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European Insurance and Occupational Pensions Authority
 

42

Q&A

Question ID: 42

Regulation Reference: Guidelines on submission of information to NCAs (Preparatory phase)

Article: 35

Status: Final

Date of submission: 13 Mar 2014

Question

LEI and Pre-LEI:
In July 2012 GFMA (Global Financial Markets Association) released a test-file containing a list of entities and the corresponding LEI code.
Nowadays designated Pre-LOUs (Local Operating Units) can assign locally Pre-LEI codes to requiring companies. These codes are validated and can be used all over the world.
As LEI/Pre-LEI is unique, if a company has both a LEI code of the GFMA test-file and a Pre-Lei code assigned by a Pre-LOU which of the two should prevail for Solvency II purposes?
Example:
Entity: GRUPPO BANCA LEONARDO SPA
LEI (GFMA test-file): MCSR9W53J5BQKF4VPL09
Pre-LEI (assigned by UNIONCAMERE, italian Pre-LOU): 8156008364FBF7D6E009 

EIOPA answer

The Pre-LEI concept has been set up pending the operational possibility of having LEI assigned. The GFMA file was ‘a technical test’, not a real LEI by any measure.
Limits of use are clearly reminded by GFMA.
http://www.gfma.org/initiatives/legal-entity-identifier-(lei)/legal-ent…

“This TEST file is for testing purposes only and not for use in any actual transaction. This TEST file, created by DTCC, contains randomly-selected records pertaining to participants active in the financial markets and consists of 1) a provisional legal entity identifier patterned after the Draft ISO 17442 LEI Standard, and …”

Therefore in the situation described the Pre-LEI (assigned by UNIONCAMERE, italian Pre-LOU) should be used.