The SFTR RTS determining the timing of the reporting regime, have been published in the Official Journal of the EU today (Friday 22 March).
The RTS will enter into force on the 20th day following OJ publication (Thursday 11 April).
From this follows that the reporting obligations deadlines will be:
- 11 April 2020 (Entry into force + 12 months) – Reporting obligation for credit institutions and investment firms + all 3rd country regulated firms (excluding CSDs and CCPs)
- 11 July 2020 (Entry into force + 15 months) – Reporting obligation for CSDs and CCPs
- 11 October 2020 (Entry into force + 18 months) – Reporting obligation for all other financial counterparties
- 11 January 2021 (Entry into force + 21 months) – Reporting obligation for all non-financial counterparties
You will be able to access all of the published Level 2 standards by clicking on the titles of the different pieces of legislation below:
Key
- RTS specifying the details of SFTs to be reported to trade repositories
- ITS with regard to the format and frequency of reports on the details of SFTs to trade repositories
Other
- RTS on access to details of SFTs held in trade repositories
- RTS on the collection, verification, aggregation, comparison and publication of data on SFTs by trade repositories
- RTS specifying the details of the application for registration and extension of registration as a trade repository
- Delegated act with regard to fees charged by the ESMA to trade repositories
- Delegated act with regard to access to the data held in trade repositories
- RTS specifying the details of the application for registration as a trade repository
- ITS with regard to the format of applications for registration and extension of registration of trade repositories
- ITS with regard to the procedures and forms for exchange of information on sanctions, measures and investigations
Find out more by visiting our SFTR page by clicking here.