UK: Critical third parties to the UK financial sector - designation and rules
Supervisory statement SS6/24
November 26, 2024
UK: Critical third parties to the UK financial sector - designation and rulesSupervisory statement SS6/24November 26, 2024 The Bank of England (“BoE”), Prudential Regulation Authority (“PRA”) and Financial Conduct Authority (“FCA”) have set out their expectations of how critical third parties (“CTPs”) should comply with their duties and an Overall Objective for the oversight regime for CTPs. Why should I read this?The Critical Third Party regime is designed to ensure the operational resilience of the UK financial services sector by ensuring that those CTPs that provide critical services to the sector (for instance, cloud computing services) are robustly managed and regulated. In this regard, the BoE, PRA and FCA are increasingly focused on addressing a perceived concentration of risk in a small number of large technology providers. Although HM Treasury will ultimately make the final decision on which service providers will be classified as CTPs (with input from the FCA and PRA), it is important for both financial services firms (“Firms”), and service providers, to familiarise themselves with the operational risk and resilience requirements in the supervisory statement and ensure that they are aware of the regulators’ expectations, both individually and jointly. Designation Process: The regulators may recommend third parties to HM Treasury for designation as a CTP. Before HM Treasury decides to designate a third party as a CTP, it must give the third party the opportunity to make formal representations. Upon considering all evidence and representations, HM Treasury will make a final decision, informing the prospective CTP of the outcome as well as (where appropriate) publishing this in the Designation Regulations. What should I do?Approach to Designation: Understand the rules on when a third party might be designated as a CTP The regulators have set out the following approach which it will take when assessing whether to recommend a service provider to HM Treasury for designation as a CTP:
2. If you are potentially likely to be designated as a CTP, have a strategy for how to respond to any requests from HM Treasury and prepare evidence against statutory criteria. 3. In parallel, review the requirements required of a CTP and put in place a strategy to meet the requirements, including improving technology and cyber resilience, ensuring resilience in your own supply chain, undertaking self-assessments, scenario testing and building playbooks to manage incidents. If Designated:
What else do I need to know about Critical Third Parties: Designation and Rules?Oversight cycles: In respect to CTPs identified, each oversight cycle will last 12 months and will be centred around an annual review to discuss the key risks a CTP poses and agree the oversight strategy for the upcoming 12 months, including any specific actions such as testing or remediation. Incident Reporting: Critical Third Parties are required to report incidents to the Regulators. See our related briefings available. Key contacts
Simon Gamlin Partner United Kingdom Tim Fosh Partner United Kingdom Craig Rogers Partner United Kingdom Joanne Veitch Partner United Kingdom Simon Lightman Partner United Kingdom Richard Hill Partner United Kingdom Jessica Jesson Senior Associate United Kingdom Shehan Kamal Senior Associate United Kingdom Latest Insights
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