Response to consultation on draft regulatory technical standards on independent valuers

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Q2: Do you agree that three years is the appropriate period of time for the purposes of Article 4(5)?

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Q3: Do you agree with the possibility to task the temporary administrator as an independent valuer, subject to the condition set forth in the above provision [art 4(6) of the draft RTS]?

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Q4: Do you reckon there are other cases of where independence should be ruled out in any case?

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Q5: Do you agree with the approach outlined in the impact assessment and more specifically, with the elements included in the assessment of costs and benefits?

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Name of organisation

EBA Banking Stakeholder Group