FIN.

Call for evidence on PRA’s ‘Strong and Simple Framework’

PRA’s Framework seeks to mitigate the ‘complexity problem’ that can arise when the same prudential requirements, including to control risks and hold adequate capital, are applied to all firms regardless of their size and business model. PRA has published draft proposals which aim to mitigate against this problem through its ‘strong and simple’ initiative that would seek to simplify the prudential framework for non-systemic domestic banks and building societies, while maintaining their resilience.

The Treasury Sub-Committee on Financial Services Regulations is seeking views on:

1. The Strong and Simple Framework proposal generally and the PRA’s consultation.

2. The scope of the Strong and Simple Framework.

a. Whether activities excluded from the Strong and Simple Framework should be included

b. Whether activities included within the Framework should be excluded

c. Whether the classifications of firms that are included or excluded are appropriate

3. Whether the Strong and Simple Framework proposals are appropriate to safeguard financial stability, and the safety and soundness of individual firms.

4. Whether the Strong and Simple Framework proposals sufficiently simplify the rules for affected firms

5. How the proposals should be implemented in the context of the Basel 3.1 Standards on Banking Supervision and/or any other relevant international rules or requirements

6. How the proposals should be implemented in the context of firms using their own Internal Ratings Based models

7. The effect of the Strong and Simple Framework on competition within the UK market

8. The wording of the draft instrument giving effect to the proposal

The deadline for responses is 5.00 pm on Monday 11 July 2022.

Harshil Patel