Differentiated regulatory approaches: future regulation of inter-professional business.
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Differentiated regulatory approaches: future regulation of inter-professional business.

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Published by FSA in London .
Written in English

Book details:

Edition Notes

SeriesDiscussion paper / Financial Services Authority, Discussion paper (Financial Services Authority)
ContributionsFinancial Services Authority.
ID Numbers
Open LibraryOL17539370M

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The EU’s response to the financial and public debt crisis and the prospect of the UK’s departure from the EU have once again sparked a debate on the desirability of differentiated integration in the EU. 3 They have further prompted a much broader question regarding the future of European integration more generally. 4 There is a plethora of. Which of the following is a problem encountered while using more observations in the back simulation approach? A. Past observations become decreasingly relevant in predicting VAR in the future. B. Calculations become highly complex. C. Need to assume a . Text book of FDA Regulatory Affairs A Guide for Prescription Drugs, Medical Devices, and Biologics' Second Edition. Careers in Regulatory Affairs from Practitioner to professional Jan   Kolkata: The Reserve Bank of India may align regulations for bigger non-bank lenders in line with banking rules as part of a graded approach to capture the systemic risk and their diversity and differentiated business models. This means, while RBI may continue with its regulation light structure for non-banking finance companies (NBFCs) in general, it may ask bigger entities to follow stricter.

The regulation has a January implementation deadline and some notable aspects include: • A revised trading book vs. banking book boundary • A revised standardized approach to support consistency and a comparison of capital requirements across banks, which is based on a more risk-sensitive framework • A revised internal models approach. These Regulatory Technical Standards (RTS) gather a number of mandates given to the EBA by the Capital Requirements Regulation (CRR) in relation to own funds. These RTS include provisions regarding: technical aspects in relation to Common Equity Tier 1, Additional Tier 1, deductions from Common Equity Tier 1 and from own funds in general, as well as transitional provisions on.   Section IX discusses the case for a differentiated regulation approach with both incentives and exceptional relaxations for well-behaved banks and their clients. Section X takes a synoptic view of both actual use and potential of information technology for better profitability and customer service. 3. Finally, the discussion paper provides a balanced analysis of possible introduction of a limited and clearly defined differentiated regulatory treatment of the STS synthetic securitisation. Stakeholders are invited to comment on the possibility of introduction of an STS framework for synthetics as well as on the regulatory treatment and.