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Stephane Mouy: One question - How does this proposal accomodates accommodates Anti-money laundering requirements ? Although the account model no doubt has many limitations and is costly, one benefit is that it puts the onus on established third parties (financial service providers which are regulated entities) to ensure compliance with AML requirements. How would this apply here?

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  1. Interoperability. Answer: use standards
  2. Privacy vs AML/KYC - (see above)
  3. How does it co-exist with cash?
  4. Peer to peer needs eventual reconciliation on a ledger.
  5. Focus on payments infrastructure.
  6. Two tier system vs direct claims - tokens migrating- distribution of cbdc through ATMs

The CMSIG can collaborate on a response to the DDP whitepaper. This is totally up to the group.

We will create a page where we can co-ordinate the response.