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ICMA Board elects new chair

7 May 2026 The Board of the International Capital Market Association (ICMA) has elected Stephen Fisher, Global Head of Government and Public Affairs, Deutsche Bank AG, London, as Chair of the ICMA Board of Directors. As Global Head of Government and Public Affairs, Stephen is responsible for leading Deutsche Bank’s engagement in regulatory policy and geopolitics in key global markets. Stephen is active in several trade associations, joining the Board of ICMA in 2022. Learn more about the function of the ICMA Board and a full list of its members here.Stephen FisherStephen is the Global Head of Government and Public Affairs at Deutsche Bank, based in London. In this role Stephen is responsible for leading Deutsche Bank’s engagement in regulatory policy and geopolitics in key global markets. Stephen is active in several trade associations, joining the Board of the International Capital Market Association in 2022. Stephen has over 25 years of regulatory policy experience. He spent 13 years with BlackRock as a senior member of the Global Public Policy Group, based in Brussels and London. Prior to BlackRock, Stephen worked for several years in trade associations representing European banks and in the public sector in the UK for the then newly created Financial Services Authority (now Financial Conduct Authority) and HM Treasury. He has previously held advisory roles for regulatory bodies in the Middle East. Stephen holds Masters degrees from the University of St. Andrews and the University of London and speaks several European languages. He is married with three children, is a keen cyclist, runner and swimmer, has held various leadership positions in local politics and charitable foundations and is passionate about social mobility.

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ICMA publishes the Digital Bonds Annex, an addition to the GMRA Digital Assets Annex

30 April 2026 ICMA is pleased to announce the publication of the Digital Bonds Annex, a further addition to the Global Master Repurchase Agreement (GMRA) suite of documentation.The Digital Bonds Annex further expands and complements the GMRA framework to include transactions involving digital bonds, reflecting ongoing innovation in capital markets.The original Digital Assets Annex, published in August 2024, provides a standardised framework and set of terms which can be used to document repo transactions involving digital cash, digital securities (including tokenised traditional securities), or asset-backed digital assets.Driven by member demand to expand coverage to provide for digital bonds, the Digital Bonds Annex has been developed by the Digital Assets Legal Working Group run by ICMA in partnership with ISLA, with Clifford Chance as legal counsel.The definition of "Digital Bond" within the Digital Bonds Annex is designed to capture natively-issued digital debt securities and makes it clear that the terms and conditions of the Digital Bond must envisage the use of distributed ledger technology.Michael Brown, partner at Clifford Chance commented "We're delighted to have assisted ICMA and ISLA with the development of the Digital Bonds Annexes. The publication of the annexes is a significant milestone for the integration of natively-issued digital bonds into established securities financing frameworks and we were delighted to support the working groups to deliver documentation that enables continued innovation in the market". Deena Seoudy, Senior Director and Associate Counsel at ICMA commented “It has been a pleasure to once again collaborate with the Digital Assets Legal Working Group, ISLA and Clifford Chance on the Digital Bonds Annex for the GMRA. By introducing more harmonised documentation and legal frameworks for SFT participants transacting in digital securities, this initiative helps drive broader adoption and underpins the continued evolution and innovation of digital assets within the repo market”. To promote ICMA members’ familiarity with the Digital Bonds Annex, ICMA will partner with Clifford Chance to run a webinar in May that will provide an overview of how the Digital Bonds Annex works and its various features, as well as an opportunity for members to ask any questions.Details of the webinar can be found here.To download the Digital Bonds Annex and accompanying guidance note, click here. To download the Digital Assets Annex and accompanying guidance note, click here.

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ICMA publishes its semi-annual report that provides detailed data on EU and UK sovereign bond market trading activity

28 April 2026 ICMA’s Secondary Market Practices Committee (SMPC) has published the Sovereign Bond edition of its semi-annual European Bond Market Data report for H2 2025. The latest report presents a full data set of sovereign bond trading activity for 2025, along with a historical data series dating back to January 1, 2022.The report will be published in two separate editions: a sovereign edition (this report), and a corporate edition (to follow).Key findingsThe data show continued strong growth in trading activity, with total trading volumes (notional value) reaching €70.7tn in 2025, of which €34.1tn was traded in H2. This represents a 39% increase in volumes versus H2 2024 and a 17% rise in trade count. We also observe a shift toward larger trade sizes.After declining from 2022, average trade sizes increased notably in 2025, reflecting stronger growth in traded volumes relative to trade count. The analysis also confirms the increasing electronification of European sovereign bond markets. 50% of volumes and 60% of transactions were executed on trading venues in 2025, with continued growth in both D2C and D2D electronic trading channels since 2022.The report also highlights the rich diversity of the European bond ecosystem. US Treasuries dominate European secondary trading, with US sovereign bonds accounting for 35% of total volumes. These are followed by Italy (22%), UK and Germany (10% each), and France (9%).This report, which follows the report published for H1 2025, provides 48 months of bond market data, covering the period January 2022 through to January 2026. ICMA believes that this latest data set provides a more accurate representation than the previous report.ICMA commits to updating this report on a semi-annual basis in order to be able to track long-term trends in secondary bond market structure and activity. ICMA also expects that in time both the depth and quality of the underlying data will improve, particularly as reports such as this seek to present a definitive picture of the European bond markets.More information about the SMPC can be found here.

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ICMA publishes version 2.0 of the Bond Data Taxonomy, reflecting growing market adoption

27 April 2026 The International Capital Market Association (ICMA) today announces the publication of version 2.0 of its Bond Data Taxonomy (BDT), a standardised, machine-readable language for key bond terms developed by and for market practitioners. This latest release represents the most comprehensive update to the BDT to date and comes at a time of increasing market adoption across the global fixed income ecosystem, including in both traditional and DLT-based workflows. The BDT is now being integrated into a growing number of market initiatives and infrastructures, including a digital asset standards platform developed by Swift, continued adoption by issuers such as the Hong Kong Monetary Authority (HKMA), its application in collaborative industry initiatives such as Project Guardian’s Global Fixed Income Framework as well as digitisation of the Eurobond market involving the ICSDs. In parallel, public sector and regulatory discussions—including those within the Eurosystem’s AMI-SeCo—continue to highlight the importance of harmonised data and messaging standards in supporting post-trade integration and market efficiency. Version 2.0 reflects extensive engagement with a broad range of industry stakeholders throughout 2025. ICMA worked closely with market participants across the value chain to support implementation of the BDT in real-world workflows and to gather detailed feedback. This inclusive, market-led consultation has directly informed the enhancements introduced in this release. The updated BDT expands its coverage to support more complex issuance structures, including bonds with multiple series, classes and tranches. It also introduces greater flexibility in data fields to accommodate a wider range of transaction types, including emerging market use cases, while maintaining consistency and interoperability. Originally designed to support primary market issuance, the BDT has now demonstrated its value across the full bond lifecycle. Its application is increasingly extending into trading, settlement and distribution processes, supporting improved data consistency, automation and straight-through processing across market participants. Commenting on the launch, ICMA Chief Executive Bryan Pascoe said: “The launch of the Bond Data Taxonomy version 2.0 marks an important step forward in the market’s ability to communicate bond terms in a consistent, open and machine-readable way. The BDT is helping to reduce fragmentation, support interoperability and enable greater automation across the bond lifecycle. Its growing adoption by issuers, market infrastructures and other stakeholders demonstrates the value of common standards in making international capital markets more efficient, resilient and future-ready.” Gabriel Callsen, Senior Director in the FinTech & Digitalisation Team at ICMA added: “The continued evolution of the BDT reflects ICMA’s role in facilitating standards that are created by the market, for the market. By providing a common, open and machine-readable framework for bond data, the BDT supports both industry efforts and regulatory initiatives to enhance efficiency, reduce fragmentation and enable the adoption of new technologies, including distributed ledger-based solutions.”Version 2.0 of the Bond Data Taxonomy is available for download here.

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New ICMA members in April 2026

ICMA welcomes the following new members in April 2026: Československá obchodní banka, a.s., Czech Republic Emirates Islamic Bank PJSC, United Arab Emirates Mallesons, Australia Privredna banka Zagreb d. d., Croatia Click here to view the full list of ICMA members.

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ICMA responds to Eurosystem consultation on Appia Roadmap

22 April 2026 The International Capital Market Association (ICMA) yesterday submitted its response to the Eurosystem’s feedback questionnaire on the approach set out in the roadmap for Appia, the strategic initiative to shape the development of a European tokenised financial ecosystem (the “Appia roadmap”).ICMA’s response reflects the views of a subset of its DLT Bonds Working Group, which includes issuers, banks, investors, market infrastructures and law firms across the value chain of international debt capital markets.ICMA’s consultation response builds on ICMA’s engagement with the Eurosystem through the ECB New Technologies for Wholesale settlement Contact Group (NTW-CG), which ICMA has been a member of since its inception. Key points: ICMA members welcome the opportunity to provide feedback on the Appia roadmap. Facilitating settlement of DLT transactions in central bank money is of critical importance in order to foster the development of DLT-based capital markets and unlock the wider benefits of tokenisation, as highlighted in ICMA’s previous response to a Eurosystem questionnaire in June 2022. While ICMA members are, in principle, supportive of the proposed high-level principles governing Appia, we emphasise (i) the importance of the principle of legal certainty; (ii) international interoperability being integral to market access and integration; and (iii) suggest the inclusion of interoperability, standardisation and proportionality as additional principles. The proposed technologically neutral network layer should be built through a market-led, collaborative approach, building on existing traditional and DLT-native standards (for example, ICMA's Bond Data Taxonomy). ICMA members believe that the Eurosystem has a critical role to play as an enabler for the EU’s tokenised financial ecosystem, by issuing a wholesale CBDC, driving the adoption of standards and establishing rules for market participants. While some ICMA members note the necessity to reduce reliance on non-European providers for critical infrastructure to ensure strategic autonomy, it is equally important to acknowledge that maintaining interoperability between Appia and the global financial system is crucial to avoid fragmentation. ICMA members emphasise that any common standards, rules and practices to shape the tokenised financial ecosystem must be built on existing industry standards and initiatives. These common standards are critical to facilitate interoperability and enable scaling within the industry, both within the EU’s tokenised financial system and with third countries. Allowing multiple interoperable networks to operate under a common set of harmonised standards is generally the preferred approach from ICMA members’ perspective, instead of a single network operated by the Eurosystem. This model would support competition, reduce concentration risks, and encourage market-led innovation, while also allowing the Eurosystem to maintain safety and compatibility through a strong regulatory and standard-setting role. ICMA’s detailed response can be found here.

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Joint Associations’ Letter on the Proposed Sanctioning Regime under the Securitisation Regulation

20 April 2026 ICMA was among the signatories to a joint letter addressed to members of the European Parliament’s ECON Committee ahead of the final stage of the Parliament establishing its position on the review of the EU Securitisation Framework.The letter calls for a proportionate and stable regulatory approach that supports the development of a more efficient, resilient and competitive EU securitisation market. In particular, it urges policymakers not to introduce a dedicated sanctioning regime under the Securitisation Regulation, noting that investors in securitisations are already subject to sanctions under existing sectoral and national legislation.The letter further cautions that additional and duplicative sanctions could deter existing and prospective investors, thereby undermining efforts to broaden the investor base. It also raises concerns that linking sanctions to the size of exposures could produce unintended and counterproductive outcomes, particularly for holders of the safest senior tranches which by definition represent the largest notional exposures.More broadly, the signatories call for meaningful reforms that reinforce investor confidence and enable securitisation to better support financing for households, businesses and the wider European economy.

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ICMA publishes 2026 legal opinion updates for the Global Master Repurchase Agreement

14 April 2026 Today ICMA announces the publication of the 2026 GMRA legal opinion updates. The opinions provide ICMA members with exclusive access to a substantive body of legal know-how regarding the enforceability of the GMRA and, in particular, the GMRA netting provisions.The 2026 opinions will introduce Peru as a new jurisdiction (publication to follow shortly), increasing the netting coverage to 75 jurisdictions. Coverage of the Digital Assets Annex has also been expanded and now extends to eight jurisdictions. In addition to last year’s coverage of Belgium, England, France, Germany, Luxembourg and Switzerland, the 2026 opinions now include Hong Kong and the USA. All opinions cover at a minimum; companies, banks and securities dealers, most jurisdictions also cover insurance companies, hedge funds, mutual funds and pension funds (where generic coverage is possible) as parties to the GMRA. In response to strong member demand, counterparty coverage has been expanded across 14 jurisdictions, including Australia, Canada, Japan, Saudi Arabia and the UAE. Regulators require repo transactions to be subject to agreements like the GMRA, supported by regularly updated legal opinions, in order to reduce regulatory capital requirements through close-out netting. ICMA legal opinions enable members to realise these significant regulatory capital benefits.ICMA offers members* a business-critical service through the provision of these annually updated legal opinions.Full list of jurisdictions covered by the legal opinions*Full access to the ICMA GMRA legal opinions is not provided to non-subscribing tier 3 and associate members. Official institution members are exempt from the subscription service. For more information and to subscribe, see here. 

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ICMA Quarterly Report for the Second Quarter of 2026 now available

14 April 2026 The latest edition of the ICMA Quarterly Report is now available.To access the report, click here.

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ICMA submits response to SEC’s Notice of Request for Exemptive Relief

10 April 2026 ICMA has submitted its response to the SEC Notice of Request for Exemptive Relief concerning the extraterritorial scope of the U.S. Treasury clearing mandate. The Notice seeks feedback on whether certain offshore transactions in U.S. Treasury between non-U.S. counterparties should be exempt from the Trade Submission Requirement. In its response, ICMA supports the proposed relief in principle, noting that it would help address unintended extraterritorial effects and reduce legal uncertainty, operational complexity, and compliance burdens for international market participants. ICMA also acknowledges concerns raised by some market participants regarding potential level playing field implications, particularly in relation to the treatment of non-U.S. branches and subsidiaries of U.S. firms. The response notes that further consideration may be warranted in this area and suggests that the SEC may consider appropriate mitigants, alongside monitoring the use of the exemption.

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ICMA’s commitment to MENAT Capital Markets

9 April 2026 The International Capital Market Association (ICMA) remains steadfast in its commitment to members across the Middle East, North Africa, and Türkiye (MENAT) region and to the continued development of the region’s capital markets.Against a challenging geopolitical backdrop, we have been encouraged by the resilience shown by capital markets across the region. Market participants have continued to demonstrate professionalism, discipline and a strong commitment to orderly market functioning. The continued fulfilment of obligations by issuers, together with the overall stability of the market, reflects the depth, growing sophistication and underlying strength of MENAT capital markets.Mohamed Sharaf, Chair of ICMA’s MENAT regional committee, said: “The capital markets across the MENAT region have continued to demonstrate stability and resilience despite a difficult external environment. This reflects the strength, diversification and increasing maturity of the region’s markets, as well as the professionalism and commitment of issuers and market participants.”Bryan Pascoe, Chief Executive of ICMA, said: “ICMA remains firmly committed to its members in the MENAT region and to supporting the continued development of the region’s capital markets. In a difficult geopolitical environment, we have been encouraged by the resilience shown across the market and look forward to the return of more stable and normalised conditions in due course.”ICMA greatly values its engagement with members and market stakeholders across the region and remains focused on supporting their priorities and the further development of efficient, resilient and internationally connected capital markets.

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ICMA co-signs joint trade association briefing paper on MiFIR post trade transparency (PTT) proposals in European Commission MISP

7 April 2026 ICMA, jointly with the International Swaps and Derivatives Association (ISDA), the Association for Financial Markets in Europe (AFME) and the European Banking Federation (EBF), co-signed a briefing paper in relation to the MiFIR post-trade transparency (PTT) proposals included in the European Commission’s (EC) Market Integration and Supervision Package (MISP). The briefing paper supports the EC’s proposal to disapply PTT requirements under MIFIR for over-the-counter (OTC) derivatives concluded on certain third-country trading venues, in line with the July 2020 ESMA Opinion on ‘Determining third country trading venues for the purpose of transparency under MiFID II/MiFIR’, but it asks the EC and co-legislators to be more ambitious by extending the scope of the proposal to the other asset classes that benefit from the exemption under ESMA’s Opinion, and to also apply to transactions executed away from trading venues and made public on suitably qualified third-country Approved Publication Arrangements (APAs). Further details can be found in the briefing paper here. 

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ICMA co-supports updated briefing paper on changes to SI regime for bonds and derivatives

2 April 2026 ICMA, jointly with with AFME and ISDA, published an updated briefing paper on the changes of the Systematic Internaliser (SI) regime on bonds and derivatives. The original briefing paper provides information about the practical implications of the changes to the SI regime and the introduction of DPE/DR regimes, with some guidance that the de-registration of bond/derivative SIs is to be expected, with no adverse effect on post-trade reporting or the provision of liquidity. The updated briefing paper now also includes information about the de-registration in the UK, following the FCA Policy Statement in November 2025, as well as some further information around the EU de-registration. 

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ICMA publishes a sixth edition of The Asian International Bond Markets: Issuance Trends and Dynamics

31 March 2026 The International Capital Market Association (ICMA), with support from the Hong Kong Monetary Authority (HKMA), is pleased to announce the publication of the sixth edition of its report, The Asian International Bond Markets: Issuance Trends and Dynamics.The report provides a data-driven overview of how Asian issuers are accessing international bond markets, examining issuance trends by jurisdiction, currency, tenor, debut issuance and sustainable bonds. This latest edition is based on the full-year 2025 dataset and offers a detailed picture of the forces shaping Asia’s international funding landscape.Key findings Latest issuance trends: Asian international bond issuance rose to USD527 billion in 2025, up 14% year on year, continuing the recovery from the 2022 to 2023 trough. Jurisdictional highlights: Japan and China remained the region’s largest markets covering over half of the region’s total issuance, while ASEAN jurisdictions’ combined issuance volume grew by one-third year-on-year. Currency and tenor: The US dollar remained the principal currency of issuance, representing two-thirds of the region’s issuance. Tenor-wise, 1-5 year maturities remained the core of supply, with growing preference for longer-dated funding. Sustainable bonds: Issuance in Asia totalled USD94 billion, maintaining a share of roughly one fifth of the region’s overall international bond issuance. Download the report now for an in-depth look into the trends shaping Asia’s bond markets in 2026. 

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Summer Internship Programme

ICMA’s Summer Internship Programme offers undergraduate students the opportunity to gain hands on experience in international capital markets. As an intern, you will work on a defined project within one of our teams, supporting research, analysis and the development of papers or presentations, while gaining insight into ICMA’s role in shaping market standards and best practice.The programme is full time, paid and runs for six weeks over the summer. Interns are based in London and will work closely with experienced professionals in a supportive and inclusive environment. Applicants must already have the right to work in the UK for the full duration of the internship. Please note that ICMA is unable to sponsor visas for this role.Applications must be submitted by close of business on Thursday 17 April.How to applyTo apply, please submit your CV, a short cover letter and responses to the application questions via the link below. ? ICMA Summer Internship 2026

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ICMA's 50th European Repo Market Survey: Market Growth Continues, Reaching EUR 13.7 Trillion

26 March 2026 ICMA’s European Repo and Collateral Council (ERCC) has today released the results of its 50th semi-annual survey of the European repo market, marking an important milestone for one of the longest-running and most authoritative datasets on repo market activity.The survey measured and analysed the value of outstanding repo plus reverse repo on the books of 59 participants at close of business on 10 December 2025. Given that the ICMA surveys a sample of the European repo market, the headline number must be taken as the minimum size of the European market.Download the 50th ICMA ERCC European Repo Market SurveyGrowth of 9.8% since June and 24.6% year-on-year extended the strong expansion observed in the first half of 2025, driven by tariff-related macroeconomic uncertainty and heightened financial market volatility. In this environment, the repo market efficiently met increased demand for precautionary liquidity while continuing to provide a safe haven for investors. It also absorbed the rising volume of government debt issuance. Moreover, despite the elevated uncertainty and volatility, repo rates remained broadly stable, including over the year-end, partly reflecting central bank efforts to encourage routine use of their liquidity facilities.Summary of key findings: The survey sample maintained its role as a net lender of cash, although this position has been gradually unwinding since the end of quantitative easing. The share of interdealer repo traded on automatic trading systems (ATS) declined further to an eight-year low, reflecting increased activity in US dollar and US Treasury repo conducted outside European platforms, while voice-broking reached an 11-year high, highlighting its importance in periods of elevated trading volumes and in less electronically traded segments. Dealer-to-customer electronic trading continued to grow, supported by hedge fund activity, although at a slower pace, while tri-party repo showed only a modest recovery in share. Cross-border activity continued to increase, reaching a new all-time high, driven by growth in non-European currencies and collateral, while activity between non-eurozone counterparties remained elevated. CCP-cleared repo activity stabilised overall, with a notable expansion in GC financing, which grew strongly and increased its share of the market, supported by longer tenors and wider participation. US Treasuries further increased their share of collateral to a new record, remaining the largest collateral class, while shares of EU government bonds and JGBs declined; Italian government bonds remained the second largest component. In tri-party repo, there was a shift towards higher-quality collateral, with increased shares of AAA and A-rated securities and reduced exposure to CMBS, reflecting concerns over commercial real estate valuations. The share of floating-rate repo rose strongly, approaching previous peaks, suggesting growing expectations that central bank rate cuts may be nearing an end. Maturity profiles shifted modestly towards longer tenors, with increased activity in one- to three-month transactions and greater maturity transformation by the survey sample. 25 years of the ERCC surveyTo mark the 50th ERCC survey, ICMA will publish a retrospective analysis of the past 25 years of survey results, charting the evolution of the European repo market since its inception. Over this period, the repo market has firmly established itself at the core of European wholesale finance - gradually replacing unsecured funding, demonstrating resilience through the global financial crisis, and adapting to significant regulatory reforms. It has become a critical channel for monetary policy implementation while undergoing profound structural transformation, including increased electronification, the expansion of central clearing, and the entry of new market participants.

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ICMA publishes new paper on the role of ESG ratings and data products in sustainable finance

12 March 2026 ICMA’s new paper examines the evolving role of ESG ratings, scores and data products across capital markets, and the growing scrutiny around how these products are produced, interpreted and used. It looks at the practical role they play for institutional investors and other market participants, to what extent early regulatory concerns have been answered by voluntary codes of conduct, what else regulation can offer, and what points might need further reflection.Drawing on ICMA research, including a survey of asset owners and asset managers representing around USD28 trillion in assets under management, the paper explores how ESG ratings and data products are used in practice across equity, debt and loan markets, from investment mandates and risk analysis through to engagement and regulatory compliance.The paper looks at how IOSCO’s recommendations made in 2021 have led to market-led responses in Japan, Singapore, the UK and Hong Kong, including the creation of the ICMA Code of Conduct for ESG Ratings and Data Product Providers as well as more recently to regulation in the EU as well as India and the UK.Key insights: The market has already become much more transparent since IOSCO’s Final Report in November 2021, helped by providers signing up to voluntary codes of conduct. There continues to be widespread reliance on third-party ESG ratings and data products, but also extensive use of internal ESG scores and ratings by asset managers and owners. The ICMA Code of Conduct has become an important reference point in improving transparency, governance and comparability in the market for ESG ratings and data products, however, regulation if done proportionately can bring additional benefits. The interaction between voluntary codes, formal regulation, internal models and standardised sustainability disclosures will shape how this market develops from here. ESG products not covered by current or future regulation, such as ESG data products, can continue to be covered by voluntary codes of conduct. For members following developments in sustainable finance, regulation and market infrastructure, the paper offers a timely overview of a market that is becoming increasingly significant to investment decision-making and capital market practice. 

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ICMA responds to UK government’s consultation on the UK Treasury Bill market

27 February 2026 ICMA has submitted its response to the UK government’s consultation document on the UK Treasury Bill market.The consultation, jointly published by HM Treasury and the UK Debt Management Office, is intended to better inform the government on the structure of its T-bill issuance programme, as well as to explore options to promote participation in the T-bill market, both via primary market operations and through the development of a more active and liquid secondary market.In composing its response, ICMA convened a Taskforce of entities active in the UK T-bill market from its deep and diverse membership, including Gilt-Edged Market Makers (GEMMS), UK Treasury Bill Primary Participants (TBPPs), real money and levered investors, as well as relevant market infrastructures.In its response, ICMA offers its full support for the UK government’s objective of diversifying its financing sources and believes that T-bills can play a more prominent role in its outstanding stock of debt, as well as providing key recommendations to enhance the depth, liquidity, and efficiency of both the primary and secondary markets, including repo. In doing so, ICMA draws on the successful features and experiences of other active T-bill markets, including those of France, Italy and, in particular, the US. Appropriate incentives for Primary Dealers or other liquidity providers are critical, including a dedicated repo standing facility. ICMA also identifies potential sources of new investment, including retail, noting that T-bills offer a secure and higher-yielding alternative for the £1.6tn currently sitting in bank accounts.ICMA suggests that with the right architecture and a gradual approach, T-bill issuance could form as much as 15% of the UK government’s outstanding stock of debt; a meaningful increase from the current proportion of 3.5%.

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ICMA submits letter to SEC on U.S. Treasury clearing mandate

26 February 2026 ICMA has submitted a letter to the U.S. Securities and Exchange Commission (SEC) to highlight the outstanding implementation challenges related to the U.S. Treasury clearing mandate for repo transactions. The letter seeks further clarification and regulatory guidance on the key issues affecting the international market participants, including the extraterritorial scope of the mandate, the inter-affiliate exemption, the treatment of triparty repos, and FICC membership and access considerations. In light of the global nature of the market, ICMA has also shared the letter with other relevant authorities. ICMA will continue to engage closely with market participants, infrastructure providers, and policymakers to support the transition to the new clearing mandate.

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ICMA responds to FCA Consultation on improving the UK transaction reporting regime

20 February 2026 ICMA has responded today to the FCA consultation CP25/32 on Improving the UK transaction reporting regime. ICMA’s response to this consultation covers two distinct perspectives, as we focus on: (i) MiFIR transaction reporting, as it relates to the reporting of cash bond transactions, as well as (ii) SFTR reporting, recognising that the latter is only a smaller component of the consultation. These two aspects of our response were led by two separate ICMA working groups. On the MiFIR side, the response is based on feedback provided by a dedicated MiFIR Transaction Reporting Taskforce, which has been created only recently, established as a sub-group of ICMA’s broader MiFIDII/R Working Group. On the SFTR side, we relied on feedback from ICMA’s well-established SFTR Taskforce, created back in 2015, to coordinate the industry’s implementation effort from a repo perspective and which has since continued to actively follow further regulatory developments.In its response, ICMA strongly supports the FCA’s stated objective to “deliver a streamlined framework that will cut costs for business while ensuring effective regulatory oversight of our world-leading capital markets” and highlights that there is indeed ample scope for such improvements. While the response itself focuses mainly on the FCA’s proposals in relation to MiFIR transaction reporting, we also used the opportunity to share with the FCA a detailed list of proposals for a structured review of the SFTR reporting regime similar to those that had already been shared with ESMA recently. These are the result of a detailed review of the current requirements and issues flagged by members over the past years.ICMA remains committed to contributing actively and constructively to the ongoing reviews of transaction reporting requirements across the EU and the UK, through our consultation responses, our bilateral engagement with the FCA and ESMA, and through official groups, such as the FCA’s recently created SFTR industry engagement group.

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