A78 aims to unite all Belgian payment institutions licensed by the NBB for services 7 and 8. A78 lobbies towards proper implementation of #PSD2 by Belgian banks
We welcome the clarifications by the EBA, as they support the right of PSUs to make use of TPPs’ services. We will actively monitor compliance with the EBA’s expectations and will continue reporting our observations to the individual ASPSPs and to the National Bank of Belgium.
Yesterday, the EBA clarified that the following situations are illegal obstacles and expects that banks remove these identified obstacles within the shortest possible time and without undue delay. https://t.co/kXeON95vwx
12. Additional registrations required by ASPSPs for TPPs to be able to access the PSUs’ payment accounts, or the ASPSPs’ production interface, other than the identification of the TPP via an eIDAS certificate.
We just released the first report on #PSD2 compliance by Belgian banks. Based on the issues reported by our members, we don’t believe ING Belgium to currently be compliant with #PSD2. Next bank report coming up will be KBC. https://t.co/tm7bM9SZS8
The Luxembourg banking supervisor (CSSF) and the UK banking supervisor (FCA) consider that credit card accounts are “payment accounts” within the scope of #PSD2. We'll be addressing this with the NBB in an effort to get banks to open access to credit card data as well. 👍
In the coming weeks, A78 will be releasing detailed reports about each individual Belgian bank's #PSD2 implementation status. We hope this will help the banks to resolve their API problems in an accelerated manner. https://t.co/lAJ7djiOzZ