2024-2025 Global AI Trends Guide
In November 2024, the Bank of England published an Approach Document setting out its approach to the supervision of financial market infrastructures (“FMIs”) – specifically of central counterparties (“CCPs”), central securities depositories (“CSDs”) and recognised payment systems operators.
The Approach Document aims to enable FMIs to understand how the Bank will supervise them, and aids the Bank’s accountability to the public and Parliament by explaining what the Bank seeks to achieve, and how, in relation to its supervision of FMIs.
The Approach Document takes into account recent regulatory developments, including in particular (i) the granting to the Bank of a wide-ranging rule-making power in relation to CCPs and CSDs and (ii) the recent introduction of the Bank’s new secondary “FMI innovation” objective. The Approach Document also brings out a number of new themes and different points of emphasis in relation to the supervision of FMIs.
In November 2024, the Bank of England (the “Bank”) published an Approach Document setting out its approach towards the supervision of financial market infrastructures (“FMIs”).
The Bank has published documents of this nature before, and has decided that now is a suitable time to provide a updated statement of its approach. The main drivers for the Bank in issuing the paper are (i) transparency (both for FMIs and for FMI users and the financial system more broadly); (ii) ensuring the proportionate and tailored supervision of FMIs, whilst also ensuring that the Bank is meeting its primary and secondary objectives; and (iii) the need for the Bank to be accountable, both to the public and Parliament, in relation to its supervision of FMIs.
The Approach Document takes into account a number of recent regulatory developments that affect the Bank’s supervision of FMIs, as considered further below.
The Approach Document should be read together with a number of other publications made by the Bank which were published at the end of 2024. Links to the most relevant publications are included at the end of this note.
Following the introduction of the Financial Services and Markets Act 2023, the Bank has a new set of powers, and additional responsibilities, in relation to FMIs. These include:
The Bank is also consulting separately on the introduction of Fundamental Rules for FMIs, which are similar to the fundamental rules and high-level principles that apply to firms authorised by the PRA or FCA – see link for further details.
In the light of these changes, the Bank has decided that it is appropriate to issue a statement setting out its policy towards the supervision of FMIs. It intends that the Approach Document will act as a “standing reference”, which the Bank will update as necessary, to ensure it remains current - for example, to reflect significant legislative and other developments that result in changes to the Bank’s supervisory approach.
The Bank has issued statements on its approach to the supervision of FMIs before, but for CCPs and CSDs this is the first overall restatement since 2013, and so it reflects not only the recent changes to the Bank’s supervisory powers and responsibilities following Brexit, but also the Bank’s experience of supervising FMIs through the course of a number of significant events during the past decade.
This article sets out the main themes that apply in respect of the Bank’s supervision of CCPs and CSDs. (The Approach Document also covers recognised payment system operators and some associated service providers, but these entities are outside the scope of this note.)
When compared to the previous expositions of the Bank’s approach, a number of new themes and issues emerge from the new approach document:
To advance the Bank’s objectives, the Bank’s supervisory approach follows four key principles – namely, that supervision should be:
These are effectively the same principles that the PRA applies in the supervision of authorised persons, such as banks and insurance companies.
All FMIs will be subject to a set of baseline supervisory processes and activities, the frequency and depth of which are proportionate to the potential impact of a firm on financial stability.
In accordance with the principle of proportionality, the intensity of the Bank’s supervisory activity varies depending on the risks posed by each firm. To identify and assess these risks, the Bank uses a standardised risk assessment framework which enables supervisors to focus on the biggest risks to financial stability and provides a common approach for making supervisory judgements.
Supervisors begin any FMI’s risk assessment with an assessment of systemic impact – that is, the significance of the FMI to the stability of the UK financial system.
FMIs are then assigned into one of three categories:
Supervisors then consider a series of further risk elements under gross risk and mitigating factors to assess the likelihood of an event disrupting the financial system occurring.
Gross risks include external factors (including political and/or macroeconomic risks) as well as business risks relating to the FMI itself – in particular the risks related to its business model, strategy, the complexity and inherent risk of the market that it serves, and its operating model (including its group structure).
Mitigating factors include:
These mitigating factors are closely related to the proposed Fundamental Rules for FMIs.
There is also a strong emphasis on “preparedness for disruption” (“PfD”). PfD assesses the extent to which the FMI has taken appropriate actions to support the Bank in being adequately prepared to mitigate impacts on financial stability in the event of the FMI being unable to recover from a financial or operational failure. This recognises that the systemic nature of FMIs can result in disruption at one FMI having a much broader ecosystem-wide impact which may require additional market-wide intervention by the relevant authorities in order to mitigate risks to financial stability (and which may require the Bank to use its powers under the CCP resolution regime and/or the FMI special administration regime).
The supervisors of the FMI will assess and rate each risk element against the Bank’s risk tolerance. FMIs will be assigned a rating, which is forward looking over a 12 month period.
The Bank will use a “Proactive Intervention Framework” (“PIF”) in relation to the FMIs. This is the same approach that the PRA uses in its supervision of banks and insurance companies. The intention is to capture the probability of risks outside of the Bank’s risk tolerance crystallising over the next 12 months. FMIs will be assigned to one of five different stages under the PIF, denoting a different likelihood of disruption to financial stability, and the supervisors of an FMI will consider the PIF analysis when drawing up their supervisory strategy for an FMI.
Where the FMI is part of a group, the Bank will want to understand how that FMI relates to the rest of its group, how the group’s objectives affect the FMI, and what risks the rest of the group might bring to the FMI and vice versa. In particular, the Bank will consider interdependencies between group entities in relation to finances, operations, risks, risk management and governance. This is a continuation of the approach that the Bank outlined in its 2013 guidance.
On the question of the Bank’s approach to supervision, the Approach Document is more prescriptive than previous guidance, particularly with regard to what an FMI can expect to experience as part of the supervision process. Key elements of the approach include:
[1] The Approach Document gives the example that a typical Category 1 CCP could expect to have operational resilience reviews and financial resilience reviews twice every year and a review of management and governance once every three years.
The Bank regards the data it collects directly from FMIs as an important input to its supervision process. The Bank says that it aims to achieve four broad outcomes in its collection and use of data – namely to:
The Bank says that, in order to achieve these outcomes, the Bank needs to increase the value of the data it collects by closing data gaps, sharing data effectively with relevant parties and by enabling safe and effective innovation, including artificial intelligence.
The Bank says that it is expanding its technical capability to make the best use of the data it collects and is continuing to work alongside international counterparts on the harmonisation of data standards.
The Approach Document contains detailed information about the Bank’s approach to new FMIs that are seeking to enter the market through the new Digital Securities Sandbox (“DSS”). The DSS creates a regulated environment that allows firms to test new technologies for financial securities in a controlled setting.
The DSS is jointly operated by the Bank and the FCA and it has three main aims – namely (i) facilitating innovation; (ii) protecting financial stability and (iii) protecting market integrity.
In order to do this, the DSS uses:
The Bank says that firms in the DSS will be supervised under a modified approach, which will be grounded in the same high-level principles as set out in the new Approach Document, with a particular eye on ensuring that supervision in the DSS is proportionate to the risks posed by firms to the regulators’ objectives. This modified approach will be kept under regular review as the sandbox is a living sandbox and the Bank recognises that further adjustments may need to be made.
The Bank is responsible for supervising or overseeing a diverse range of FMIs. This includes both systemic and non-systemic non-UK FMIs that provide services to the UK or have UK participants. In respect of systemic third-country CCPs, the Bank has the power to require the CPP to take, or refrain from taking a specified action, in the same way that it does for UK FMIs.
In relation to the supervision and oversight of non-UK FMIs, the Bank says that it follows the same general approach to all non-UK FMIs, but with appropriate tailoring of its approach.
When it regulates a non-UK FMI, the Bank will be placing reliance on the FMI’s home state regulator and the supervisory framework within which the FMI operates. The level of co-operation and information sharing required of the home state regulator will depend on the Bank’s assessment of the systemic importance of the FMI to UK financial stability. Where the level of co-operation and information sharing is considered sufficient, the Bank will advance its objectives primarily through engagement with the home authority. This is consistent with the approach previously taken by the Bank.
The Approach Document also contains additional guidance for different types of non-UK FMI:
Non-UK CCPs
Non-UK CSDs
Other publications issued by the Bank recently which are potentially relevant to the supervision of FMIs include: