![]() ![]() Similarly, if you wish to change (vary) your firm’s permissions during this period, you will need to report your data based on the latest tariff base appropriate to the new fee-block. If your firm is applying for authorisation, you will need to report your data based on the most recent fee-block classifications and the tariff base (measure of business) appropriate to the fee-block. If you’re an RIE operating a multilateral trading facility or operating an organised trading facility, you will also need to report your income from these activities separately for calculating your FSCS levies. We will contact you in January to ask for your data. Periodic fees for RIEs and BAs are based on your annual income from these activities. Recognised investment exchanges (RIEs) and Benchmark administrators (BAs) We will use our data if you choose not to report relevant data. You can choose to report relevant data for the Financial Ombudsman Service. We will contact you in April to ask for your FSCS levy data and any other tariff data you need to report to us. We will continue to collect data from Temporary Permissions Regime (TRP) branch firms. If you’re a UK insurer, you no longer need to submit tariff data to us for periodic fees, as this data will be collected by the PRA from their own regulatory returns. If possible, we would like it by the end of January.įirms that report all their tariff data through the Gabriel reporting return RMA-J are not required to submit tariff data through online invoicing. You must send us your data by 28 February. ![]() If your firm is not registered, please register for online invoicing now. Registered users will be emailed when your firm’s form is available. ![]() Firms registered for online invoicing will need to submit fees data online. ![]()
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