EIOPA · DORA176 - 3238
Register of Information (DORA)
- Regulation
- (EU) 2022/2554 - Digital Operational Resilience Act (DORA)
- Article
- 28
- Topic
- Register of Information (DORA)
- Submitted
- 2025-02-03
- Answered
- 2025-08-08
Question
For the purpose of preparing the Register of ICT Supplier Information (RoI) on a sub-consolidated basis, is it necessary to include within the different templates (ref. “B_XX.XX.XXX”) the information pertaining to both the Contractual Agreements that the Entity signs and those that it uses? Specifically then, the “financial entity maintaining the register of information” is to be considered corresponding to the "entity signing the contractual arrangement" and the "financial entity making use of the ICT service(s)"?
Answer
This question has been rejected because the instructions clearly mentioned the compulsory nature of providing those information.
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.
Similar Q&As
Register of Information (DORA)
Answered 2025-11-20
ICT third-party risk management (DORA)
Answered 2025-07-24
Register of Information (DORA)
Answered 2025-03-21
Scope of Register of Information for Contractual Arrangements on the use of ICT Services Provided by ICT Third-party Service Providers
Answered 2025-07-25
Register of Information (DORA)
Answered 2025-08-08
More Q&As on this topic
📋 Track EU financial regulation continuously
Forseti monitors EU financial regulation and delivers personalised alerts anchored to verified official sources.
14-day free trial. No credit card required.