- Question ID
-
2017_3188
- Legal act
- Directive 2013/36/EU (CRD)
- Topic
- Supervisory reporting - Supervisory Benchmarking
- Article
-
78
- Paragraph
-
2
- COM Delegated or Implementing Acts/RTS/ITS/GLs/Recommendations
- Draft ITS on Supervisory Reporting of Institutions (for benchmarking the internal approaches)
- Article/Paragraph
-
Annex II, C 102.00, Column 020
- Type of submitter
-
Credit institution
- Subject matter
-
Annex II, C 102.00, column 020 – Large corporate sample
- Question
-
How should we interpret ‘Large Corporate Sample’ category under Annex II, C 102.00 column 020?
- Background on the question
-
We note that some portfolios are assigned to ‘large corporate sample’. Please can you provide further guidance on which risk parties should be included in the sample?
- Submission date
- Final answer
-
Those portfolios of template C 102.00 of Annex I to the Draft ITS on Supervisory Reporting for Institutions for benchmarking the internal approaches (ITS on Supervisory Benchmarking) for the 2017-benchmarking exercise (end-2016 data) which refer to the ‘Large corporate sample’ according to the information provided in c020 of C 102.00 shall comprise those entities which are listed in template C 101.00 of Annex I and identified there as belonging to the large corporate sample (see c090 of C 101.00 of Annex I).
Disclaimer
The present Q&A on Supervisory reporting is provisional. It will be reviewed after the Implementing Regulation is in force and published in the Official Journal. The text of the Implementing Regulation may differ from the text of the draft ITS to which this Q&A refers.
- Status
-
Archive
- Answer prepared by
-
Answer prepared by the EBA.
- Note to Q&A
-
Update 26.03.2021: This Q&A has been archived in the light of the most recent amendments to the ITS 2016/2070 on Supervisory Benchmarking.