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EBA Chair letter to Mr Berrigan and Mr Viola on outcome of EBA’s AI Act mapping exercise
A rationale of the PD floor under the IRB framework
annex_for_it_solutions_instructions_disclaimer.docx
ITS on resolution planning reporting adopted_Translations
ITS on resolution planning reporting_ adopted
List of written procedures and their voting results from 11 September - 14 October 2025
2025 11 15 PMR -2025 Jose Manuel Campa
Final Minutes of BoS meeting on 14 October 2025
annexforitsolutionsinstructionsdisclaimer.zip
JM Campa introductory remarks at the ECON hearing November 2025
Opt-in Form
2025 10 31 PMR -2025 Francois-Louis Michaud
List of designated CTPPs
2025 11 15 PMR -2025 Francois-Louis Michaud
The European Supervisory Authorities designate critical ICT third-party providers under the Digital Operational Resilience Act
The European Supervisory Authorities (EBA, EIOPA, and ESMA – the ESAs) publish today the list of designated critical ICT third-party providers (CTPPs) under the Digital Operational Resilience Act (DORA). This designation marks a crucial step in the implementation of the DORA oversight framework.
14th Annual Research Workshop - Bridging capital and growth - the role of financial structures and intermediaries
Training Plan 2025
Introductory statement by the EBA Chairperson José Manuel Campa at the annual hearing of the Committee on Economic and Monetary Affairs (ECON) of the European Parliament
DORA186 - Direct agreements between AIF and ICT service provider
According to Article 2 par 1 of DORA AIFM is in scope of DORA, AIF is not defined as financial entity. There are situations when agreement is concluded directly between AIF and ICT service provider. It is obvious that the agreement in such situation should contain elements listed in Article 30 of DORA and the risk assessment should be performed by AIFM. But shall such agreement also be:
- included in the register of information in relation to all contractual arrangements on the use of ICT services provided by ICT third-party service providers according to Article 28 par 3 and
- notified to competent authority in a timely manner prior of the conclusion of the agreement if the agreement supports critical or important functions?