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View All Comment Letters and Position Papers

Pending Comment Letters

Your comments are extremely important to us to provide the best response by WOCCU to these regulatory proposals.

Listed below are all pending regulatory actions for which WOCCU intends to submit a Comment Letter. The listed date is the date by which Comments are due to the respective agency.  All Comment Letters filed by WOCCU can be viewed on the Comments & Position Papers tab. Comments filed by the European Network of Credit Unions can be found here.

Please be sure to provide us with your comments in advance of the Due Date so that we may include them in our Comment Letter.


Agency Pending Comment Letters Due Date
Financial Action Task Force AML/CFT and Financial Inclusion - Proposed Changes to FATF Standards December 6, 2024
 

Recent News on our Competent Authorities

 

Basel Committee Approves Disclosure Framework for Banks’ Cryptoasset Exposures

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Basel

The Basel Committee recently approved a disclosure framework for financial institutions' cryptoassets. The disclosure framework has an implementation date of January 1, 2026. This framework creates a standardized set of public tables and templates covering financial institutions’ cryptoasset exposures. The disclosures are intended to enhance information for oversight and provide transparency into the risk level of a financial institution’s cryptoasset exposure. The document, DIS55 Cryptoasset exposures, sets out the final revised standard.

The Basel Committee also approved a set of targeted amendments to the cryptoasset standard. They are intended to promote a consistent understanding of the standards, especially as it relates to stablecoins. The Basel Committee intends to monitor and update the framework as the financial sector's exposure to cryptoassets develops.

While credit union exposure to cryptoassets is currently limited, this is a framework that may impact the sector in the future, as exploration of the possible benefits of cryptoassets grows. Credit unions continue to explore which innovations and review technological and investment possibilities to benefit their members. It is important for credit unions to continue to advocate for a framework that enables them to invest in emerging technology, if appropriate in the future, that does not have prohibitive regulatory barriers. WOCCU along with others requested clearer guidance on several elements including the definition of “materiality.” In response to our comments, the Basel Committee is proposing a revised definition.  

Click here to access the final disclosure framework.



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