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Letter from Akin Gump to EBA on reclassification of Tier 2 instruments.pdf
EBA Letter to Akin Gump on reclassification of Tier 2 instruments.pdf
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EBA publishes response to letter received on reclassification of grandfathered own funds instruments
The European Banking Authority (EBA) published today a response to a letter it had received from a law firm regarding the case of a reclassification by an institution of some specific grandfathered own funds instruments. The EBA also addressed this issue through its Q&A process. In particular, Q&A 2018_4417 (Own funds - Reclassification of own funds instruments from a grandfathered category to a fully eligible category and purpose of grandfathering provision ), clarifies in more general terms the appropriate prudential treatment for such cases.
Guidelines on stress testing
GLs-Rec - Compliance form.docx
Compliance form
Report on IFRS 9 impact and implementation.pdf
Report on the EBA’s first observations on the impact and implementation of IFRS 9 by EU Institutions
Guidelines for common procedures and methodologies for the supervisory review and evaluation process (SREP) and supervisory stress testing
EBA provides preliminary assessment on post-implementation impact of IFRS 9 on EU Institutions
The European Banking Authority (EBA) published today some initial observations on the post-implementation impact of IFRS 9 on EU banks. This exercise, which builds on the two pre-implementation impact assessments published in November 2016 and July 2017, is mainly based on data extracted from institutions’ supervisory reporting. The initial observations from this exercise are consistent with the forecasts of the second EBA impact assessment report. The report also identifies some areas for ongoing scrutiny and further work from an EBA perspective.
Eligibility grid - BMIC COPAC SEC 08 2018.docx
Eligibility grid
Eligibility grid - BMIC COPAC SEC 09 2018.docx
Eligibility grid
Draft benchmarking package for 2020 exercise (end of 2019 data).zip
Draft benchmarking package for 2020 exercise (end of 2019 data)
JC 2018 76 (Final draft RTS on the amendments to the clearing obligation under the Securitisation Regulation).pdf
Final draft Joint RTS amending the EMIR Clearing Obligation under the Securitisation Regulation
JC 2018 77 (Final draft RTS on amendments to bilateral margin under the ....pdf
Final draft joint RTS amending Delegated Regulation (EU) 2016/2251 on risk-mitigation techniques for OTC derivative contracts not cleared by a central counterparty (CCP)
BMIC COPAC SEC 09 2018 - EXPERT (Consumer protection)FINAL_AA.pdf
BMIC COPAC SEC 08 2018 - EXPERT (AML) FINAL.pdf
Vacancy notice
2018_EU-wide_Transparency_exercise_and_RAR_presentation.pdf
ESAs publish joint EMIR STS standards
The European Supervisory Authorities (ESAs) published today two joint draft Regulatory Technical Standards (RTS) to amend the RTS on the clearing obligation and risk mitigation techniques for non-cleared OTC derivatives. These standards provide a specific treatment for simple, transparent and standardised (STS) securitisation to ensure a level playing field with covered bonds. They are required for the proper implementation of the European Market Infrastructure Regulation (EMIR) and will amend the current regulation on the clearing obligation and risk mitigation techniques on OTC derivatives not cleared by central counterparties (CCPs).
The EBA calls for more action by financial institutions in their Brexit-related communication to customers
As a follow up to its June 2018 Opinion on financial institutions' preparedness for the UK withdrawal from the EU, the European Banking Authority (EBA) today reminds affected financial institutions to maintain their efforts in effective contingency planning and to increase their efforts in communicating to customers. The EBA urges such institutions to take its Opinion into careful consideration and to swiftly proceed with advising customers on the specific implications stemming from the UK withdrawal from the EU.