GIBP

Network

One execution market across many financial networks.

GIBP is designed to make banks, PSPs, FX providers, settlement systems and digital-money networks competing execution options under one policy and evidence layer.

Regulated banks & PSPs

Customer-edge execution, local payout and settlement services.

FX & liquidity providers

Quotes, capacity, liquidity and permitted market execution.

Settlement infrastructures

Bank rails, instant-payment schemes and wholesale settlement systems.

Digital-money networks

Tokenised deposits, regulated stablecoins and other eligible settlement assets.

These are provider categories the architecture is designed to support. A category or example does not imply a live integration, partnership or production corridor unless separately identified as verified.

Roadmap

A continuous institutional execution market.

Eligible providers can compete for flow using quotes, capacity and service commitments. Large instructions can be split across multiple permissible plans when that improves total economics or resilience.

Illustrative RFQ

Outcome
Deliver defined SGD
Funding
GBP
Finality
Required
Policy
Eligible providers only
Provider AEligible · quote submitted

Primary plan candidate

Provider BEligible · quote submitted

Potential split allocation

Provider CRejected by policy

Not priced

Internal liquidityAvailable

Offsets external requirement

Roadmap

Local liquidity. Multilateral netting. Residual settlement.

Customer payments can complete using eligible local liquidity while institutional obligations are accumulated across the network. Opposing flows are offset and only residual exposures need external rebalancing.

01

Local fulfilment

Eligible destination institution pays from available local liquidity.

02

Network netting

Opposing institutional obligations are offset multilaterally.

03

Residual settlement

Only the remaining exposure is rebalanced through permitted assets and rails.

Policy before price

A cheaper route is irrelevant if it violates jurisdiction, asset, mandate or counterparty policy.

No self-preferencing

A future GIBP settlement asset should lose to another permitted asset whenever the other option produces the better outcome.

Evidence-led scoring

Provider performance should be based on observed execution quality, not fabricated rankings or unaudited league tables.

Interested in participating in the execution market?

Admission is subject to institutional verification, legal terms, capability certification and ongoing monitoring.

Network participation