Author name: Janetta

EMA comments on 4MLD & FTR implementation in Luxembourg

The EMA welcomed an opportunity to provide input to the implementation of 4MLD in Luxembourg, and submitted a letter on 25 August.

The letter set out the EMA’s position on the customer due diligence and local point of contact provisions:

  • providing rationale and support for applying the Article 12 e-money exemption from CDD;
  • setting out the importance of implementing the Article 15 simplified due diligence provisions as only a limited type of product can benefit from the Article 12 exemption;
  • emphasising that someone from an issuer’s home office e.g. MLRO, would be better placed to provide a convenient point of engagement in the context of the local point of contact requirement.

We also commented on the implementation of Fund Transfer Regulation Article 2(5)(b), in support of exercising the member state option to exempt national transactions under EUR 1000 for goods and services where the transaction has a unique identifier.

Full details of the EMA’s letter can be found here.

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Payments International 2016

Payments International 2016 conference, 15-18 November 2016, Hilton London Tower Bridge, London

This conference was the meeting place for banks, corporate treasurers, retailers, payments disruptors and other key industry members.

Dr Thaer Sabri, CEO of the EMA has contributed to the roundtable discussion about payments innovations strategy, from Bitcoin to Apply Pay, what will the new payments world look like and how it will be  regulated.

Read more about the conference here.

 

 

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4MLD implementation: EMA’s letter to Denmark

4MLD implementation: EMA’s letter to Denmark

We continued to provide input to the implementation of 4MLD in different EEA Member States, and submitted a response to the Danish consultation on 18 August.

We welcomed their proposals to implement the simplified due diligence provisions in Article 15 of 4MLD and expressed our views on the exemption from customer due diligence for e-money issuers in Article 12.

We also set out EMA’s position on the local point of contact provision for e-money issuers having distributors in Denmark, strongly discouraging the regulator from applying this requirement.

See the full response of the EMA here.

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Application of CRS and FATCA: EMA letters to Luxembourg and Malta

Application of CRS and FATCA: EMA letters to Luxembourg and Malta 

We sent a letter to the Director of the Luxembourg Tax Administration (l’Administration des Contributions Directes) arguing that payment accounts held by PIs and e-money accounts – whether issued by EMIs or CIs – should be exempt from reporting requirements under both FATCA and the CRS. This is because such payment products do not amount to deposit-taking activity.

In Malta, the FATCA and CRS guidelines state that relevant exclusions in the Banking Act will also influence the scope of the amended ‘Cooperation with other Jurisdictions on Tax Matters Regulations 2015’. However in considering whether an entity is conducting banking or similar business, an assessment of the actual activities will be made to make such a determination. We used these provisions in our letter to the Director General of the International Tax Unit of the Maltese Inland Revenue to argue for the exemption pf PIs, and of EMIs and CIs issuing e-money.

The EMA’s letter can be found here.

 

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EMA writes a letter to Rt Hon Philip Hammond MP on retention of passporting rights for the UK’s payment services industry

EMA letter to Rt Hon Philip Hammond MP on retention of passporting rights for the UK’s payment services industry

Following Mr Hammond’s comments at the BBA event on Tuesday 12 July, stating that he intends to ensure that the UK financial services industry can continue to passport into the EU after Brexit, the EMA wrote to describe the specific circumstances of the payments industry, and to propose a means by which mutual recognition for UK firms may be promoted.

In our letter, we set out the background to the industry, stating that mutual recognition is required to ensure the UK retains the status of financial centre, bringing innovation, know-how and creating employment. The letter concentrates on arguments specific to the payments industry rather than financial services as a whole. We urged him to seek clarity and certainty for payment services to ensure continuity of services to customers across the EEA during the negotiations period.

Further details of EMA’s letter can be found here.

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4MLD implementation: EMA letter to the Dutch Ministry of Finance

4MLD implementation: EMA letter to the Dutch Ministry of Finance

In the letter submitted on 9 August, we welcomed proposals to implement Articles 12 and 15 of 4MLD into Dutch law and set out our position in relation to the local point of contact. We also explained the rationale for our concerns about the application of local law to distributors of e-money in the Netherlands.

We provided two significant reasons as to why local a point of contact is not an appropriate means of exercising control over passporting EMIs, and encouraged the Dutch government to reconsider the draft law:

  • As distributors are not involved in offering a regulated service and issuing, they have very little insight into the use of e-money. The Dutch regulator is better off using a contact point located within the central office, where they can access all internal systems and data directly.
  • Distributors do not constitute establishment under EU law, and issuers passporting cross-border through the use of distributors should therefore not be required to comply with local AML legislation, which is not envisaged by Art. 45(9).

The EMA’s full response can be found here.

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EMA responds to 4MLD implementation consultation in Lithuania

EMA responds to 4MLD implementation consultation in Lithuania

The EMA submitted a response to Lithuanian consultation on their draft law implementing the 4MLD on 8 July, which concentrated on the implementation of CDD and local point of contact provisions.

We welcomed the implementation of specific e-money thresholds under Article 15 and the reference to any low-risk situations that may qualify for SDD under European guidance. However, we expressed our expectation for it to be made clear that both identification and verification may be postponed within the limits set by Article 15(1) (7).

As Lithuania proposed not to make use of the national optional threshold of EUR 500 for non-reloadable e-money products, we emphasised the importance of taking advantage of this option, in order for the e-money industry to continue providing solutions to the financially excluded and those with limited means.

Regarding the requirement for a local point of contact for each issuer physically distributing products in Lithuania, we set out why this requirement would not be an appropriate means of exercising control over passporting EMIs.

Find more details of the EMA response here.

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EMA’s response to the PSR’s consultation on the application of the Interchange Fees Regulation

The EMA submitted a response to the PSR Phase 2 Draft Guidance on the monitoring and enforcing of the IFR on 8 July 2016.

We sought two objectives, requesting:

(i) clarification regarding when issuers are expected to issue co-badged cards, and

(ii) that the PSR withdraw their requirement to label corporate cards under three different labels, instead of a single “corporate” label.

 

The final consolidated PSR Guidance, published on 5 October, was amended in line with the our proposals:

  • there will be no requirement to co-badge cards if this not a service the issuer already offers, and
  • issuers will be able to label all corporate cards with one label rather than separately distinguishing corporate cards between debit, credit and prepaid.

Details of the response can be found here.

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EMA’s response to the PSR’s consultation on the application of the Interchange Fees Regulation

PSR’s consultation on the application of the Interchange Fees Regulation

The EMA submitted a response to the PSR Phase 2 Draft Guidance on the monitoring and enforcing of the IFR on 8 July 2016.

We sought two objectives, requesting:

(i) clarification regarding when issuers are expected to issue co-badged cards, and

(ii) that the PSR withdraw their requirement to label corporate cards under three different labels, instead of a single “corporate” label.

The final consolidated PSR Guidance, published on 5 October, was amended in line with the our proposals:

  • there will be no requirement to co-badge cards if this not a service the issuer already offers, and
  • issuers will be able to label all corporate cards with one label rather than separately distinguishing corporate cards between debit, credit and prepaid.

Details of the response can be found here.

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Thaer Sabri, CEO of the EMA, the panelist at PSD2 Discovery Day

PSD2 Discovery Day

Dr Thaer Sabri, CEO of the EMA was in the panel conversation, discussing PSPs in the market – what opportunity and what is collaborative and what are the views of the opportunities and developments from the current and larger PSPs in the market.

Thank you for joining the conversation on how to help shape and coordinate the delivery of this new environment.

When: Tuesday 05 July 2016
Where: etc. Venues, 200 Aldersgate, St Paul’s, London EC1A 4HD

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