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  1. Home
  2. Single Rulebook Q&A
  3. 2025_7420 Large Exposures Reporting: Labelling of transactions where there is an exposure to underlying assets
Question ID
2025_7420
Legal act
Regulation (EU) No 575/2013 (CRR)
Topic
Supervisory reporting - Large Exposures
Article
390
Paragraph
7
COM Delegated or Implementing Acts/RTS/ITS/GLs/Recommendations
Regulation (EU) 2024/3117 - ITS on supervisory reporting of institutions
Article/Paragraph
Annex I Section 5
Type of submitter
Credit institution
Subject matter
Large Exposures Reporting: Labelling of transactions where there is an exposure to underlying assets
Question

When reporting exposures through transactions where there is an exposure to underlying assets (Article 390(7) of CRR) in the large exposures templates (LE2 and LE3), shall the value “Yes” be reported in column 030 only for the additional exposure stemming from the structure of the transaction, or shall the value “Yes” be reported in column 030 for the exposures stemming from the underlying assets as well?

Background on the question

Article 390(7) of CRR states that for exposures where there is an exposure to underlying assets, these underlying exposures shall be added to the overall exposure to clients and groups of connected clients (“look-through approach”). Furthermore, the structure of the transaction where there is an exposure to underlying assets needs to be assessed whether it constitutes an additional exposure. The methodology for calculating the exposure value of such underlying exposures and the conditions when the structure of a transaction where there is an exposure to underlying assets does not constitute an additional exposure are specified in Delegated Regulation (EU) No 1187/2014.

In the large exposures templates LE2 and LE3, there are two columns each related to the reporting of exposures through transactions where there is an exposure to underlying assets: column 030, and column 180 (LE2) and column 190 (LE3), respectively.

To us, the difference between these reported data points is not made completely clear by the descriptions of these columns in Annex IX.

We understand that column 180 of LE2 and column 190 of LE3 serve the reporting of exposures stemming from underlying assets of transactions where there is an exposure to underlying assets (look-through exposures), as these exposures are neither direct exposures nor indirect exposures in the sense of Article 403 of CRR.

Further, we understand that an additional exposure stemming from the structure of the transaction is to be reported as a direct exposure.

However, we are unsure if the value in column 030 is to be reported as “Yes” in both cases, i.e., for the look-through exposures and the additional exposure from the transaction structure. On one hand, the description of column 030 does not clearly distinguish between these two types of exposures, but on the other hand, setting column 030 to “Yes” for the look-through exposures does not transport any additional information, as these exposures are already identified as exposures stemming from underlying assets of transactions where there is an exposure to underlying assets by reporting the corresponding value in column 180 or column 190, respectively. Therefore, it seems sensible to us to report column 030 as “Yes” only if the row in question shows exposures stemming from the structure of a transaction where there is an exposure to underlying assets.

Please clarify how column 030 shall be populated.

Submission date
18/04/2025
Rejected publishing date
12/11/2025
Rationale for rejection

This question has been rejected because the issue it deals with is already explained or addressed in the regulatory framework, which is sufficiently clear and unambiguous (instructions for column 0030 of LE2 and LE3 refer to transactions where there is an exposure to underlying assets).

The Single Rule Book Q&A tool has been established to provide explanations and non-binding interpretations on questions relating to the practical application or implementation of the provisions of legislative acts referred to in Article 1(2) of the EBA’s founding Regulation, as well as associated delegated and implementing acts, and guidelines and recommendations, adopted under these legislative acts.

For further information on the purpose of this tool and on how to submit questions, please see “Additional background and guidance for asking questions”.

Status
Rejected question

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