On-ramping USDC for small businesses – regulatory burden vs. transaction costs
We're looking at integrating $USDC for some B2B payments, primarily to cut down on international transaction fees for smaller invoices. The appeal is clear on that front. What I'm less clear on is the compliance overhead for handling the on-ramp from fiat to USDC ourselves, particularly for a relatively low volume of transactions. It feels like the KYC/AML for a direct bank-to-crypto conversion could eat up any cost savings if we're doing it in-house. For those of you facilitating stablecoin payments for merchants or smaller fintechs, are you generally advising they outsource the fiat-to-stablecoin conversion to a third-party provider, or are there lean ways for them to manage the regulatory aspects themselves without excessive overhead?