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Determining how to make MiFIR reports and how to populate these fields is often not a straightforward exercise due to differences in licensing and reporting definitions, as well as certain field criteria being conditional on the input of other fields.
In this article, we consider three of these fields in turn. Continue reading →
Data input for MiFID II/ MiFIR transaction reporting is not necessarily straightforward, so you should make sure that you are collecting the correct information from clients. In this article we explain some of the intricacies and difficulties of procuring and validating data and how these can be overcome. Continue reading →
On 31 March 2019, relief from reporting counterparty LEIs for ASIC OTC derivative reporting ends. As it fast approaches and the realities of implementation become clear, we review whether it is the trust or trustee required to obtain a Continue reading →