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EU EBA Securitisation Regulation Final Draft RTS for Risk Retention

European Banking Authority EBA announced publication of its final draft Regulatory Technical Standards RTS specifying requirements for originators, sponsors and original lenders in risk retention. Regulation EU 2017/2402 amended Securitisation Regulation.

The EBA Publish Final Draft RTS Relating to Risk Retention Under the EU Securitisation Regulation | Cadwalader, Wickersham & Taft LLP

The EBA Publish Final Draft RTS Relating to Risk Retention Under the EU Securitisation Regulation | Cadwalader, Wickersham & Taft LLP
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Capital Markets Recovery Package (CMRP) – Quick fixes or long-term solution? | Hogan Lovells

To embed, copy and paste the code into your website or blog: On 1 January 2019 EU Regulation 2402/2017 (Securitisation Regulation) started to apply, giving rise to one of the most ambitious capital markets projects of the EU: the creation of an homogeneous regulatory framework applicable to all European securitisations. The goal of the project was high: revamping and strengthening the EU securitisation market and, in particular, revitalising “public deal” activity.   Prior to the arrival of the Covid-19 crisis, the Securitisation Regulation was brilliantly accomplishing its mission, as in 2019 it led to a substantial rise of new public securitisations. The main appeal for the investors had been a magic word: “STS”. In fact, all these public securitisations complied with the new Securitisation Regulation’s criteria allowing them to be classified as simple, transparent and standardised (

The new EU STS framework for on-balance sheet (synthetic) securitisations | Allen & Overy LLP

To embed, copy and paste the code into your website or blog: On 16 December 2020, the Council of the European Union published final compromise proposals for a package of measures dubbed the “Capital Markets Recovery Package”, these were adopted by the European Parliament’s Committee on Economic and Monetary Affairs on 14 January 2021. Please see full Publication below for more information. allenovery.com The new EU STS framework for on-balance sheet (synthetic) securitisations January 2021 2 © Allen & Overy LLP 2021 Contents 1. Summary and Next Steps 4 2. Background 10 3. Key takeaways on the New Capital Charge for Synthetic Excess Spread 11 4. Key takeaways on the differentiated regulatory treatment 13 5. Key takeaways on the proposed eligibility criteria 15 5.1 Requirement for an EU-regulated protection buyer and the UK withdrawal from the EU (Brexit) 15 5.2 No restrictions on asset class 15 5.3 Eligible credit protection types, providers and collateral 1

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