e-money institutions

  • MiCA Review: The EBA’s Priorities for Token Issuers and CASPs

    On 24 September 2026 the European Banking Authority published its response to the European Commission’s targeted consultation on the MiCA review, an exercise feeding into the review framework under Article 140 of Regulation (EU) 2023/1114. The EBA asks the Commission to prioritise five things: a dedicated regime for third-country multi-issuer stablecoin schemes, a fresh look…

  • Luxembourg Sanctions Risk Assessment: Screening Gaps the CSSF Flagged

    The Luxembourg sanctions risk assessment that the CSSF drew to supervised firms’ attention in a communiqué of 24 September 2026 is the country’s first vertical risk assessment (VRA) of targeted financial sanctions (TFS) linked to terrorist financing (TF) and proliferation financing (PF). The Ministry of Finance led the exercise and released the report, titled “PF…

  • FCA Money Mule Review: Look Beyond the First Receiving Account

    The FCA money mule review published on 23 September 2026, “Money mules: mule activity and cashing out findings”, reports that the 35 retail banks, building societies, challenger banks, payment institutions (PIs) and e-money institutions (EMIs) it surveyed offboarded 238,396 suspected money mules in 2025, up from 184,935 in 2023 and 233,269 in 2024. Its sharper…

  • PSD2 Reporting Requirements for Payment Institutions: Complete Practitioner Guide

    Introduction PSD2 reporting is not optional – payment institutions face multiple overlapping reporting obligations including statistical, prudential, fraud, incident, and complaint reporting, each with distinct deadlines, data sources, and regulatory recipients. Payment Services Directive 2 (Directive (EU) 2015/2366) fundamentally reshaped how payment institutions, e-money institutions (EMIs), account information service providers (AISPs), and payment initiation service…

  • CESOP: What Payment Service Providers Need to Report

    Introduction CESOP reporting is a mandatory quarterly obligation for European payment service providers handling cross-border transactions above the 25-payment threshold – missing the deadline or submitting inaccurate data can result in supervisory action and penalties. If you work in payments or compliance at a European financial institution, CESOP likely sits on your regulatory checklist. For…