This is an online data repository of jurisdictions' implementation measures for the Principles for financial market infrastructures and associated CPMI and IOSCO assessment principle ratings. It complements the Level 2 assessment programme on the extent to which jurisdictions' implementation measures are complete and consistent with the international standards for payment systems, central securities depositories, securities settlement systems, central counterparties and trade repositories.
Note that authorities may have updated their rules, regulations and policies since the assessment. For current implementation measures, please contact the relevant authority.
Implementation measure cut-off date: 15-May-2022
Assessment rating date: 30-May-2019
Principle
An FMI should have clear and comprehensive rules and procedures and should provide sufficient information to enable participants to have an accurate understanding of the risks, fees, and other material costs they incur by participating in the FMI. All relevant rules and key procedures should be publicly disclosed.
Implementation measures
CMB Policy Statement No.10/328
Assessment comments (key conclusions and recommendations)
CMB is recommended to ensure implementation of CMB Policy Statement 10/328 by developing a clear and comprehensive oversight framework allowing the CMB to assess supervised FMIs against PFMIs and induce change supporting PFMI implementation.
Implementation measure cut-off date: 15-May-2022
Assessment rating date: 30-May-2019
Principle
An FMI should have a sound risk-management framework for comprehensively managing legal, credit, liquidity, operational, and other risks.
Implementation measures
CMB Policy Statement No.10/328 CMB MKK Regulation Article 9 "Duties and authorities of MKK" Article 10 "Terms of Operation" Article 21 "Membership terms" Article 24 "Temporary suspension or revocation of membership" Article 25 "Participant's responsibilities, operation principles and measures to be applied" CMB Communiqué on Management of Information Systems (VII-128.9) Article 8 “Information Systems Risk Management” Article 9 “Establishment and Management of Information Systems Controls”
Assessment comments (key conclusions and recommendations)
Given that CMB Policy Statement 10/328 is the only implementation measure for certain Principles and/or KCs and the lack of supervisory evidence that would help the AT to understand the application of CMB Policy Statement 10/328, it is recommended that the CMB ensures the implementation of CMB Policy Statement 10/328 by developing a clear and comprehensive oversight framework allowing the CMB to assess supervised FMIs against PFMIs and induce change supporting PFMI implementation.
Implementation measure cut-off date: 15-May-2022
Assessment rating date: 30-May-2019
Principle
An FMI should have a sound risk-management framework for comprehensively managing legal, credit, liquidity, operational, and other risks.
Implementation measures
CMB Policy Statement No.10/328 CMB MKK Regulation Article 10, “Terms of Operation”, Paragraph 1 CMB Communiqué on Management of Information Systems (VII-128.9) Article 8 “Information Systems Risk Management” Article 9 “Establishment and Management of Information Systems Controls”
Implementation measure cut-off date: 15-May-2022
Assessment rating date: 30-May-2019
Principle
An FMI should have a sound risk-management framework for comprehensively managing legal, credit, liquidity, operational, and other risks.
Implementation measures
CMB Policy Statement No.10/328 CMB MKK Regulation Article 9 "Duties and authorities of the MKK", Paragraph 1(b). Article 21 "Membership terms", Paragraph 1(b). Article 25 "Participant's responsibilities, operation principles and measures to be applied" Paragraph 2(c), Paragraph 3. Article 24 "Temporary suspension or revocation of membership", Paragraph 2(g).
Implementation measure cut-off date: 15-May-2022
Assessment rating date: 30-May-2019
Principle
An FMI should have a sound risk-management framework for comprehensively managing legal, credit, liquidity, operational, and other risks.
Implementation measures
CMB Policy Statement No.10/328
Assessment comments (key conclusions and recommendations)
It is recommended that the CMB ensures the implementation of CMB Policy Statement 10/328 by developing a clear and comprehensive oversight framework allowing the CMB to assess supervised FMIs against PFMIs and induce change supporting PFMI implementation.
Implementation measure cut-off date: 15-May-2022
Assessment rating date: 30-May-2019
Principle
An FMI should have a sound risk-management framework for comprehensively managing legal, credit, liquidity, operational, and other risks.
Implementation measures
CMB Policy Statement No.10/328
Assessment comments (key conclusions and recommendations)
It is recommended that the CMB ensures the implementation of CMB Policy Statement 10/328 by developing a clear and comprehensive oversight framework allowing the CMB to assess supervised FMIs against PFMIs and induce change supporting PFMI implementation.
Implementation measure cut-off date: 15-May-2022
Assessment rating date: 30-May-2019
Principle
An FMI should have a well-founded, clear, transparent, and enforceable legal basis for each material aspect of its activities in all relevant jurisdictions.
Implementation measures
CMB Decision No. 10/328 (23 March 2016) (also referred to as “CMB Policy Statement No.10/328”) Capital Markets Law (CML) No. 6362 CMB Regulation on the Operation, Conduct and Audit Principles of the Trade Repository (CMB TR Regulation) CMB Communique on Principles Regarding Reporting to Trade Repository (CMB TR Communique)
Assessment comments (key conclusions and recommendations)
The CMB may consider the measure that is mentioned under KC 2.
Implementation measure cut-off date: 15-May-2022
Assessment rating date: 30-May-2019
Principle
An FMI should have a well-founded, clear, transparent, and enforceable legal basis for each material aspect of its activities in all relevant jurisdictions.
Implementation measures
CMB Board Decision (Policy Statement) no.10/328 Capital Markets Law (CML) No. 6362, Article No: 87 (2) "Trade Repositories" CMB Regulation on the Operation, Conduct And Audit Principles of the Trade Repository (CMB TR Regulation) - Article No: 6 "The duties and Powers of TRs" - Article No:5 (6-7) "Operation Terms of establishment and operation of TRs" CMB Communique on Principles Regarding Reporting to Trade Repository (CMB TR Communique), ARTICLE 6 - (1)
Implementation measure cut-off date: 15-May-2022
Assessment rating date: 30-May-2019
Principle
An FMI should have a well-founded, clear, transparent, and enforceable legal basis for each material aspect of its activities in all relevant jurisdictions.
Implementation measures
CMB Board Decision (Policy Statement) no.10/328 CML Article No: 87 CMB Regulation on the Operation, Conduct And Audit Principles of the Trade Repository (CMB TR Regulation) - ARTICLES 5 (1)-(3-a) AND Article 7 CMB Communique on Principles Regarding Reporting to Trade Repository (CMB TR Communique) - ARTICLE 6 Regulation on Preparing Legislation Article 4
Assessment comments (key conclusions and recommendations)
Although CMB Policy Statement No 10/328 provides a general requirement for FMIs under the CMB’s supervision to pay due care and diligence in complying with the PFMI, the Capital Markets Board may consider implementing measures to address gaps pertaining to explicit provision of framing and formulation of rules, procedures and contracts that are clear, understandable and consistent with relevant laws and regulations.
Implementation measure cut-off date: 15-May-2022
Assessment rating date: 30-May-2019
Principle
An FMI should have a well-founded, clear, transparent, and enforceable legal basis for each material aspect of its activities in all relevant jurisdictions.
Implementation measures
Capital Markets Law (CML), Article No: 87 CMB Board Decision (Policy Statement) no.10/328 CMB Communique on Principles Regarding Reporting to Trade Repository (CMB TR Communique), Articles 5, 8 and 9 CMB TR Regulation, Article 7 (1-i)
This filter limits the search results to selected jurisdictions. The available jurisdictions represent assessments that have been completed to date. The table below provides also a pdf of key conclusions and recommendations for all Principles of a given jurisdiction.
| Jurisdiction and relevant authorities | Assessments and comments |
|---|---|
Australia RBA: Reserve Bank of Australia | |
Brazil BCB: Central Bank of Brazil | |
Canada | |
European Union ESMA: European Securities and Markets Authority | |
Hong Kong SAR HKMA: Hong Kong Monetary Authority | |
Japan | |
Singapore | |
Switzerland FINMA: Swiss Financial Market Supervisory Authority | |
Turkey CMB: Capital Markets Board of Türkiye | |
United Kingdom | |
United States CFTC: Commodity Futures Trading Commission |
This filter limits the search results to the selected FMI types. FMIs may be subject to different regulatory, supervisory and oversight regimes depending on their organisation, function and design.
PS: Payment system
A set of instruments, procedures and rules for the transfer of funds between or among participants; the system includes the participants and the entity operating the arrangement.
CSD/SSS: Central securities depository / Securities settlement system
CSDs are entities that provide securities accounts, central safekeeping services and asset services, which may include the administration of corporate actions and redemptions, and play an important role in helping to ensure the integrity of securities issues (that securities are not accidentally or fraudulently created or destroyed or their details changed). The precise activities of a CSD vary based on jurisdiction and market practices.
SSS are entities that enable securities to be transferred and settled by book entry according to a set of predetermined multilateral rules. Such systems allow transfers of securities either free of payment or against payment. Typically, a CSD also operates an SSS.
CCP: Central counterparty
An entity that interposes itself between counterparties to contracts traded in one or more financial markets, becoming the buyer to every seller and the seller to every buyer and thereby ensuring the performance of open contracts.
TR: Trade repository
An entity that maintains a centralised electronic record (database) of transaction data.
This filter limits the search results to selected principles and key considerations. Each principle includes a headline standard and a list of key considerations that further explain the headline standard. The principles are listed below. A detailed list of key considerations is available in the CPMI-IOSCO Principles for financial market infrastructures.
This filter limits the search results to selected principle rating(s) used in the L2 assessments. The ratings reflect conditions at the time of the assessment, and are built on key conclusions that reflect CPMI and IOSCO's collective expert judgment regarding the impact of identified gaps and/or shortcomings. Ratings are determined for each principle after the jurisdiction's legislative and regulatory framework, including policy statements, as relevant, was compared against the corresponding content of the PFMI.
The jurisdiction’s regulatory framework is consistent with the Principle. The assessment has identified no gaps or shortcomings, or only a few gaps and/or shortcomings that have no material impact on completeness and/or consistency.
The jurisdiction’s regulatory framework is broadly consistent with the Principle. The assessment has identified gaps and/or shortcomings that have a minor impact on completeness and/or consistency.
The jurisdiction’s regulatory framework is partly consistent with the Principle. The assessment has identified gaps and/or shortcomings that have a significant impact on completeness and/or consistency.
The jurisdiction’s regulatory framework is not consistent with the Principle. The assessment has identified gaps and/or shortcomings that have a major impact on completeness and/or consistency.
This status corresponds to the case where no relevant FMI exists that is within the scope of the Principles. A rating of “NA” will be indicated only if no relevant regulatory measures are being taken and no such FMI is expected to develop within the jurisdiction.