European Association of Public Banks and Funding agencies AISBL

EAPB · Trade and business associations · BE

Kategorija
Trade and business associations
Būstinė
Brussel BE
Registruota
2009-01-14
Deklaruotos metinės išlaidos
1 000 000–1 249 999 € (pačios deklaruota)
Svetainė
http://www.eapb.eu
Skaidrumo registras
8754829960-32 ↗
Susitikimai su EK
Pateiktos pozicijos
Pozicijos dokumentai
0
Paminėjimai spaudoje
Sumą deklaruoja pati organizacija Skaidrumo registre; institucijos jos netikrina.

Susitikimai pagal metus

201632017220204202112024320252720268

Šaltinis: Europos Komisijos skelbiami susitikimai, sutapatinti pagal skaidrumo registro numerį. n = 48 susitikimų; x — metai pagal susitikimo datą, y — susitikimų skaičius.

Susitikimai su Europos Komisija

Skelbiami tik susitikimai su Komisijos nariais, jų kabinetais ir generaliniais direktoriais. Susitikimai žemesniu lygiu ir daugelis kontaktų Parlamente bei Taryboje į registrą nepatenka.
DataPriėmėTema
2026-05-12EnergyRoundtable on the tripartite agreement for energy storage
2026-05-12EnergyRoundtable on the tripartite agreement for energy storage
2026-05-12EnergyRoundtable on the tripartite agreement for energy storage
2026-05-12EnergyRoundtable on the tripartite agreement for energy storage
2026-04-14Employment, Social Affairs and InclusionDiscussion on the future Multiannual Financial Framework
2026-04-14Employment, Social Affairs and InclusionDiscussion on the future Multiannual Financial Framework
2026-04-14Employment, Social Affairs and InclusionDiscussion on the future Multiannual Financial Framework
2026-03-27Cabinet of Commissioner Christophe HansenExchange of views on the role of EAPB and its members in agricultural financing
2025-12-03Cabinet of Commissioner Maria Luís AlbuquerqueEAPB’s proposals to reduce complexity in EU banking and capital market regulation and Digital Omnibus
2025-12-03Cabinet of Commissioner Maria Luís AlbuquerqueEAPB’s proposals to reduce complexity in EU banking and capital market regulation and Digital Omnibus
2025-11-28Cabinet of Commissioner Maria Luís AlbuquerqueSustainability omnibus package and banking sector competitiveness
2025-11-28Cabinet of Commissioner Maria Luís AlbuquerqueSustainability omnibus package and banking sector competitiveness
2025-09-17Cabinet of Executive Vice-President Stéphane SéjournéSimplification of financial services legislation
2025-09-17Cabinet of Executive Vice-President Stéphane SéjournéSimplification of financial services legislation
2025-09-15Regional and Urban PolicyStructured Dialogue between the EAPB, AECM, ELTI, NEFI and DG Regional Policy Unit B.3
2025-09-15Regional and Urban PolicyStructured Dialogue between the EAPB, AECM, ELTI, NEFI and DG Regional Policy Unit B.3
2025-09-15Regional and Urban PolicyStructured Dialogue between the EAPB, AECM, ELTI, NEFI and DG Regional Policy Unit B.3
2025-09-08Cabinet of Commissioner Dan JørgensenPan-European Investment Platform on Affordable and Sustainable Housing
2025-09-08Cabinet of Commissioner Dan JørgensenPan-European Investment Platform on Affordable and Sustainable Housing
2025-05-19Cabinet of Commissioner Maria Luís AlbuquerqueSustainability Omnibus
2025-05-19Cabinet of Commissioner Maria Luís AlbuquerqueSustainability Omnibus
2025-04-24Cabinet of Executive Vice-President Roxana MînzatuMeeting to discuss the Social Investment Framework (SIF) and present proposals on housing
2025-04-24Cabinet of Executive Vice-President Roxana MînzatuMeeting to discuss the Social Investment Framework (SIF) and present proposals on housing
2025-03-20Regional and Urban PolicyExchange of views on the future MFF and the increased use of financial instruments from a regional perspective
2025-03-19Regional and Urban PolicyStructured Dialogue Meeting between the associations of NPBIs and the DG for Regional and Urban Policy.
2025-03-19Regional and Urban PolicyStructured Dialogue Meeting between the associations of NPBIs and the DG for Regional and Urban Policy.
2025-03-19Regional and Urban PolicyStructured Dialogue Meeting between the associations of NPBIs and the DG for Regional and Urban Policy.
2025-03-19Regional and Urban PolicyStructured Dialogue Meeting between the associations of NPBIs and the DG for Regional and Urban Policy.
2025-03-13Cabinet of Commissioner Maria Luís AlbuquerqueSustainability omnibus and FIDA
2025-03-13Cabinet of Commissioner Dan JørgensenInvestments for housing
2025-03-13Cabinet of Commissioner Dan JørgensenInvestments for housing
2025-03-13Cabinet of Commissioner Maria Luís AlbuquerqueSustainability omnibus and FIDA
2025-03-11Regional and Urban PolicyJoint Working Session on Housing between the European Commission, EAPB and the European Investment Bank.
2025-03-03Cabinet of Commissioner Valdis DombrovskisOmnibus
2025-02-20Cabinet of Commissioner Piotr SerafinExchange of views on the future Multiannual Financial Framework and other EU priorities
2024-11-22EnvironmentSpeech at CEO Conference Topics: the Water resilience strategy, Climate Adaptation policy, New Commission priorities
2024-03-27Cabinet of Commissioner Wopke Hoekstra…sustainable finance, financing of climate resilience, climate risk management, reporting burden
2024-03-27Cabinet of Commissioner Nicolas SchmitSocial taxonomy and the social investment framework
2021-04-20Financial Stability, Financial Services and Capital Markets UnionCOVID-19 situation and the impact on SMEs
2020-05-28Cabinet of Executive Vice-President Valdis DombrovskisCOVID-19 relief measures
2020-05-28Cabinet of Executive Vice-President Valdis DombrovskisCOVID-19 relief measures
2020-05-28Cabinet of Executive Vice-President Valdis DombrovskisCOVID-19 relief measures
2020-05-28Cabinet of Executive Vice-President Valdis DombrovskisCOVID-19 relief measures
2017-12-04Regional and Urban PolicyEAPB and AECM joint position on the future of EU Financial Instruments and Cohesion Funding as part of the new MFF
2017-12-04Regional and Urban PolicyEAPB and AECM joint position on the future of EU Financial Instruments and Cohesion Funding as part of the new MFF
2016-10-27Regional and Urban PolicyPromotional banks in the European Union in the context of the MFF and the completion of the banking union.
2016-09-15Financial Stability, Financial Services and Capital Markets UnionDG FISMA’s approach to the specific business models of promotional banks in the leverage ratio framework in the light of the leverage ratio calibration report by the European Banking Authority (EBA) expected to be…
2016-09-15Financial Stability, Financial Services and Capital Markets UnionDG FISMA’s approach to the specific business models of promotional banks in the leverage ratio framework in the light of the leverage ratio calibration report by the European Banking Authority (EBA) expected to be…

Ką pateikė viešoms konsultacijoms

2024-09-11 · Evaluation of the Anti-Avoidance Tax Directive (ATAD) ↗ originalus šaltinis
COB: We strongly support the objective of ATAD of combatting tax evasion and international tax planning. However the negative impact the directive has on strategic investments and the one-size-fits-all character of certain exemptions, may have led to a situation where the disadvantages of the directive outweigh the advantages. A key feature of ATAD is the interest limitation rule. The interest limitation rule limits the deductibility of taxpayers' exceeding (net) borrowing costs by relation to a 30% ratio of taxpayer's taxable earnings before interest, tax, depreciation, and amortisation (EBITDA). The interest limitation rule increases the cost of borrowing. It therefore impacts our members…
2024-02-08 · Report on the application of the General Data Protection Regulation ↗ originalus šaltinis
In the view of the EAPB the GDPR establishes a consistent legal framework throughout the EU, ensuring a high standard of data protection, which is generally deemed successful in the banking sector. However, challenges arise concerning the GDPR's adaptability to advancing technological developments, such as cloud-based applications and AI tools. This is especially uncertain regarding requirements, given the inevitable use of technologies involving third countries. Also, ensuring GDPR compliance presents significant challenges for medium-sized and small companies, lacking the financial means and organizational capacity to employ all necessary experts, including DPOs and CISOs. Areas for…
2021-05-03 · Review of the VAT rules for financial and insurance services ↗ originalus šaltinis

Ką rašo savo pozicijos dokumentuose

Ištraukos iš organizacijos pačios įkeltų dokumentų, be trumpinimų ir perpasakojimų.
Report on the application of the General Data Protection Regulation · 3 p.

Avenue de la Joyeuse Entrée 1-5, B-1040 Brussels Phone: +32 / 2 / 898 30 00 • E-mail: [email protected] • Website: www.eapb.eu • EU Transparency Register: 8754829960-32 8 February 2024 Response of the European Association of Public Banks (EAPB) on the call for evidence for the Commission 2024 Report on the application of the GDPR I. General Comments The GDPR establishes a consistent legal framework throughout the EU, ensuring a high standard of data protection, which is generally deemed successful in the banking sector. However, it was noted by our members that ensuring GDPR compliance presents significant challenges for medium-sized and small companies, lacking the financial means and organizational capacity to employ all necessary experts, including DPOs and CISOs.

…lacking the financial means and organizational capacity to employ all necessary experts, including DPOs and CISOs. Many of these smaller entities provide various services as data processing entities (e.g., training providers, external accounting firms, event organizers), making it crucial for data controllers to choose service providers that have implemented appropriate technical and organizational measures in their operations. Potential for improvements was noted in the following areas, in particular: • Art. 5 GDPR: Administrative relief potential lies in addressing extensive accountability and documentation obligations, which have significantly increased since the GDPR's introduction.

…accountability and documentation obligations, which have significantly increased since the GDPR's introduction. • Lack of differentiation between private and business-related personal data in the B2B context: Treating all personal data equally, regardless of its nature, poses challenges, especially in deleting business documents with personal data. Simplifying regulations in the B2B context is desirable. (see also below). • The relationship between the GDPR and other legal regulations poses practical challenges, with financial institutions subject to various special requirements linked to risk management and requirements stemming from the EBA Guidelines on ICT and security risk management. These should serve as guidelines to avoid overwhelming independent assessments. • Reporting of data breaches (Art.

These should serve as guidelines to avoid overwhelming independent assessments. • Reporting of data breaches (Art. 33 GDPR): To prevent excessive reporting and legal uncertainties, the regulation should consider the existence of a foreseeable high risk to rights and freedoms. The prescribed reporting timeframe seems too narrow, especially for breaches discovered on Fridays or before holidays. As an example, due to national occupational safety regulations, such as the German Working Hours Act, there is generally a prohibition of employment on Sundays and holidays (see § 9 (1) ArbZG). • Data protection by design and by default (Article 25): Article 25 addresses only data controllers, not manufacturers. This compels controllers to assess products for privacy vulnerabilities before use, incurring significant effort.

This compels controllers to assess products for privacy vulnerabilities before use, incurring significant effort. The ongoing debate on the privacy- compliant use of Microsoft 365 products highlights this issue. Manufacturers should be obligated to consider data protection laws in product development, aligning with the state of the art to enable controllers to fulfill their obligations. The obtention of consent and the duration of its validity was also reported to pose challenges in some situations, because of national regulators’ room for interpretation. A lack of resources in national data protection authorities was noted in some countries. Ref. Ares(2024)961701 - 08/02/2024 Avenue de la Joyeuse Entrée 1-5, B-1040 Brussels Phone: +32 / 2 / 898 30 00 • E-mail: [email protected] • Website: www.eapb.eu • EU Transparency Register: 8754829960-32 II. Exercise of data subject rights

[email protected] • Website: www.eapb.eu • EU Transparency Register: 8754829960-32 II. Exercise of data subject rights 1. Information obligations, including the type and level of detail of the information to be provided (Articles 12 to 14) The information obligations outlined in Articles 13 and 14 are overly detailed and extensive. To prevent individuals from being overwhelmed, it is advisable to streamline these requirements reasonably. A two-tiered approach, offering an overview initially and detailed information upon request or in a second step, would be a preferable solution.

…an overview initially and detailed information upon request or in a second step, would be a preferable solution. 2. Access to data (Article 15) Article 15 is often misused for non-data protection purposes in practice, such as in employment termination disputes during negotiations for severance agreements. A legal clarification is desirable, stating that Article 15 of the GDPR is limited to data protection matters, requiring the data subject to demonstrate this. Additionally, a more nuanced regulation of the restrictive counter-rights under Article 15 of the GDPR at the GDPR level would be desirable. This aims to limit individuals' right to access information, considering factors similar to the catalog of restrictions under national law such as the German Freedom of Information ACT, with restrictions such as trade secrets, personal data of third parties, important public interests, and…

…of Justice of the European Union (CJEU) with reference to Case C-307/22 and the available Advocate General's opinion. 3. Erasure (Article 17) The deletion of data can be technically challenging, leading to the suggestion of permanently blocking relevant personal data in cases of disproportionate or technically unfeasible deletion (according to Articles 5 and 17 of the GDPR). Overall, there should be consideration given to qualifying or limiting the existing high deletion requirements, especially by placing stronger emphasis on technical feasibility in implementing deletion requests and enabling alternative protective measures in cases of lacking technical feasibility. Deleting data, particularly in the B2B context, poses significant challenges, including obligations to delete documents and information containing personal data. The GDPR currently protects contact data with personal…

+32 / 2 / 898 30 00 • E-mail: [email protected] • Website: www.eapb.eu • EU Transparency Register: 8754829960-32 4. Meaningful explanation and human intervention in automated decision making (Article 22) The criterion of human intervention should be clarified, specifying that the controller is required to examine and apply the data subject's input to the decision-making parameters. There should not be an additional scope for intervention beyond this. III. Data protection officers (DPOs) (Question 7) To enable Data Protection Officers (DPOs) to perform their duties properly, it would be helpful if the GDPR stipulated that, in addition to the DPO, one or more Data Protection Managers could also assume operational tasks. IV. International transfers (Question 9) It is suggested that the EU Commission consistently evaluates criteria for a Transfer Impact Assessment (TIA) concerning the use of EU…

originalus šaltinis (PDF) ↗

Kokias ES temas nurodo sekanti

- Banking regulation
- Corporate governance, anti-money laundering, state aid and competition law.
- Securities and capital markets, ESMA and IOSCO activities, taxation of financial services and institutions, internal audit in banks.
- SME Policy, SME Finance, EU Financial Instruments, Energy, Infrastructure.
- Public procurement law, consumer affairs, payment systems, civil law, company law, accounting.
- Structural funds and cohesion policy, local finance and Sustainable finance and energy.