Brussels, 3 July 2025 – The EU T+1 Industry Committee held a landmark summit today, marking a significant milestone in improving the competitiveness and efficiency of Europe’s capital markets. The Committee presented its high-level roadmap to guide market participants through the transition to a shorter securities settlement cycle, scheduled for implementation on 11 October 2027.
The roadmap launch represents a critical step forward in the EU’s broader strategic ambition to establish a Savings and Investments Union (SIU), aligning European markets with global best practices while enhancing their attractiveness to international investors. Shorter settlement cycles reduce risk and improve efficiencies in securities settlement post-trade.
EU public authorities’ support
EU public stakeholders commended the EU T+1 Industry Committee’s achievement, with keynote addresses by Verena Ross, Chair of the European Securities and Markets Authority (ESMA) and Chair of the EU T+1 Coordination Committee, Markus Mayers, Advisor, Market Innovation and Integration, at the European Central Bank (ECB) and ECB alternate representative in the T+1 Coordination Committee, and John Berrigan, Director General at FISMA (Directorate General for Financial Stability, Financial Services and Capital Markets Union) at the European Commission. Their participation underscores the transformative nature of this initiative.
Giovanni Sabatini, Chair of the EU T+1 Industry Committee, emphasised the strategic importance of the transition: “Transitioning to T+1 settlement is not merely a technical adjustment; it reflects a broader commitment towards innovation and should be seen as a key component of the EU’s broader strategic ambition to establish a Savings and Investments Union.”
Key implementation themes
The roadmap emphasises two critical themes for successful implementation: the imperative to enhance automation and standardisation across all stages of the post-trade lifecycle. With T+1, the significantly reduced window between trade execution and settlement puts considerable additional pressure on operational timelines, making automation in key processes—including trade matching, securities lending, FX bookings, and corporate action handling—essential for success.
Next steps and timeline
Today’s launch event marks the official start of the consultation period, which will run until 31 August 2025. Market participants can access the consultation details and submit feedback through the link provided below. While this is not a formal public consultation requiring document revision, relevant input will inform future activities of the Industry Committee.
Following the consultation period, market participants should focus on preparing their transition strategies and budgeting for necessary systems upgrades and testing throughout the remainder of 2025. The implementation phase in 2026 will see the EU T+1 Industry Committee release readiness surveys to monitor progress across the industry.
International coordination
The initiative demonstrates strong international coordination, particularly with the UK’s Accelerated Settlement Taskforce (AST). Andrew Douglas, Chair of the UK AST, commented on the collaborative approach: “There are lots of similarities between UK and EU recommendations. The real hard work starts now and we need to all get there at the same time and be there at the same time.”
This coordinated approach ensures that the transition maintains cross-border settlement efficiency while reducing systemic risks across interconnected European markets.
Industry impact
The roadmap addresses the complex multi-jurisdictional nature of European markets, coordinating the move to T+1 across 27 EU jurisdictions, multiple Central Securities Depositories (CSDs), and other market infrastructures. The recommendations developed “by the industry, for the industry,” provide a thoughtful, context-sensitive framework for implementation while acknowledging that a uniform approach may not suit all organisations equally.
The successful implementation of T+1 settlement will position Europe’s capital markets as modern, efficient, and competitive on the global stage, supporting the continent’s broader economic objectives while maintaining the highest standards of operational resilience and settlement efficiency.
Read the EU T+1 Industry Committee’s High-Level Roadmap and details of the EU T+1 governance framework’s activities on ESMA’s dedicated webpage by clicking here.
Provide feedback on the Roadmap by clicking here.
For more information:
Jacopo Borgognone, Senior Policy Adviser – Financing Growth – j.borgognone@ebf.eu
The European Banking Federation is the voice of the European banking sector, bringing together national banking associations from across Europe. The federation is committed to a thriving European economy that is underpinned by a stable, secure, and inclusive financial ecosystem, and to a flourishing society where financing is available to fund the dreams of citizens, businesses and innovators everywhere.
The EBF produces a daily and a weekly newsletter with European banking news and updates from national banking associations across Europe. CLICK HERE TO SUBSCRIBE
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Brussels, 1 July 2025 – In a time of heightened geopolitical uncertainty and increasing digital transformation, the European financial ecosystem needs greater autonomy in one of the most critical domains of our daily economic lives: retail payments.
The European Credit Sector Associations (EBF, EACB, ESBG) warmly welcome initiatives by private payment actors towards interconnecting their solutions, such as the joint effort recently announced by the European Payments Alliance (EuroPA[1]), and the European Payments Initiative (EPI).
Initiatives such as these show the importance attached by private solutions to the need to strengthen Europe’s capacity to operate its own payments, based on Europe’s best-in-class payment solutions and increased mutual acceptance. Solutions that are user-centric, collaborative, and aim to enable interconnectivity, can support innovation, and help shape Europe’s future in alignment with European objectives.
As representatives of Europe’s banking sector and in a broader context of change and geo-political developments where resilience is key, we warmly welcome initiatives to strengthen European sovereignty in retail payments, considering also the European Authorities’ Retail Payment Strategies.
[1] In their announcement, EuroPA is represented by Bancomat, Bizum, MB WAY (SIBS), and Vipps MobilePay
For more information:
Alexandra Maniati, Senior Director of Innovation & Cybersecurity, a.maniati@ebf.eu
About the EBF:
The European Banking Federation is the voice of the European banking sector, bringing together national banking associations from across Europe. The federation is committed to a thriving European economy that is underpinned by a stable, secure, and inclusive financial ecosystem, and to a flourishing society where financing is available to fund the dreams of citizens, businesses and innovators everywhere.
The EBF produces a daily and a weekly newsletter with European banking news and updates from national banking associations across Europe. CLICK HERE TO SUBSCRIBE
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]]>Brussels, 20th December 2023 – The banking industry supports the objective of increased European strategic autonomy in payments and sees that new forms of digital currencies and payment methods will be needed to support the multi-faceted digitalisation of the economy. We envision a future digital economy where Europe has a strong, resilient, innovative, and competitive payments and digital assets ecosystem, with enhanced European strategic autonomy. A digital euro – if appropriately designed and calibrated – could be one of the new tools to meet users’ evolving payment needs.
Differently from a wholesale CBDC – which as a concept was introduced in the eurozone already in 1999 – a retail CBDC is a much more complex endeavour. It introduces a new concept, it interacts with private electronic payment means, and it requires an in-depth exercise to balance different impacts on the economy as a whole and financial intermediation in particular.
There are three areas of possible impacts that should be counterbalanced from the start:
As the digital euro project has now entered the preparation phase, the EBF considers it vital to pursue a constructive dialogue between the co-legislators, the ECB and the banks, to find together the balance that will ensure the success of the digital euro, along with the introduction of robust mitigating measures for all the above risks.
Effects on financial stability
The introduction of a CBDC can affect financial stability, i.e. the ability of the overall financial system to weather shocks and provide critical financial services, also in periods of stress. The study of Copenhagen Economics examines the impact of the digital euro on financial stability considering four different holding limits. With the holding limit at 3,000, the study found that the digital euro can lead to an outflow of up to 739 billion euro of bank deposits in the euro area. This corresponds to a loss of 10% of the total household deposit base and 3% of the total bank liabilities. With a holding limit of 500 euros, the loss of deposits could be limited to 139 billion euro, still an important number but a decrease of 81% compared to a 3,000 euro holding limit. Clearly, if the limit is set lower, the loss of deposits will be further limited and the impact less damaging.
Furthermore, the impact is diverse across banks. For highly impacted banks, these figures could rise to 20% of the deposit base or 9% of total bank liabilities. Across the smaller banks in the sample, deposit outflows amount to 7% of total liabilities, more than twice the aggregate outflow across all banks (3%). For the latter, it is important to do a separate deep-dive analysis of tail risks (i.e. the impact on small banks with greater dependence on deposits and less access to wholesale funding), and analyse the geographical regions where there may be a greater concentration of institutions in this situation.
Given the long-term perspective of a digital euro, its effect on financial stability should be measured against periods of stress in the financial system. Here, it is found that the digital euro could exacerbate deposit runs, and this might especially hit smaller banks for two reasons: their customers tend to have lower levels of deposits, leading to a larger share of deposits being withdrawn; and they are more dependent on retail deposit funding.
Moreover, banks facing a potential depositor shift would at the same time face increasing costs of replacing the lost deposits, while the potential magnitude of the shift –10% of the depositor base – could itself create stress in the markets.
The study points out that reducing access to credit could also hinder achieving other national or EU-wide public policy objectives that rely heavily on the financial intermediation role of banks (e.g. the green transition) and concludes that considering a range of scenarios of stress in the financial system is the only way to make a complete assessment of the risks of the digital euro for financial stability. As a departure point for such a scenario, the study finds that a full utilisation of the digital euro could increase a bank’s incremental lending costs by 300 basis points for each euro that needs to be refinanced by alternative funding sources. These additional costs of funding would correspond to an average decrease in banks’ net interest income of 7% on an aggregate euro-area level and a corresponding decrease of 13% for the small banks in the sample. The magnitude of the impact on financial stability can be even higher, if the financial environment develops unfavourably, or to the extent that individual banks are unable to obtain funding at this rate.
Cost of infrastructure for the implementation of a digital euro
With several aspects still to be finalised (including the technological architecture), the exercise to estimate the set-up and running costs that intermediaries will be asked to bear is at its early stage. Banks are referring to past experiences of large-scale projects in payments, such as SEPA and TARGET.
Even though the ECB made clear that it would bear its own costs, a huge cost would still be borne by banks and other PSPs. Adopting the detailed user journeys designed by the ECB will require investments on front-end, processing and recording of transactions, KYC procedures, integration with their own mobile apps as well as with the one provided by the Eurosystem, integration of a new and dedicated settlement approach, just to name a few.
A project of this magnitude is bound to absorb a sizeable amount of resources both in IT and payments departments of banks, this way freezing innovative projects for a number of years, on top of the already important investment that other regulations will impose (i.e. Instant Payment Regulation, PSR, DORA). It would be important to better understand how the ECB and the co-legislators expect the digital euro to become a “platform for innovation”, as no details in this sense have been released so far. Foreseeing opportunities to leverage the digital euro as a basis for offering innovative and value-added services is a necessary pre-requisite for its sustainability.
Further, commercial banks have invested in building and maintaining an infrastructure that allows them to interact with households. This includes implementing procedures to prevent fraud, money laundering and a whole array of Know-Your-Customer rules. There is an open question of whether the digital euro will be built on a system where central banks make the best use of commercial bank solutions, or the ECB intends to build a parallel technical infrastructure from scratch. The final choice needs to be based on a thorough assessment of the cost of the different alternatives, accompanied by the anticipated sources of funding to implement them. In any case, as an initial approach and as long as the digital euro is focusing on existing use cases, leveraging as much as possible on existing instant payments infrastructure and existing payment processes and components should be a fundamental consideration by the ECB when reflecting on the digital euro infrastructure.
Impact on electronic payments business
The digital euro is intended as a complement to cash and to private electronic payments. However, there are no estimates so far as to the share of the payments market that would come from transactions currently made in cash and from electronic payments.
Furthermore, the use cases currently prioritised for the digital euro are covered by existing solutions, questioning the added value vis-a-vis a costly implementation that will affect all market participants, including consumers. In addition, imposing zero or low fees for the use of the digital euro would crowd out existing payment means, including those that at this stage are not considered “comparable”, such as credit transfers The impact on banks’ business models should be quantified, in terms of margin erosion.
A first exercise in that respect has been conducted by Mediobanca Research[1], which estimated the digital euro impact to NII (deposit outflow), revenues (card payments, bank transfers and current accounts) and costs under three scenarios (mild, moderate and adverse). The findings showed substantial effects that need to be counterbalanced.
It is important to acknowledge, that offering digital euro services free of charge does not necessarily improve consumer welfare in the medium-long term. If the fee is below overall costs to banks and other PSPs, it will crowd out existing payment means, hinder private innovation and ultimately, the consumers will pay for lack of cost recovery, in terms of high taxpayer spending for the functioning of the payment systems in comparison to the current situation. Allowing room to – at least partially – offset the losses by enabling the design and remunerated provision of additional services by digital euro distributors, and imposing an amount limit per transaction could be examples of ways to counterbalance.
Way forward
EBF welcomes the continuation of the structured dialogue with the market throughout the preparation phase and are open to give their best contribution in addressing the open points. A balanced approach is the challenge ahead.
As the preparation phase for the digital euro has started, it is of paramount importance to conduct a comprehensive impact assessment on infrastructure and the payments/retail banking business models to complement the study hereby offered on the potential impact on financial stability. This additional assessment is necessary for the co-legislators and the ECB to define: a) the limit on digital euro holdings per individual, as well as other relevant limits; b) the impact on existing payments market and the implementation of appropriate countermeasures, including infrastructure related aspects; c) the overall suitability of the compensation model, of which the inter-PSP fee is an important part but does not cover the articulated business model for the distribution of the digital euro. The EBF would be prepared to contribute in defining the methodology of such analysis to be conducted by the ECB.
The digital euro will create additional launch and recurring costs for commercial banks, other PSPs, and merchants, in general related to a possible shift from bank deposits, the adaptation of infrastructure for its implementation and distribution, and the overlap with existing payment means. It is also important to remember that any impact of the digital euro will occur in an environment of multiple challenges, while at the same time banks will be expected to finance a big part of strategic European objectives, such as the green and digital transitions, strategic infrastructure, etc. To overcome these challenges, a deeper and more constructive partnership between public and private actors is necessary for the next phases of the project.
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For more information please contact:
Alexandra Maniati
Senior Director, Innovation & Cybersecurity, a.maniati@ebf.eu
Gonzalo Gasos
Senior Director, Prudential Policy & Supervision, G.Gasos@ebf.eu
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About the EBF:
The European Banking Federation is the voice of the European banking sector, bringing together national banking associations from across Europe. The federation is committed to a thriving European economy that is underpinned by a stable, secure and inclusive financial ecosystem, and to a flourishing society where financing is available to fund the dreams of citizens, businesses, and innovators everywhere.
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]]>The Committee’s report contains recommendations for market participants in the EU and EEA for transitioning to a shorter settlement cycle
Brussels, June 30, 2025 – The EU T+1 Industry Committee has published its High-Level Road Map for the transition to a T+1 settlement cycle for securities on 11 October 2027.
The roadmap contains a set of recommendations developed collaboratively by association representatives and workstream leads from various industry segments, and its technical workstreams, with broad industry representation. These non-legally binding recommendations are designed to serve as a practical, expert-led framework to assist market participants in identifying and addressing the most critical operational considerations and to support firms’ preparations and budget allocations.
Today’s release marks the culmination of four months’ work on the recommendations and the Industry Committee’s publication of the roadmap, which has also been shared with the EU T+1 Coordination Committee.[i]
The High-Level Road Map is available for download here: Shortening the settlement cycle to T+1 in the EU, and on the relevant industry associations’ websites.
Giovanni Sabatini, independent chair of the EU T+1 Industry Committee, noted: “Today’s publication of the High-Level Road Map and the recommendations included therein marks the kick-off of a complex process to move EU and EEA markets to T+1 on the agreed date of 11 October 2027, in coordination with the UK and Swiss markets. We urge all market participants to review the recommendations, assess the impact on their systems and procedures and start planning how they want to prepare for the transition to T+1”.
Sabatini added: “A key theme throughout this report is the imperative to enhance automation and eliminate manual interventions across all stages of the post-trade lifecycle.”
The EU T+1 Industry Committee will host a launch event for market participants to discuss the recommendations on 3 July 2025. Register to attend the launch event virtually here: http://bit.ly/4nqBQhg
For more details on the EU T+1 governance structure, please visit this webpage: Shortening the settlement cycle to T+1 in the EU
For more information:
Jacopo Borgognone, Senior Policy Adviser – Financing Growth – j.borgognone@ebf.eu
The European Banking Federation is the voice of the European banking sector, bringing together national banking associations from across Europe. The federation is committed to a thriving European economy that is underpinned by a stable, secure, and inclusive financial ecosystem, and to a flourishing society where financing is available to fund the dreams of citizens, businesses and innovators everywhere.
The EBF produces a daily and a weekly newsletter with European banking news and updates from national banking associations across Europe. CLICK HERE TO SUBSCRIBE
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Brussels, 11 June 2025 – The European Banking Federation has submitted a proposal to EU policymakers calling for a phased-in implementation of the EBA Guidelines on ESG Risk Management.
European banks remain firmly committed to strengthening ESG risk management. However, while welcoming the EBA’s objective of strengthening ESG risk management practices, the EBF highlights that the current implementation timeline is not realistic due to significant data, methodological, and operational challenges—many of which are being exacerbated by the ongoing Omnibus review and changes to the CSRD scope.
Key concerns include:
On this backdrop, the EBF proposes the postponement of the ESG Risk management Guidelines’ application deadline – along with that of the upcoming guidelines on ESG Scenario Analysis – until the Omnibus amendments are finalized, and a revision of the EBA Guidelines in the spirit of the Omnibus simplification and for consistency with the final versions of the CSRD/ESRS1 and CSDDD.
Should it be impossible to defer the implementation date of the EBA ESG Risk Management (and ESG Scenario Analysis Guidelines), we would urge supervisory authorities to issue a public statement supporting phased implementation, and to consider a no-action letter during this transition period.
To support this proposal, the EBF has shared with key policy makers a three-phase approach to implementation, aligned with the maturity of the requirements and institutions’ readiness.
EBF stresses that this is not a step back from ESG integration, but a pragmatic proposal to ensure high-quality, consistent, and effective adoption across the sector.
You can access the full EBF proposal here.
For more information:
Matilde Quarin, Policy Adviser – Prudential Policy & Supervision,m.quarin@ebf.eu
Denisa Avermaete, Head of Sustainable Finance, D.Avermaete@ebf.eu
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About the EBF:
The European Banking Federation is the voice of the European banking sector, bringing together national banking associations from across Europe. The EBF is committed to a thriving European economy that is underpinned by a stable, secure and inclusive financial ecosystem, and to a flourishing society where financing is available to fund the dreams of citizens, businesses and innovators everywhere.
The post EBF Proposal for a Phased-in Implementation of the EBA ESG Risk Management Guidelines appeared first on EBF.
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Brussels, 15 April 2025 – The European Banking Federation has submitted its response to the European Banking Authority’s (EBA) consultation on the draft Guidelines for ESG Scenario Analysis.
While welcoming the development of supervisory expectations in this evolving area, the EBF emphasizes that key challenges remain—particularly related to data availability, implementation timelines, and the maturity of methodologies. The EBF’s main messages include:
You can access the full EBF response here.
For more information:
Matilde Quarin, Policy Adviser – Prudential Policy & Supervision,m.quarin@ebf.eu
Denisa Avermaete, Head of Sustainable Finance, D.Avermaete@ebf.eu
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About the EBF:
The European Banking Federation is the voice of the European banking sector, bringing together national banking associations from across Europe. The EBF is committed to a thriving European economy that is underpinned by a stable, secure and inclusive financial ecosystem, and to a flourishing society where financing is available to fund the dreams of citizens, businesses and innovators everywhere.
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On 28 June 2025, the European Accessibility Act will come into full effect, setting binding accessibility requirements for digital financial services. With more than 101 million Europeans living with a disability, this is a critical milestone for inclusion across the financial sector.
How are banks preparing? What best practices are already in place? And what more can be done?
Join us for this high-level event to hear from key policymakers, accessibility experts, and financial sector leaders discussing the best cases already implemented by banks across Europe. Moreover, the event will discuss improvements in removing barriers in financial services by delivering more accessible and inclusive services.
The EBF produces a daily and a weekly newsletter with European banking news and updates from national banking associations across Europe. CLICK HERE TO SUBSCRIBE
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8:15 – 09:00 Registration and Welcome Coffee
The event will be presented by Guillaume Dufresne
09:00 – 09:30 Opening remarks
09:30 – 09:45 Keynote speech
09:45 – 10:30 Panel 1: Strategic panel
Moderated by: Inmaculada Placencia Porrero, Senior Expert in Disability at Directorate-General (DG) Justice, European Commission
10:30 – 11:15 Panel 2: Accessibility Challenges for Banking Services
This panel will provide an overview of the main challenges experienced by users to benefit from inclusive and accessible financial services.
Moderated by: Julia Wadoux, Policy Manager on Healthy Ageing and Accessibility, AGE Platform Europe
Q & A with panelists and audience
11:15 – 12:00 Panel 3: Enhancing User Experience of Banking Services
Creating an accessible banking experience requires a focus on usability. This panel will cover the latest progress for designing user-friendly interfaces, accessible authentication methods, accessible payment terminals, and improving digital banking security.
Moderated by: Anna Martin, Head of Financial Services, BEUC (The European Consumer Organisation)
Q & A with panelists and audience
12:00 – 13:00 Lunch Break
13:00 – 13:45 Panel 4: Making Online Payments Accessible
Digital payments are at the core of modern banking, but many payment methods still pose accessibility challenges. This session will examine how financial institutions can benefit from the EAA to remove barriers in payment systems, ensuring seamless and secure transactions for people with disabilities and older people.
Moderated by: Klaus Miesenberger, Senior Expert of AccessibleEU and Assistant Professor in Computer Science at the University of Linz
Q & A with panelists and audience
13:45 – 14:30 Panel 5: Good Practices in Banking Accessibility – Lessons from Successful Initiatives
This session will highlight real-world examples of successful accessibility initiatives in banking. Representatives from banks, fintech, and advocacy groups will share best practices, lessons learned, and innovative approaches that have positively impacted customers with disabilities and older people. The discussion will also emphasize collaboration between financial institutions, policymakers, and user communities.
Moderated by: Simon Vervaet, European Affairs Counsel, Febelfin
Q & A with panelists and audience
14:30 – 15:00 Closing Remarks
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]]>The European Banking Federation works at the heart of the European banking sector. Our daily activities are guided by the dynamics between European integration, finance, public policy and the digital revolution. It is our job to bring together 33 national banking associations in Europe and represent some 3,500 banks – large and small, wholesale and retail, local and international. We act as a platform for representation and constructive exchange of ideas and expertise between banks, regulators, supervisors and other stakeholders, shaping the banking sector of tomorrow.
We are recruiting a full-time trainee on Digital Innovation to support the work of the Innovation & Cybersecurity team.
In this role you will find yourself working in an ambitious team, active in a sector critical for companies and households in Europe. The team covers topics related to the digital tranformation in financial services, namely: digital euro, data economy and open finance, payments, cybersecurity and resilience, AI, digital identity and cloud banking.
At the EBF, we take trainees seriously. That means you will be a full-fledged member of the team as we navigate EU and international financial regulations, delivering effective engagement with EU policy-makers and intelligence on key policy areas affecting one of the EU’s biggest industries. With your finger on the pulse of EU and digital developments, an enthusiasm for hard work and an ambition to build your experience in banking services, this could be the role for you.
In your daily work, you will be:
Starting date
mid-August or September 1, 2025
Offer
How to apply
Please send your curriculum vitae with a letter of motivation to EBF Recruitment: recruitment@ebf.eu
Deadline: 11 July 2025
Disclaimer: Please note that, due to high interest in positions at the EBF, we may not be able to respond to every application. If you have not heard from us before 25 July 2025, you may assume that we will not move your application forward. We really appreciate your interest in working with us and wish you best of luck in your search. Thank you for your understanding.
The EBF produces a daily and a weekly newsletter with European banking news and updates from national banking associations across Europe. CLICK HERE TO SUBSCRIBE
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Since the beginning of the regulatory reform in 2010, the European banking system has achieved a level of resilience far beyond the original targets. In 2024, all the capital, own funds and liquidity ratios of European banks have reached levels way above the minimum requirements.
In addition to the strong level of quantitative prudential metrics, significant safeguards have been built up in the European banking sector during the last decade including the EU Single Rulebook developed by the EBA, the unified supervision by the ECB’s Single Supervisory Mechanism, the operationalisation of the bank recovery and resolution framework under the Single Resolution Mechanism and the fast-track contribution of banks to the Single Resolution Fund (SRF)[1]. Also, the EU banking industry successfully clears the most severe stress tests and real-life stress events, supported by this framework that European policymakers put in place during the regulatory reform.
However, the EU regulatory framework has become particularly complex. And despite the large level of resilience achieved, European banks operate under a permanent flux of ever rising capital requirements stemming from changing EU regulation, national authorities’ discretions and supervisory decisions. In a short time frame, the regulatory requirements can change, the capital buffers can be significantly increased upon decision of different authorities absent any idiosyncratic justifications, and the supervisory expectations regularly add pressure to the already enhanced requirements. Such complexity has given way to gold plating of international standards and duplication of measures to address the same risk. As a result, capital planning in European banks is a conundrum.
Bank capital is a key resource to support the European economy and the competitiveness of European businesses. Regulatory capital levels achieved by EU banks now exceed the optimum balance between financial stability and benefits for the economy; in other words, now the marginal contribution to resilience through enhanced capital requirements is no longer compensated by the long-term economic cost derived from constrained financing volumes. At a time when the EU economy is facing increasing financing needs for the green transition, the digital transformation and the competitiveness of EU businesses at global level, it is imperative to avoid trapping bank resources vastly in excess of the global minimum requirements applied by peer world regions or exceeding the intentions of the Level 1 rules agreed by EU co-legislators.
In this context of enhanced and fragmented capital requirements, The European Banking Federation wanted to know how much of the aggregate capital requirement corresponds to the Basel Committee minimum, and how much is the result of discretionary decisions and gold-plating of the multiple EU and national authorities involved in the complex regulatory and supervisory EU framework. The former is referred to as the “Basel Baseline”. The latter is referred to as the “Supervisory Discretion”, or “capital add-ons”. For that purpose, it asked the Global Benchmark Initiative (GBI) of the Global Association of Risk Professionals (GARP) to conduct a fact-based study to inform about:
The exercise has been conducted in April and May of 2025 with the participation of 15 EU banks representing 66.4% of the EU banking assets. GARP GBI collected publicly available data and the banks submitted capital buffer, supervisory capital provisioning and deduction data for year-end 2024, 2023, 2022 and 2021 using a bespoke template.
Three conclusions stand out:
It is remarkable that such increase has absorbed a significant part of the organic growth capital generation of banks over the period, calculated as the aggregate Net Income post shareholders returns, hence curtailing the ability of banks to invest and to grow their balance sheet and profitability.
Against this background, the EBF calls policymakers to pause the upward trend of increasing capital requirements, streamline the capital regulatory framework eliminating fragmentation and duplications and, ultimately make a more efficient use of the capital resources available to the banking system which determine, to a large extent, the availability of credit to the economy at a time when the financing needs are projected to increase significantly if Europe is serious about closing the competitiveness gap with its competitors.
[1] Contributions of banks to the SRF amounted to 80 billion euro at the end of 2024
For more information:
Gonzalo Gasós, Senior Director of Prudential Policy & Supervision – g.gasos@ebf.eu
About the EBF:
The European Banking Federation is the voice of the European banking sector, bringing together national banking associations from across Europe. The federation is committed to a thriving European economy that is underpinned by a stable, secure, and inclusive financial ecosystem, and to a flourishing society where financing is available to fund the dreams of citizens, businesses and innovators everywhere.
The EBF produces a daily and a weekly newsletter with European banking news and updates from national banking associations across Europe. CLICK HERE TO SUBSCRIBE
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]]>Are you looking for an internship that will help you grow into the world of communications and events?
We are recruiting a full-time trainee to join the dynamic Communications & Events team. The succesfull candidate should have a genuine interest in EU affairs and a creative and innovative approach to communications. Moreover, the colleague will bring enthusiasm in the support to the organisation of in-person and hybrid events. Some of the leading projects the trainee will be working on include EBF’s flagship initiatives linked to financial literacy (European Money Quiz, European Money Week), European Banking Summit, in involvement in the Communications Steerging Group spanning across the memberishp of the federation
We are looking for an agile and proactive individual to become a fully-fledged member of the EBF Communications team. The successful candidate will be an integral part of our team and handle tasks on a day to day basis that include:
Nice to have:
Starting date
As of 18 August 2025
Offer
At EBF, we aim to give you a well-rounded experience that includes social events, networking, team building and mentorship. We also offer on-the-job training as well as opportunities to learn about the banking industry in a dynamic and international environment.
How to apply
Please send your curriculum vitae with a letter of motivation to EBF Recruitment at the following email address: recruitment@ebf.eu
Deadline: 4 July 2025
About EBF:
The European Banking Federation (EBF) is the voice of the European banking sector, bringing together national banking associations from across Europe. The federation is committed to a thriving European economy that is underpinned by a stable, secure and inclusive financial ecosystem, and to a flourishing society where financing is available to fund the dreams of citizens, businesses and innovators everywhere.
We create a platform for representation and for a constructive exchange of ideas and expertise between banks, regulators, supervisors and other entities that drive the innovation and sustainability of the banking sector. As a team, we learn, work and deliver together in an informal, impact-driven manner.
Disclaimer: Please note that, due to high interest in positions at the EBF, we may not be able to respond to every application. If you have not heard from us before 4 August 2025, you may assume that we will not move your application forward. We really appreciate your interest in working with us and wish you the best of luck in your search. Thank you for your understanding.
The EBF produces a daily and a weekly newsletter with European banking news and updates from national banking associations across Europe. CLICK HERE TO SUBSCRIBE
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