DORA003 - Scope of application of DORA to alternative investment fund managers
Which alternative investment fund managers (AIFMs) are captured within the scope of application of DORA under Articles 2(1)(k) and 2(3)(a) of DORA?
Which alternative investment fund managers (AIFMs) are captured within the scope of application of DORA under Articles 2(1)(k) and 2(3)(a) of DORA?
What is the level of engagement required for an ICT service to be considered as “support[ing] critical or important functions”?
Is the term “critical or important function” as defined in DORA to be understood as being equivalent to “critical or important functions or activities” under the Solvency II regime? If not, which functions are to be considered as critical or important for insurance companies?
Based on the definition of DORA Article 3(21), what types of services should be considered ICT services?
Is it possible for an entity to have two different size classifications – one under DORA and one under Commission Recommendation 2002/361/EC?
EBA Executive Director François-Louis Michaud’s April 2025 meeting register covering discussions with banks and stakeholders on Basel III implementation, DORA, EU banking sector competitiveness, digitalisation, stress testing, and regulatory efficiency.
European Banking Authority 2024 Annual Report – Part 1 reviews key achievements, including Basel framework implementation, financial stability monitoring, DORA and MiCA oversight, AML/CFT transition, and priorities for 2025 across policy, risk assessment, and stakeholder engagement.
European Banking Authority (EBA) Training Plan 2025 outlines scheduled workshops and courses for EU supervisors covering AML/CFT, MiCAR, DORA, ESG risks, crypto assets, FRTB, IRRBB, supervisory reporting, and BigTech, aimed at enhancing regulatory and supervisory practices.