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Subsection 2
Minimum requirement for own funds and eligible liabilitiesArticle 44a
Selling of subordinated eligible liabilities to retail clientsArticle 44
Scope of bail-in toolArticle 43
The bail-in toolSubsection 1
Objective and scope of the bail-in toolSection 5
The bail-in toolArticle 42
Asset separation toolSection 4
The asset separation toolArticle 41
Operation of a bridge institutionArticle 40
Bridge institution toolSection 3
Recognition and mapping of credit risk assessmentSection 3
The bridge institution toolArticle 39
Sale of business tool: procedural requirementsEBA provides further guidance on the use of flexibility in relation to COVID-19 and calls for heightened attention to risks
Following up on its strategic communications of 12th, 25th, 31st March and 2nd April, the European Banking Authority (EBA) provides today further clarity on how additional flexibility will guide supervisory approaches in relation to market risk, the Supervisory Review and Evaluation Process (SREP), recovery planning, digital operational resilience and ICT risk and securitisation. At the same time, the EBA notes the need for stringent attention by supervisors and financial institutions in relation to key risks in these areas.