The European Banking Authority (EBA) published today two
final draft Regulatory Technical Standards (RTS) on (i) the criteria to
identify all categories of staff whose professional activities have a
material impact on the investment firm’s risk profile or asset it
manages (‘risk takers’) and (ii) on the classes of instruments that
adequately reflect the credit quality of the investment firm and
possible alternative arrangements that are appropriate to be used for
the purposes of variable remuneration.
RTS to identify material risk takers
Risk takers will be identified based on a combination of qualitative
and quantitative criteria specified in the RTS. To ensure that all risk
takers are identified, members of staff are identified as having a
material impact on the institution’s risk profile as soon as they meet
at least one of the qualitative or quantitative criteria in the RTS or,
where necessary because of the specificities of their business model,
additional internal criteria.
Following the feedback received during the consultation phase,
the qualitative criteria have been revisited to enhance the application
of proportionality. The final draft RTS also clarify how the criteria
should be applied on a consolidated and individual basis. Finally, some
flexibility in calculating the amount of remuneration for the
application of the quantitative requirements has been introduced
similarly to the remuneration framework applicable under the Capital
Requirements Directive (CRD).
In addition, the 0.3% of staff with the highest remuneration
criterion has been included to be applied only by firms that have more
than 1 000 staff in order to reduce the burden for small firms. The
quantitative criteria are based on the rebuttable assumption that the
professional activities of those staff would have a material impact on
the investment firm’s risk profile or asset it manages.
RTS on the use of instruments and possible alternative arrangements for risk takers’ variable remuneration
The final draft RTS introduce requirements for investment firms
regarding Additional Tier 1, Tier 2 and other instruments used for the
purposes of variable remuneration, to ensure that they appropriately
reflect the credit quality of the investment firm as well as, to specify
possible alternative arrangements for the pay out of variable
remuneration where investment firms do not issue any of the instruments
referred to in Article 32 of the Investment Firms Directive (IFD).
The provisions in the RTS are aligned with Commission Delegated Regulation 527/2014
on classes of instruments that are appropriate to be used for the
purposes of variable remuneration under the CRD to ensure that, in
particular, groups of credit institutions and investment firms are able
to use a common set of instruments for remuneration purposes.
Legal Basis
The EBA has been mandated, under Articles 30(4) and 32(1)(j) of the
Directive (EU) 2019/2034, to develop, in cooperation with the European
Securities and Markets Authority (ESMA), final draft RTS to specify the
appropriate criteria to identify the categories of staff whose
professional activities have a material impact on the risk profile of
the investment firm or asset it manages; and to develop draft RTS to
specify the classes of instruments that satisfy the conditions set out
in point (j)(iii) of paragraph 1 of Article 32 and to specify possible
alternative arrangements set out in point (k) of paragraph 1 of Article
32.