Keep a clear view of UK regulatory developments and what they mean for your branch. Comperse monitors the FCA, PRA and Bank of England daily, connecting updates to your institution’s entity type and operations.
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Start with your UK operation.
A publication may raise questions for local Compliance, Risk, Operations and colleagues at head office. The useful starting point is your branch’s activities: which part of the update applies, who should review it and what needs checking against the original source.
Comperse brings summaries, severity classification, institution-specific relevance, suggested actions and relevant deadlines into the same assessment. Daily email updates and the dashboard give your team a place to begin that review.
From a publication to a branch review.
The example below shows how a past PRA publication can be organised into relevance, dates and suggested review steps.
PRA · PS6/25 / Historical example
International firms: Updates to SS5/21 and branch reporting
Branch supervisionBooking arrangementsReporting
Institution relevance
Relevant to PRA-authorised banks and designated investment firms headquartered outside the UK or belonging to an overseas group.
Implementation, as set out in PS6/25
SS5/21 changes took effect on 20 May 2025. Branch reporting changes took effect on 1 March 2026. Booking self-assessment timing is agreed with the firm’s PRA supervisory contact.
Suggested review steps
- Review the publication against your institution’s arrangements.
- Discuss applicable booking expectations with the relevant teams.
- Check reporting changes and supervisory timelines.
Illustrative internal review steps, not additional regulatory deadlines. Refer to current rules and subsequent updates when assessing obligations.
Read the PRA publication ↗For current supervisory material, consult the PRA’s SS5/21 publication page. It distinguishes current and past versions and covers international banks operating through branches or subsidiaries.
Give head-office discussions a clear starting point.
Use the assessment and its source link to prepare a focused discussion with the teams involved. A useful review identifies the UK activity in question, the arrangements that need examining and the information colleagues need to contribute.
| Review question | What to establish together |
|---|
| How does this relate to the branch? | Check the publication’s scope against the UK entity and its activities. |
| Where is input needed? | Identify the local and head-office teams that can explain the relevant arrangements. |
| Which dates matter? | Distinguish dates in the publication from internal targets for completing the review. |
| What happens next? | Agree the follow-up questions and the evidence needed to decide on a response. |
These are suggested discussion prompts for your team’s existing review process.
UK coverage, with the detail available to inspect.
Alongside FCA, PRA and Bank of England publications, Comperse monitors ICO material, FOS news and configured firm decisions, and sanctions developments through OFSI and the UK Sanctions List. Discuss sanctions activation and the publication types relevant to your institution during your walkthrough.
Explore the full coverage breakdown ↗
For a practical source checklist, read how to track FCA and PRA regulatory changes.
See the review through your branch’s perspective.
Bring the sources you follow and the UK activities your team oversees. We’ll walk through the product, inspect an assessment and discuss how Comperse fits your regulatory review.
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