. The synergy between developers, artists, and entrepreneurs within the Tron community fosters an environment conducive to groundbreaking projects and creative breakthroughs.

In conclusion, Tron presents an exciting vision for a decentralized internet, where content creators, such as those on Bitcoin Era which is an Online trading platform, are at the forefront of their digital journey. By leveraging blockchain technology, Tron offers a transparent, secure, and efficient platform that empowers creators with ownership, control, and direct monetization. With Tron, the future of content creation is brighter than ever, and the possibilities for creators are limitless.