The associations generally support the FSB's proposed guidance but suggest a few enhancements and clarifications. In particular, the associations reco
The associations appreciate the FSB's awareness that the operationalization of bail-in requires not only banks but also authorities and providers of m
The IIF is pleased to provide some specific requests for clarification on particular items in the final Basel III reforms that were announced on Decem
The IIF welcomes the Bank of England's approach to calibrate internal MREL at the low end of the Financial Stability Board's 75% to 90% range - provid
The IIF has responded to the European Banking Authority (EBA)'s consultation on "The EBA's approach to fintech". The response stresses that supervisor
The IIF has responded to the Basel Committee on Banking Supervision's consultation on "Sound practices: implications of fintech developments for banks
The IIF/McKinsey report on "The Future of Risk Management in the Digital Era" has been produced to help organizations navigate a digital risk transfor
While 2017 has seen several welcome and encouraging signals of continued commitment to international regulatory processes, concerns of fragmentation s
The ECB's ability to extend its purchase program beyond 2017 will be limited by a lack of public-sector debt eligible for purchase under the public-se