Eurex Clearing
1. Introduction
Eurex Clearing has been reporting securities financing transactions according to Article 4 of the Securities Financing Transactions Regulation (SFTR) since July 2020.
Since both counterparties of a cleared SFT (CCP and Clearing Member) must report and since data fields have to be identical (such as Unique Transaction Identifier, Counterparty data, Loan and Collateral data, Margin and re-use data), it is important that the CCP and its Clearing Members use the same methods to create these data fields. The Member Information document provides an overview of how the CCP populates its data fields in order to enable Clearing Members to match the data.
Besides minor adjustments and few editorial changes, the updated Member Information document version 1.5 contains the following amendments related to the SFTR reporting logic which are planned to come into effect as of 29 April 2022:
In case of deviation from the aforementioned go-live date, a Newsflash will be published specifying the new go-live date.
Furthermore, the following amendments related to C7 SCS Release 2.0 and Collateral Mobility Project from Clearstream (i.e., migration of Collateral Management services for GC Pooling from Xemac to CmaX) will come into effect as of 24 October 2022:
For more information on Eurex Clearing's regulatory reporting please visit our dedicated Support page on www.eurex.com/ec-en/ under the following link: Support > Regulation > Regulatory Reporting. Documentation, circulars, timelines and more is available there for you.
For more information on Eurex Clearing's regulatory reporting please visit our dedicated Support page on www.eurex.com/ec-en/ under the following link: Support > Regulation > Regulatory Reporting. Documentation, circulars, timelines and more is available there for you
2. Required action
Clearing Members are asked to read the new version 1.5 of the Member Information, which contains the most recent amendments of Eurex Clearing’s SFTR reporting logic.
3. Details of the initiative
The document “Reporting of cleared SFTs by Eurex Clearing according to SFTR Article 4” provides an overview of how the CCP will populate its data fields to enable Clearing Members to match the data with their reporting.
Non-editorial changes to the Member Information document are highlighted in green.
Please note: Reporting is still subject to further guidance by ESMA or industry alignment. Any further changes will be communicated by Eurex Clearing Circulars or Newsflashes.
The Document “Reporting of cleared SFTs by Eurex Clearing according to SFTR Article 4”, version 1.5, is also available for download in the Member Section of Deutsche Börse Group under the following link:
Member Section > Resources > Eurex Clearing > Documentation & Files > Reporting Basel III_CRR, EMIR, SFTR > SFTR Reporting
If you have any questions or require further information, please contact the Eurex Clearing CCP Helpdesk under: sftr@eurex.com.
Unless the context requires otherwise, terms used and not otherwise defined in this circular shall have the meaning ascribed to them in the Clearing Conditions or FCM Clearing Conditions of Eurex Clearing AG, as applicable.
Attachment:
Further information
Recipients: | All Clearing Members, Basic Clearing Members, Disclosed Direct Clients of Eurex Clearing AG and vendors | |
Target groups: | Middle + Backoffice | |
Contact: | client.services@eurex.com | |
Web: | Support > Regulation > Regulatory Reporting | |
Related circular: | Eurex circular 036/21 | |
Related Newsflash: | Eurex Clearing Readiness Newsflash as of 29 March 2022 | |
Authorized by: | Jens Janka |