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JC Complaints Handling CP 2013-03

Reference

The following response to your request for comment on CP2013-03 is provided in my capacity as a representative of Avantage Reply, a pan-European specialised risk and regulatory management consultancy firm.

JC Mechanistic References to Credit Ratings in the ESA’s guidelines and recommendations

Reference

Our response to the Joint Committee of European Supervisory Authorities Consultation. In our opinion, this will be of particular interest to banks using the Standardised approach towards calculating their regulatory capital.

Response to the questions 1-64 within the Consultation Paper 08/22 entitled ‘Strengthening liquidity standards’, issued for comment in December 2008

Reference

Avantage Reply has pleasure in submitting responses to some of the questions within the range 1 to 64 of the above referenced document (CP 08/22).

Comments on Chapter 5 CP11/9

Reference

This response to your request for comment in relation to CP11/9 is provided in my capacity as a representative of Avantage Reply, a pan-European specialised risk and capital management consultancy firm. It addresses points in relation to Chapter 5, “CEBS Guidelines on the management of operational risks in market-related activities”.

Response to the risk reporting questions within the Consultation Paper 08/22

Reference

Response to the risk reporting questions within the Consultation Paper 08/22 entitled “Strengthening liquidity standards”, issued for comment in December 2008.

Page 1/2

JC Complaints Handling CP 2013-03

Reference

The following response to your request for comment on CP2013-03 is provided in my capacity as a representative of Avantage Reply, a pan-European specialised risk and regulatory management consultancy firm.

JC Mechanistic References to Credit Ratings in the ESA’s guidelines and recommendations

Reference

Our response to the Joint Committee of European Supervisory Authorities Consultation. In our opinion, this will be of particular interest to banks using the Standardised approach towards calculating their regulatory capital.

Response to the questions 1-64 within the Consultation Paper 08/22 entitled ‘Strengthening liquidity standards’, issued for comment in December 2008

Reference

Avantage Reply has pleasure in submitting responses to some of the questions within the range 1 to 64 of the above referenced document (CP 08/22).

Comments on Chapter 5 CP11/9

Reference

This response to your request for comment in relation to CP11/9 is provided in my capacity as a representative of Avantage Reply, a pan-European specialised risk and capital management consultancy firm. It addresses points in relation to Chapter 5, “CEBS Guidelines on the management of operational risks in market-related activities”.

Response to the risk reporting questions within the Consultation Paper 08/22

Reference

Response to the risk reporting questions within the Consultation Paper 08/22 entitled “Strengthening liquidity standards”, issued for comment in December 2008.

Page 1/2

JC Complaints Handling CP 2013-03

Reference

The following response to your request for comment on CP2013-03 is provided in my capacity as a representative of Avantage Reply, a pan-European specialised risk and regulatory management consultancy firm.

JC Mechanistic References to Credit Ratings in the ESA’s guidelines and recommendations

Reference

Our response to the Joint Committee of European Supervisory Authorities Consultation. In our opinion, this will be of particular interest to banks using the Standardised approach towards calculating their regulatory capital.

Response to the questions 1-64 within the Consultation Paper 08/22 entitled ‘Strengthening liquidity standards’, issued for comment in December 2008

Reference

Avantage Reply has pleasure in submitting responses to some of the questions within the range 1 to 64 of the above referenced document (CP 08/22).

Comments on Chapter 5 CP11/9

Reference

This response to your request for comment in relation to CP11/9 is provided in my capacity as a representative of Avantage Reply, a pan-European specialised risk and capital management consultancy firm. It addresses points in relation to Chapter 5, “CEBS Guidelines on the management of operational risks in market-related activities”.

Response to the risk reporting questions within the Consultation Paper 08/22

Reference

Response to the risk reporting questions within the Consultation Paper 08/22 entitled “Strengthening liquidity standards”, issued for comment in December 2008.

Page 1/2