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Monthly calculations of performance scenariosArt.11, Annex IV states that "The scenarios shall be calculated at least on a monthly basis": does it mean that performance scenarios must be recalculated at least once per month due to monitoring reasons (i.e., the checking that the moderate scenarios...

Topics:
  • Key information document (KID)

After having studied the Questions and Answers (Q&A) document on the PRIIP Key Information Document (KID), we have doubts regarding the answer to question 9 found in the section "Performance scenarios (articles 3 and 8 and Annexes IV and V) [Last update November 14, 2022]”, page 34:9. What is the...

Topics:
  • Other

Annex IV, point 7 (c) (iv) states that for each sub interval referred to in points (a) and (b), calculation of the performance of the PRIIP shall include the use of a linear transformation to obtain the performance in sub intervals shorter than the recommended holding period, in order to render...

Topics:
  • Key information document (KID)

Please could you confirm the correct formula for the calculation of the VEV, as we are struggling to work out what the latest version is.

Topics:
  • Key information document (KID)

Re answer to question no. 16 of section III. Market risk assessment (Annex II, Part 1), A. Product categories: Does the NAV calculation have to be based on current property prices? Or is it possible to use property prices for the NAV calculation that are determined, for example, only once a quarter by a property valuer and are constantly estimated for a period of three months using interpolation?“

Topics:
  • Key information document (KID)
  • Packaged retail and insurance-based investment products (PRIIPs)

In the QRT S.06.02 List of Assets for field "C0230 Issuer sector" we have to fill in the NACE code. Log EIOPA states: "for NACE sections A to N full four-digit reporting of the NACE codes is required, i.e. the letter identifying the Section followed by the 4 digits code for the class shall be used (e.g. ‘K6411’). For the remaining sections the letter reference of the NACE code identifying the Section shall be used as a minimum for identifying sectors (e.g. ‘P’ or ‘P8501’ would be acceptable)". Unfortunately, we note that for some positions NACE sections A to N have the letter + 2 digits and not 4 digits as required. We use an official provider (Bloomberg) for this data. We would like to know if these codes are correct for Eiopa, otherwise how can we properly populate this field?

Topics:
  • Reporting Templates

The current regulation is requesting KID document to be written in the official language of the country where investment product is being offered. Is there a way for customer to overcome this rule by proving in any way that he is able to understand KID language?

Topics:
  • Key information document (KID)

Should a financial conglomerate decide the reporting unit (R03)?

Topics:
  • Reporting templates on risk concentrations and intra-group transactions for conglomerates (FICOD)

How to report public sector and financial sector concentration in template (template FC07-00)?

Topics:
  • Reporting templates on risk concentrations and intra-group transactions for conglomerates (FICOD)

Considering the definition of intragroup transactions provided in article 2(18) of Directive 2002/87/EC, we would like to confirm whether transactions between non-regulated entities of the financial conglomerate shall be reported.

Topics:
  • Reporting templates on risk concentrations and intra-group transactions for conglomerates (FICOD)