Other Journeys in ‘Get Started’.
Customer insight and regulation-driven principles underpin the core customer journeys described in four sections:
ASPSPs should be familiar with their own role and that of other participants across all these proposition types.
TPPs (AISPs, PISPs and CBPIIs) will naturally focus on the proposition types that are relevant to their business model, but they should still be aware of the roles of all participants in order to ensure they understand the lines of demarcation and differences between each type.
The CEG Checklist takes the form of key questions that have been designated as either “required” or “recommended”.
The CEG Checklist sets out which specific requirements are relevant to the Open Banking Standard Implementation Requirements, PSD2, the RTS and the CMA Order. Where relevant, it provides a regulatory reference (as per the CMA Order, PSD2/PSRs and the RTS on SCA and CSC). These are marked as either mandatory, optional or conditional in line with the definitions used across the Open Banking Standards.
For TPPs, certifying against the CEG Checklist is considered as a signal of best practice to the marketplace.
OBIE will consider the CEG Checklist for quality assurance and compliance purposes alongside other sources of information.
The Customer Experience Guidelines form part of the Open Banking Standards.
The Customer Experience Guidelines (and associated Checklist) form part of the Standards, and set out the customer experience required to deliver a successful Open Banking ecosystem, alongside technical, performance, non-functional requirements and dispute resolution practices.
The CEG Checklist has been developed for ASPSPs and TPPs to assess conformance with this aspect of the OBIE Standards.
The CEG and CEG Checklist are consistent with:
In developing its Standards, OBIE has undertaken extensive engagement with different market participants, and analysis to ensure that its standards have been designed in line with relevant regulatory and market requirements.
On this basis, where an ASPSP seeking an exemption notifies their relevant National Competent Authority (NCA) (e.g. the FCA in the UK) that its dedicated interface follows the OBIE Standards, we expect this will provide a level of assurance that the ASPSP meets the requirement of RTS Article 30(5). Conversely, when an ASPSP has deviated from the Standards, we expect that the NCA may require additional information to enable it to consider more closely whether the ASPSP’s implementation is compliant with the relevant regulatory requirements. This may include the NCA requesting additional details on how and why there has been a deviation.
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