About a-team Marketing Services
The knowledge platform for the financial technology industry

A-Team Insight Blogs

Silverfinch Builds Data Aggregation Templates into PRIIPS Solution

Subscribe to our newsletter

Silverfinch is building templates designed to aggregate and distribute data required by Packaged Retail Investment and Insurance Products (PRIIPs) regulation for Key Information Documents (KIDs) into its PRIIPs compliance engine. The company plans to finalise the solution following the release of Level 2 Regulatory Technical Standards (RTS) that could be published by the European Commission as soon as next month.

Initially slated for an end of 2016 effective date, PRIIPs was postponed in November 2016 until January 2018 – coinciding with Markets in Financial Instruments Directive II (MiFID II) – following the rejection of Level 2 RTS by the European Parliament in September. The rejection was based on the KID element of the regulation, which is designed to improve the quality of information provided to consumers.

Silverfinch is supporting PRIIPs KID compliance through the integration of two templates created by the PRIIPs European Working Group and recommended to the market by the European Fund and Asset Management Association. The European PRIIPs Template (EPT) is expected to be used by most asset managers and insurers to aggregate data that allows them to create a KID, while the Comfort European PRIIPs Template (CEPT) was initially designed for the German market, which requires more granular data, but may also be used in other jurisdictions.

Ashley Smith, senior vice president of business development at Silverfinch, says lessons have been learnt from Solvency II in the run up to PRIIPs, with templates defined in two months rather than the 18 months it took to develop the Tripartite Template for Solvency II. He comments: “The PRIIPs templates will take out a lot of pain experienced around Solvency II. We expect firms subject to the regulation to use the templates rather than develop bespoke solutions.”

The Silverfinch PRIIPs solution uses the same components as its Solvency II solution and is geared to the data collection, processing and calculation requirements of PRIIPS. The company does not produce KIDs, but is working with partners dedicated to KID document production, such as FundAssist and autoKIID, to complete this element of compliance.

Smith says there is variation in firms’ readiness for PRIIPs, with some firms working to cover all their funds and bring UCITS into the compliance frame, although UCITS are not required to be compliant until 2019, while others are only just beginning the journey.

Subscribe to our newsletter

Related content

WEBINAR

Recorded Webinar: The Data Office at a Crossroads — AI Governance, Organisational Design, and the Evolving Mandate of the CDO

Who owns AI governance in a capital markets firm – and is the Data Office structured to bear that weight? These questions sit at the heart of A-Team Research’s latest findings, presented here for the first time: the combined results of two landmark surveys examining the role of the Data Office in AI governance and...

BLOG

Delta Capita Report Hub Extends Controls into Post-Reporting Assurance

Regulatory reporting teams have spent much of the past two years focused on rewrites, implementation deadlines and submission mechanics. The priority is now shifting to Post-Reporting Assurance: once a report has been filed, can the firm evidence that the data was accurate, complete, reconciled and subject to proper oversight? That shift is shaping the next...

EVENT

Buy AND Build: The Future of Capital Markets Technology

Buy AND Build: The Future of Capital Markets Technology London examines the latest changes and innovations in trading technology and explores how technology is being deployed to create an edge in sell side and buy side capital markets financial institutions.

GUIDE

Regulatory Data Handbook 2026 – Fourteenth Edition

Welcome to the fourteenth edition of A-Team Group’s Regulatory Data Handbook. Supervisors increasingly expect firms to demonstrate which rules apply, which data supports each obligation, who owns the control and how exceptions are identified and resolved. Policies and implementation programmes must now be supported by records that can withstand regulatory scrutiny. This edition examines material...