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Showing 121 to 130 of 488 search results for our guidance 'Mortgages and coronavirus.
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RegData help and FAQs
You can find help and/or FAQs on all the Gabriel data items below and via the links to the right. -
FS20/10: Coronavirus and safeguarding customers’ funds: guidance for payment and e-money firms [pdf]
We summarise the feedback to our proposed temporary guidance on payment firms’ prudential risk management and safeguarding arrangements for customers’ funds, in light of coronavirus. -
Client assets and coronavirus (Covid-19)
Summary of queries we have received and our position on client assets (CASS) compliance related to the current disruption caused by coronavirus (Covid-19) -
Apply to become an electronic money or a payment institution
Find out how to apply to be authorised or registered with us if your firm wants to provide payment services or issue electronic money (e-money). -
Fraud
Fraud can include phishing, boiler rooms, mortgage fraud, insurance fraud, carousel fraud, identity theft and advance fee fraud -
FS20/5: Coronavirus and customers in temporary financial difficulty: guidance for insurance and premium finance firms [pdf]
We summarise feedback we received on our proposed measures - and our response - for insurance and premium finance firms on the fair treatment of customers in temporary financial difficulty as a result of coronavirus (Covid-19) -
GC13/2 Dealing fairly with interest-only mortgage customers who risk being unable to repay their loan [pdf]
The guidance is based on the findings from the firm review, as well as other industry practice information we have received; it sets out what we expect firms to do to ensure the fair treatment of customers who are unable to repay the capital sum at -
Key workers in financial services
We set out steps firms should take to help identify key workers in financial services. -
Financial Resilience Survey
Solo-regulated firms might need to complete this short survey to help give us an accurate view of firms’ financial resilience. -
FSA - FG11/15 [pdf]
This document sets out our findings during our prudential review of firms’ mortgage forbearance and impairment provisions processes and sets out the actions we want firms to take. We have included good and poor practice guidance to help your firm