To obtain the benefit of the relief, the other party to the OTC derivative must be:
(a) a reporting entity required to report information about the trade under the Reporting Rules and not relieved from that requirement under the single-sided relief;
(b) a reporting entity who otherwise reports information about the trade under the Reporting Rules; or
(c) a foreign entity reporting under a ‘substantially equivalent’ foreign regime to an offshore prescribed repository and designates or tags the information reported as reported under the Reporting Rules.
The relief requirements are similar for transaction reporting and position reporting.
This means that no relief is available where the other party does not satisfy the above (eg end customer not a reporting entity).
This also means that, where an OTC derivative transaction is between two parties potentially entitled to the single-sided reporting relief, the parties will need to agree which of them will report the transaction.