- Question ID
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2015_2271
- Legal act
- Regulation (EU) No 575/2013 (CRR)
- Topic
- Supervisory reporting - Asset Encumbrance
- Article
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100
- COM Delegated or Implementing Acts/RTS/ITS/GLs/Recommendations
- Regulation (EU) No 1030/2014 - ITS on disclosure of values used to identify global systemically important institutions (as amended)
- Article/Paragraph
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Annex XVII
- Type of submitter
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Credit institution
- Subject matter
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F35.00 Covered Bonds - Maturity profile of covered assets
- Question
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How should the maturity profile of the covered assets be reported?
- Background on the question
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If assets have a longer maturity profile than the bonds (ie mortgages), how should this be reflected in the template? And should the asset projection consider the minimum required over collateralisation or the current level over collateralisation?
- Submission date
- Final publishing date
-
- Final answer
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Q&A 2015_1891 answers the first question of this Q&A. The maturity profile of the cover pool assets should be noted in {F35.00, c150 to c200} following the instruction of Annex XVII to Regulation (EU) No 680/2014 (ITS on supervisory reporting).
The asset projection should consider the current level of overcollateralization.
Following the Annex XVII, chapter 5.2.3:- c160 to 200: “Amounts [of assets in the cover pool] shall be provided assuming no change in cover pool compared to the reporting date except for amortization. In the absence of a fixed payment schedule, for amounts outstanding at future dates, expected maturity is to be used in a consistent manner”.
- c150: the amounts reported are the amounts of assets in the cover pool, excluding cover pool derivative positions. This amount includes minimum over-collateralisation requirements plus any additional over-collateralisation in excess of the minimum, to the extent subject to the respective covered bond protective measures.
- Status
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Final Q&A
- Answer prepared by
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Answer prepared by the EBA.
Disclaimer
The Q&A refers to the provisions in force on the day of their publication. The EBA does not systematically review published Q&As following the amendment of legislative acts. Users of the Q&A tool should therefore check the date of publication of the Q&A and whether the provisions referred to in the answer remain the same.