Propos the first approaches to consolidat dataset supervision of financial associations. It took us longer than we initially thought to translate them into a draft law. We held a very large number of consultations with both our colleagues from banking supervision and external experts, with market participants, with various ministries, departments, and in the end — we are ready.
I think there is no time to put it off any longer
Groups that are head by NFOs or that include or actively participate in such organizations are significantly expanding their activities and are beginning to take on significant risks. More and more individuals and legal entities are getting involv in this activity and it is therefore not surprising we would like to qualitatively monitor the risks and see what threats and problems may exist for investors and critors.
Can the introduction of such regulation
consider the first step towards regulating ecosystems?
— These are parallel processes because it is fundamentally important for us to evaluate the supervisory component associat with the stability of certain financial groups or holdings. We want to see that the risks assum by different group participants are manag normally and will not lead to serious consequences for our regulat participants — for insurance america email companies, non-state pension funds, brokers and other NFOs.