Watch for CFPB rulemakings on data access and consumer protections, FinCEN AML guidance, OCC and Federal Reserve supervisory statements, and state actions that reshape money transmission, lending, and privacy. Instead of memorizing citations, anchor on what changes for onboarding, disclosures, dispute handling, and transaction monitoring, then assign accountable owners, timelines, and measurable risk reductions.
Translate broad frameworks like MiCA, DORA, PSD3 and the proposed Payment Services Regulation into practical checklists. Focus on licensing scope, incident reporting windows, ICT third‑party risk, stablecoin obligations, and consented data use under GDPR. Align product features with supervisory expectations early, and schedule gap assessments before standards harden, reducing costly rework during implementation.