REGIS-TR Securities Financing Transaction Regulation SFTR

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REGIS-TR REGIS-TR Securities Financing Transaction Regulation SFTR

SFTR - Timeline Trade repository reporting is estimated to begin early 2018 with a phased-in approach depending on the counterparty classification 2016 2017 2018 2019 12 January 2016: Entry into force of SFTR Q1 2017 Submission of RTS by ESMA within 12 months after the entry into force of SFTR Expected by end of March 2017 Q4 2017 Estimated entry into force of final RTS Depending on adoption and scrutiny period Q4 2018 for investment firms and credit institutions (12 months after the Q1 2019 for CCPs and CSDs (15 months after the Q2 2019 for other financial counterparties: insurance/reinsurance undertakings, UCITS ManCos; AIFM (18 months after the Q3 2019 for non-financial counterparties (21 months after the PHASED-IN APPROACH What is SFTR? SFTR = Securities Financing Transaction Regulation Drawn on EMIR implementation infrastructure and supervised by ESMA Aims at providing increased transparency on the use of securities financing transactions in the market Entities in Investment firms Credit institutions Insurance companies UCITS management companies and AIFMs Institution for occupational retirement provision Central counterparties Geographical Applies to all EU financial and non-financial counterparties Including all branches irrespective of their location Third country entities are also required to report, if the SFT is concluded by an EU branch Central securities depositary Non financial companies EXEMPTION: counterparties entering into SFT transactions with the European System of Central Banks ( ESBC ) 09 October 2017 2

T+1 Trading day SFTR - Reporting through an ESMA approved Trade Repository Reporting process The reporting shall be submitted to a trade repository registered in accordance with EU regulation EMIR Reporting obligations fall on both counterparties However, delegated reporting is possible EXCEPTION: Financial counterparty has to report on behalf of a small non-financial counterparty Fund managers on behalf of their funds Maintain record min. 5 years (conclusion, termination and modification) Reporting on T+1 basis Count A 3 rd entity A 3 rd entity Trade Repository Count B 3 rd entity B Publish aggregate positions by type of SFT Repurchase transactions Product Lending and borrowing transactions Sell/Buy back transactions Margin lending transactions Etc. Does not include derivatives as under EMIR ESMA On demand Transaction Delegated reporting Supervisors/Regulators* Excluded in the of MIFID II Details to report Parties to the SFT, principal amount, currency, assets used as collateral, quality and value etc. LEI, ISIN, UTI 4 tables; #143 fields** * Other relevant authorities include among others: EBA (European Banking Authority); EIOPA (European Insurance Occupational Pensions Authority); ESRB (European Systemic Risk Board); ESCB (European System of Central Banks); ECB (European Central Bank) and the national relevant authorities. The ECB has been added in the draft of the European Parliament 09 October 2017 3

Disclaimer "This presentation is prepared for general information purposes only. The information contained herein is not intended to provide professional legal advice and should not be relied upon in that regard. Readers should seek appropriate professional advice where necessary before taking any action based on the information contained in this document. REGIS-TR, S.A. makes no guarantees, representations or warranties and accepts no responsibility or liability as to the accuracy or completeness of the information, and under no circumstances will it be liable for any loss or damage caused by reliance on any opinion, advice or statement made in this document. Information in this document is subject to change without notice." 09 October 2017 4

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