EIOPA · 2374

Reporting Templates

Regulation
Other
Article
N/A
Topic
Reporting Templates
Submitted
2021-12-21
Answered
2022-03-16

Question

Can you please confirm the response to EIOPA Q&A 2319 in H2 2021. Is the response suggesting not to report the 'country of issue' for ALL CIC7 assets on the S.06.03 QRT? The response suggests that the reasoning for this is to align with the S.06.02 QRT, however we currently report the issuer country for CIC72 and CIC73 assets on the S.06.02. If it is indeed the intention to not report the 'country of issue' for CIC7 assets on the S.06.03 QRT, can you confirm that CIC7 assets should be excluded from the calculations at arriving at the look through thresholds for the S.06.03 QRT please?

Answer

We confirm that CIC7 Assets should be excluded from the calculations at arriving at the look through thresholds for the S.06.03 QRT. We confirm the amendment to validation BV1136 and the response to EIOPA Q&A. The reasoning behind this amendment is that the reporting of the issuer country is not required to be reported for all 'cash and deposits' in the list of assets (BV985). Therefore, EIOPA considers it appropriate to align both requirements (between the list of assets and the look through), even if this was not included in the ITS.

This Q&A is published by European Insurance and Occupational Pensions Authority and is non-binding. It does not constitute legal advice. Updated weekly from official ESA sources.

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