Pillar 2

  • Non-Maturity Deposit Stability: What BCBS Working Paper 47 Signals

    On 20 February 2026 the Basel Committee on Banking Supervision published Working Paper No 47, a 35-page literature review titled “Literature review on non-maturity deposit stability: established factors and recent developments”. Non-maturity deposit stability is the question of how reliably sight deposits, current accounts and savings balances stay put when a bank comes under stress,…

  • ECB Supervisory Reporting: The Cuts Buch Confirmed at Bruegel

    On 2 September 2026, ECB Supervisory Board Chair Claudia Buch used a Bruegel Annual Meetings panel in Brussels to put numbers on the supervisory reform that has been building through the year. For teams inside ECB-supervised banks, three of those numbers land directly on the reporting function: the ECB has agreed to cut the supervisory…

  • Swedish Bank Capital Requirements: FI Moves Model Add-Ons to Pillar 1

    On 28 August 2026, Finansinspektionen (FI) published the Swedish bank capital requirements it discloses each quarter, this time as of the end of the second quarter of 2026 (FI Ref. 26-1525). The memorandum covers Sweden’s three major banks, Handelsbanken, SEB and Swedbank, plus seven other institutions in supervisory categories 1 and 2. Most quarters this…

  • PRA Cryptoasset Exposures: The 100% Capital Expectation for UK Banks

    On 18 May 2026, the Prudential Regulation Authority published a Dear CEO letter addressed to the chief executives of all banks and designated investment firms, signed by David Bailey, Charlotte Gerken and Rebecca Jackson. The PRA continues to expect a 100 per cent own-funds requirement under the market-risk framework for unbacked cryptoassets. Separately, where a…

  • ECB ICAAP and ILAAP Package: What the 2026 Clarification Changes

    On 26 June 2026 the ECB announced a review of roughly 130 of its banking supervision publications, and in mid-July it followed through on the part that touches every capital and liquidity team: an updated ECB clarification on ICAAPs and ILAAPs and respective package submissions, alongside an updated version of the ECB Guide to the…

  • EU Banking Competitiveness Communication: The Q1 2027 Reform Roadmap

    On 17 July 2026 the European Commission published its Communication on the Competitiveness of the Banking Sector and the Single Market in Banking, filed as COM(2026) 615 final with an accompanying Staff Working Document, SWD(2026) 615 final. It changes no reporting obligation the day it lands. What it does is set out the shape of…

  • CSSF ICAAP and ILAAP: Filing Under Circulars 07/301 and 20/753

    Every spring, a Luxembourg reporting team assembles a document that no COREP or FINREP template captures: the institution’s own account of whether it holds enough capital and enough liquidity to survive the risks it actually runs. That account is the ICAAP and ILAAP file, and in Luxembourg its rules sit in Circular CSSF 07/301. The…

  • EBA Supervisory Convergence Report 2025: What It Means for SREP and Prudential Reporting

    Every summer a reporting team somewhere builds its data roadmap around the wrong supervisory priorities, then spends the following cycle explaining the gap. The EBA supervisory convergence report is the document that lets you avoid that. Published on 29 June 2026 as EBA/REP/2025/16, the 2025 edition sets out where prudential supervisors across the EU actually…

  • EBA Revised SREP Guidelines: What EU Banks Must Review in ICAAP, ILAAP and Pillar 2 Capital

    The rulebook your ICAAP package, your ILAAP submission and your Pillar 2 reconciliation were written against is being repealed. On 26 June 2026 the European Banking Authority published its revised SREP guidelines (EBA/GL/2026/06), and from 1 January 2027 they replace both the existing SREP guidelines (EBA/GL/2022/03) and the standalone guidelines on ICT risk assessment under…