Barclays - 2016.pdf
Barclays - 2016
Barclays - 2016
Nordea - 2016
BNP Paribas - 2016
Banque Postale - 2016
Bayern LB - 2016
BFA - 2016
Deutsche Bank - 2016
2016 G-SII data disclosure - summary & charts
2016 G-SII data disclosure tool
Credit Mutuel - 2016
BSG Response to EBA CP on draft RTS on Simplified Obligations under BRRD_EBA CP 2017 05
European Banking Authority (EBA) vacancy for a Junior Policy Expert (Market Risk) to support regulatory work on market and counterparty risk, including developing technical standards, guidelines, and policy stances under the EU single rulebook framework.
European Supervisory Authorities (ESAs) letter opposing the expansion of the temporary IFRS 9 exemption for insurance companies in financial conglomerates, citing risks of accounting arbitrage, unlevel playing field, and reduced investor protection following the ARC vote on IFRS 4 amendments.
European Banking Authority (EBA) vacancy for a Policy Expert (Market Risk) to develop regulatory products, including guidelines and binding technical standards under the EU common rulebook, focusing on market and counterparty credit risk, and representing the EBA in international fora.
European Supervisory Authorities (ESAs) letter to ECON Chair opposing the expansion of the temporary IFRS 9 exemption for insurance companies in financial conglomerates, citing risks of accounting arbitrage, unlevel playing field, and reduced investor protection following the ARC vote in June 2017.
European Supervisory Authorities (ESAs) express concerns over the European Commission’s proposal to expand the temporary IFRS 9 exemption for insurance subsidiaries in financial conglomerates, citing risks to accounting consistency, arbitrage opportunities, and a level playing field in banking.
The draft Regulatory Technical Standards (RTS) specify the additional objective criteria listed in the Delegated Act (Commission Delegated Regulation EU No 2015/61 of 10 October 2014), for the application of a preferential treatment in the calculation of the liquidity coverage requirement (LCR) for cross-border intragroup liquidity flows. The proposed draft RTS set out in more detail the additional criteria that institutions within a group or within an institutional protection scheme (IPS) need to meet in order to be able to apply higher inflows and/or lower outflows on liquidity and credit facilities on cross-border transactions. These criteria, as already specified in the LCR Delegated Act, aim at ensuring the effectiveness of the liquidity support.