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The consultation papers cover:
FESE supports the incorporation of the proportionality principle and believes it should be fully respected concerning trading venues. Concerning the RTS on subcontracting, FESE considers that the expected level of monitoring by the financial entity of subcontractors is too high, making it disproportionate and challenging to implement. The RTS on threat-led penetration generally reflect the main aspects of the TIBER-EU framework, however, we believe some adjustments are necessary with regard to timelines for the testing process and the metrics for external testers, among other aspects as outlined in the FESE response.