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Cooperative oversight principles and implementation for Euroclear ...

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of the MoU <strong>and</strong> will there<strong>for</strong>e not be discussed as suchwithin the cooperative <strong>oversight</strong> framework betweencentral banks that is being described here.<strong>Cooperative</strong> <strong>oversight</strong> principle 5 :Unsound systemsIn the specific arrangement under review here, eachnational central bank remains responsible <strong>for</strong> the <strong>oversight</strong><strong>and</strong> the supervision of its domestic (I)CSD <strong>and</strong> theassociated SSSs which it manages. As regards ESA, theservices it provides <strong>and</strong> its management fall within thescope of the above-mentioned MoU, <strong>and</strong> the cooperative<strong>oversight</strong> arrangements described above are applicable.As <strong>for</strong> Belgium, the NBB can, if necessary, discourage theuse of the Belgian systems or – within the frameworkdescribed above – discourage the provision of ESA servicesto a system.2. SWIFT2.1 International cooperative <strong>oversight</strong>arrangement <strong>for</strong> SWIFTCentral banks generally have the explicit objective offostering financial stability <strong>and</strong> promoting the soundnessof payment <strong>and</strong> settlement systems. While SWIFT is nota payment or settlement system itself <strong>and</strong>, as such, isnot regulated by central banks or banking supervisors, alarge <strong>and</strong> growing number of systemically important systemshave become dependent on SWIFT, which has thusacquired a systemic character. If SWIFT were insufficientlyprotected against risk, disruption in financial messagingcould trigger or transmit further disruption amongst itsusers.Because of this, the central banks of the G10 conduct<strong>oversight</strong> of SWIFT, with the NBB as lead overseer, asSWIFT is incorporated in Belgium. Other central banksmay also have a legitimate interest in or responsibility<strong>for</strong> <strong>oversight</strong> of SWIFT, given its role in their domesticsystems.The major instrument <strong>for</strong> the <strong>oversight</strong> of SWIFT is moralsuasion. During the dialogues with the SWIFT board <strong>and</strong>management, overseers <strong>for</strong>mulate their recommendationsto SWIFT. No G10 central bank currently has directstatutory instruments (such as sanctions, fines or <strong>for</strong>malprior approval of changes) to <strong>for</strong>mally en<strong>for</strong>ce decisionsupon SWIFT. Overseers exert influence via a series ofother mechanisms to ensure that SWIFT takes account oftheir recommendations, including in<strong>for</strong>ming SWIFT users<strong>and</strong> their supervisors about <strong>oversight</strong> concerns related toSWIFT.The common underst<strong>and</strong>ing of overseers <strong>and</strong> SWIFTabout the <strong>oversight</strong> objectives, <strong>and</strong> the activities that willbe undertaken to achieve those objectives, is laid downin a protocol. The protocol arrangement was signedbetween the NBB, as the lead overseer, <strong>and</strong> SWIFT. It canbe revised periodically to reflect the evolving <strong>oversight</strong>arrangements. The NBB has also concluded bilateral MoUswith each of the other central banks involved in the <strong>oversight</strong>of SWIFT.The NBB monitors SWIFT developments on an ongoingbasis. It identifies relevant issues through the analysis ofdocuments provided by SWIFT <strong>and</strong> through discussionswith the management. It maintains a continuous relationshipwith SWIFT, with ad hoc meetings on a regular basis,<strong>and</strong> serves as the G10 central banks’ entry point <strong>for</strong> thecooperative <strong>oversight</strong> of SWIFT.The various SWIFT <strong>oversight</strong> groups are structured asfollows :− the SWIFT <strong>Cooperative</strong> Oversight Group (OG), composedof all G10 central banks, the ECB <strong>and</strong> the chairmanof the G10 CPSS, is the <strong>for</strong>um through whichcentral banks conduct cooperative <strong>oversight</strong> of SWIFT,<strong>and</strong> in particular discuss <strong>oversight</strong> strategy <strong>and</strong> policiesrelated to SWIFT ;− within the OG, the Executive Group (EG) discusses withSWIFT’s board <strong>and</strong> management the central banks’<strong>oversight</strong> policy, issues of concern, SWIFT’s strategyregarding <strong>oversight</strong> objectives <strong>and</strong> conclusions. The EGsupports the NBB in preparing <strong>for</strong> discussions withinthe broader OG <strong>and</strong> represents the OG in discussionswith SWIFT. The EG can present recommendations toSWIFT on behalf of the OG ;− at the technical level, the Technical Oversight Group(TG) meets with SWIFT management, internal audit <strong>and</strong>staff to carry out the groundwork of the <strong>oversight</strong> process.Specialised knowledge is needed to underst<strong>and</strong>SWIFT’s use of computer technology <strong>and</strong> the associatedrisks. The TG draws its expertise from the pool of staffavailable at the cooperating central banks. It reports itsfindings <strong>and</strong> recommendations back to the OG.2.2 Assessment of SWIFT <strong>oversight</strong> against the<strong>Cooperative</strong> Oversight PrinciplesThe Principles <strong>for</strong> International <strong>Cooperative</strong> Oversighthave been developed with cross-border <strong>and</strong> multicurrencypayment <strong>and</strong> settlement systems in mind. As SWIFT isneither of these systems, but essentially a major services92

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