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CSSF supervised entities Search

Faced with the coronavirus crisis, the CSSF continues its missions of prudential supervision and accompanies professionals of the financial sector. All CSSF communications intended for the supervised entities in this context are accessible here. Since the beginning of the COVID-19 crisis, the CSSF has mad A database of entities supervised by the CSSF is available and accessible to all users: 1. Via the search area (magnifying glass) of the main menu which includes a direct link to the database Search... 2. The Quick access zone in the presentation pages dedicated to each entity type includes a. CSSF Search & Toolbox Open the search or access the CSSF tools and applications Legal requirements and authorisation procedure for investment firm

The CSSF informed supervised entities identified as essential service operations under NIS 16 October 2020. Under Directive (EU) 2016/1148 on security of network and information systems (the NIS Directive) - the first EU-wide piece of legislation addressing cybersecurity - identified operators of essential services (OES) will have to take appropriate security measures and notify serious. The CSSF's prudential supervision aims to ensure that investment vehicles and managers subject to its supervision continuously observe all legal, regulatory and contractual provisions relating to their organisation and operation, with the objective to ensure investor protection and stability of the financial system The simple search allows you to look up for entities supervised by the CSSF by name. The advanced search shows all entities belonging to a category. The data is updated regularly and may be downloaded in PDF and CSV format. Prev; Next; About. Chevalier & Sciales is a Luxembourg law firm with specialist expertise in investment funds, high-level litigations and dispute resolutions, banking.

Face à la crise du coronavirus, la CSSF poursuit ses missions de surveillance prudentielle et accompagne les professionnels du secteur financier. Retrouvez ici l'ensemble des communications destinées aux entités surveillées que la CSSF a éditées dans ce contexte Share or Embed This Item. EMBED. <iframe src=https://archive.org/embed/supervisedentities width=560 height=384 frameborder=0 webkitallowfullscreen=true mozallowfullscreen=true allowfullscreen></iframe>. EMBED (for wordpress.com hosted blogs and archive.org item <description> tags List of supervised entities Cut-off date for changes: 1 May 2020 This list displays the significant supervised entities, which are directly supervised by the ECB (part A) and the less significant supervised entities which are indirectly supervised by the ECB (Part B) Cssf supervised entities search. Supervised entities cssf. Compare Search ( Please select at least 2 keywords ) Most Searched Keywords. Ibuki mioda body pillow 1 . Https overlake hospital bill pay 2 . Fda med guide requirement 3 . Best free math apps 4 . Sub compact snow pusher 5 . Pc phone recorder software 6 . Old wealth in america 7 . Gary morrison singer 8 . Pasta mozzarella bake 9 . News. List of supervised banks. The ECB maintains a list of all significant banks under its direct supervision and less significant banks under its indirect supervision. The list of supervised entities is updated regularly and reflects all decisions on bank significance that entered into force before the relevant cut-off date

CSSF - The Commission de Surveillance du Secteur Financier

As of 1 January 2020, all entities which are subject to the CSSF supervision and which are using benchmarks are restricted to the use of the following types of benchmarks: An index that does not fall within the scope of Regulation (EU) 2016/1011 on indices used as benchmarks (the Benchmark Regulation or BMR) as it is exempted from the BMR's requirements pursuant to Article 2 (2) of the said regulation The Commission de Surveillance du Secteur Financier is responsible for the financial regulation in Luxembourg. The CSSF is responsible for the supervision of credit institutions, experts in the financial sector, investment companies, pension funds, regulated securities markets and their operators, multilateral trading facilities and payment institutions. The CSSF is the competent authority for the public auditor oversight

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If, however, for operational reasons supervised entities experience difficulties to prepare or validate their CSSF reporting due to staff not being available, for example because they work remotely without having full access to all systems, then the supervised entities should contact the CSSF through their usual channels as soon as possible and ahead of reporting deadlines. The CSSF will not. Search. Publications Newsflash | Circular CSSF 21/769 - Teleworking in supervised entities. 21 April 2021 Elzbieta Tumko Philippe Sadler Pierre-Alexandre Degehet Nuala Doyle Laurent Lazard. Banking & Financial Services Bank Lending, Structured Finance & Securitisation Capital Markets. On 9 April 2021, the CSSF published Circular CSSF 21/769 regarding governance and security requirements for. The CSSF has announced that entities under its supervision will have to complete the next annual AML/CFT risk assessment survey using the e-Desk platform. The period to complete the survey will open on 3 February 2020 for all entities and close after 4 weeks for the banking sector and 6 weeks for other supervised entities Scope. On 9 April 2021, the Commission de Surveillance du Secteur Financier (CSSF) published Circular 21/769 regarding governance and security requirements for supervised entities to perform tasks or activities through telework (the Circular).. This Circular applies to all CSSF supervised entities, including their branches in Luxembourg or abroad, as well as Luxembourg branches of.

Attilio Femiano-Chillé - Norvestor

Investment firms - CSS

The CSSF is an 'alternative dispute resolution' service, and this essentially means that it tries to resolve all complaints received outside the courtroom setting - securing an apology and/or compensation for wronged parties where applicable. The firm in question must be supervised by the CSSF and feature on its entity search database and. Prepare, assist and perform representation of the CSSF at national or international meetings related to the AML/CFT supervision of the respective entity, in particular in the context of AML/CFT Colleges with, among others, European supervisory authorities; Contribute to the development of AML/CFT supervisory approaches and methodologies of the CSSF Circular CSSF 21/769 - Teleworking in supervised entities 23/04/2021. On 9 April 2021, the CSSF published Circular CSSF 21/769 regarding governance and security requirements for Supervised Entities (as defined below) to perform tasks or activities through Telework (as defined below) (Circular 21/769) On 9 April 2021, the CSSF issued a new circular (21/769) in response to the growth of Telework and the related security risks. This circular, entering into force on 30 September 2021, is addressed to all Supervised Entities of the financial sector and is aimed to frame the governance and security requirements such entities must comply with when employing Telework solutions Specialised PFS Portfolio Officer (m/f) The successful candidate (m/f) will be hired as public employee (employé de l'Etat) under a permanent contract. If the candidate meets the required conditions, s/he will be asked to apply for admission to the status of civil servant (fonctionnaire de l'Etat). Prior to the conclusion of.

Addeddate 2016-05-20 16:06:10 Identifier supervisedentities Identifier-ark ark:/13960/t9p31k91f Ocr ABBYY FineReader 11.0 Ppi 300 Scanner Internet Archive HTML5 Uploader 1.6. Supervised Entities shall have rules in place to define from where Telework is allowed. No approval by the CSSF is required in order to implement, maintain or extend Telework solutions for staff in a Supervised Entity. Main governance and security requirements for Supervised Entities as set out in Circular 21/76 For critical activities the CSSF expects the Supervised Entity to have in place a strong 2-FA procedure with one of the factors being dynamic. Finally, the communication chain security must be subject to review by an independent security control function which may either be performed by the information security officer, the internal auditor or a specialist external third party. The scope of. The CSSF expects supervised entities to give due consideration to these laws when implementing telework, especially for non-resident staff members. Each supervised entity also must comply with European and national regulations regarding freedom of establishment and freedom to provide services when deploying teleworking in a cross-border context. Careful consideration should also be given to. supervised entities as referred to in Article 2, point (20)5 in conjunction with Article 2, point (7)6 of the SSM Framework Regulation, that are referred to as less significant institutions in accordance with Article 6(4) of the SSM Regulation, as well as the name of the relevant NCA.Entries marked with an asterisk (*) refer to supervised entities which, although meeting one of the.

The CSSF also confirms that the circular does not create any precedence for employees to claim a right to remote working, and contractual relationships between Supervised Entities and their employees do not fall within the scope of the circular. In addition, the CSSF points out that remote working arrangements must comply with the provisions of the Luxembourg Labour Code and must not. The CSSF Circular defines governance and security requirements for the implementation and utilisation by entities under the supervision of the CSSF (e.g. credit institutions, investment firms, management companies, payment and electronic money institutions, specialised and supports PFS, etc.) (defined as Supervised Entities) of work processes based on Telework solutions. More generally, the. supervised entities as referred to in Article 2, point (20)7 in conjunction with Article 2, point (7)8 of the SSM Framework Regulation, that are referred to as less significant institutions in accordance with Article 6(4) of the SSM Regulation, as well as the name of the relevant NCA. 1 Council Regulation (EU) No 1024/2013 of 15 October 2013 conferring specific tasks on the European.

CSSF on supervised entities_service operators under NI

List of supervised entities Cut-off date for significance decisions: 1 January 2018. Number of significant supervised entities: 118: A. List of significant supervised entities: This list displays the significant (part A) and less significant credit institutions (part B) which are supervised entities. The list is compiled on the basis of significance decisions adopted and notified by the ECB. If, however, for operational reasons supervised entities experience difficulties to prepare or validate their CSSF reporting due to staff not being available, for example because they work remotely without having full access to all systems, then the supervised entities should contact the CSSF through their usual channels as soon as possible and ahead of reporting deadlines. The CSSF will not. List of supervised entities Cut-off date for significance decisions: 01 January 2016 Number of significant supervised entities: 129 A. List of significant supervised entities Belgium Name Country of establishment of the group entities Grounds for significance Investeringsmaatschappij Argenta nv Size (total assets EUR 30 - 50 bn) Argenta Bank- en Verzekeringsgroep nv Belgium Argenta Spaarbank.

Financial sector: New CSSF Circular on teleworking. The Commission de Surveillance du Secteur Financier (the CSSF ) published on 9 April 2021 the CSSF-Circular 21/769 on Governance and security requirements for supervised entities to perform tasks or activities through telework. The Circular will enter into force on 30 September 2021 The CSSF also highlights the enhanced legal framework at European level (AMLD52 and CRD V3), and the further cooperation and information exchange with foreign prudential AML/TF supervisors and the European Central Bank. Supervised entities are reminded at all times to give due consideration to AML/CTF risks and ensure that their governance and risk management arrangements are appropriate and. Supervised entities will have to create and maintain a register of all cloud outsourcing no matter whether it is material or non-material. The register template published on the CSSF's website contains 54 fields, nine of them only related to material activities outsourced and ten of them related to non-material activities outsourced

Investment funds and vehicles - CSS

  1. Supervised entities must be able to demonstrate and provide evidence of compliance with the aforementioned policies and with the requirements of the Circular to the CSSF and its external auditors.
  2. However, where none of the conditions set out above is met, Supervised Entities must electronically apply for a prior authorisation to the Competent Authority using the form B available on the CSSF website. Similarly, a Supervised Entity intending to change its cloud computing service provider, its models or its resource operator must inform.
  3. ds supervised entities of the transitional provisions for benchmarks 22 January 2020. Regulatory News Alert. Save for later; Context and objectives . As of 1 January 2020, all entities which are subject to the CSSF supervision and which are using benchmarks are restricted to the use of the following types of benchmarks: An index that does not fall within the scope of Regulation.

Launching of an official database of supervised entities

Maintaining a unique Circular covering different entities and different areas of activity becomes difficult to manage for both the CSSF and supervised entities. The new Circular CSSF 20/758 introduces new and adapted requirements for investment firms, under the principle of proportionality. In addition, the CSSF published the prudential. Search. Publications CSSF Updates on IT Outsourcing by Supervised Institutions. 2 January 2020 Banking & Financial Services. New and Modified CSSF Templates for Authorisation Requests and Notifications. As regards IT outsourcing of material activities by credit institutions, investment firms and professionals performing lending operations under Circular CSSF 12/552 (as amended) and IT. Auditor / Compliance Officer - UCI On-site Inspections (m/f) The successful candidate (m/f) will be hired as public employee (employé de l'Etat) under a permanent contract. If the candidate meets the required conditions, s/he will be asked to apply for admission to the status of civil servant (fonctionnaire de l'Etat) The CSSF furthermore reminds that the management bodies and senior management of supervised entities should be aware of the enhanced legal framework set out at European level with the relevant provisions of AMLD5 (Directive 2015/849) and CRDV (Directive 2019/878). These persons should in addition at all times be and remain of sufficiently good repute and possess sufficient knowledge, skills. A diverse composition of speakers representing the ABBL, FTL, KPMG Luxembourg, CSSF, system security and criticality are the top five issues faced by supervised entities in the process of adoption of cloud computing services. On 25 February 2019, the European Banking Authority (EBA) released its revised guidelines on outsourcing arrangements introducing a harmonised regulatory framework.

Supervised Entities falling under the scope of the Revised Cloud Circular shall maintain a Cloud Register under the form published by the CSSF on its website of all cloud computing infrastructure. The European Securities and Markets Authority (ESMA) and Luxembourg's Financial Sector Supervisory Authority (CSSF) have issued press releases in relation to the impact of the COVID-19 virus outbreak on the stability of financial markets. After examining the market situation and contingency measures implemented by supervised entities, ESMA has. 17 April 2020 Immediate review of organisational setup by supervised entities to enable working from home In a communiqué, the CSSF urges all financial institutions under its prudential supervision to continue favouring working from home.Satisfactory IT security conditions should be guaranteed, and the prior authorisation of the CSFF is not required for such arrangements

On 14 May 2020, the CSSF published recommendations for supervised entities on telework and a possible return to the office (the Recommendations). The CSSF pointed out that the recent easing of COVID-19 related restrictions by the Luxembourg government doesn't mean the end of the pandemic. Therefore, it is encouraged that entities supervised by the CSSF remain extremely careful when. the supervised entities are required to maintain at all times a robust central administration in Luxembourg, meaning i.a. that staff should be able to return to the supervised entity's premises. On 1 July 2019, the CSSF published Circular 19/721 which informs supervised entities, including but not limited to UCITS, Part II UCIs1, SIFs2, SICARs3, Luxembourg management companies and AIFMs, of the establishment of an electronic desk portal (eDesk Portal).. This eDesk Portal will have to be used for all the requests listed and published on the homepage of the eDesk Portal Noting that Luxembourg is Europe's largest fund centre in terms of assets under management, the CSSF notes that the country's National Risk Assessment on Money Laundering and Terrorist Financing risks in December 2018 indicated that the investment fund sector carried a high risk because of the variety of entities involved, the high volume of retail and institutional investors and of the.

CSSF - La Commission de Surveillance du Secteur Financier

Search . Share. Skip to content Skip to footer. Menu . Share this page Regulatory updates. Circular 19/714 on IT outsourcing relying on a Cloud Computing Infrastructure. On 27 March 2019, with immediate effect, the CSSF published circular CSSF 19/714 making substantial amendments to its IT Outsourcing relying on a cloud-computing infrastructure Circular CSSF 17/654. Main amendments include a. Many translated example sentences containing supervised entities - French-English dictionary and search engine for French translations

Cssf supervised entities search. Supervised entities cssf. Compare Search ( Please select at least 2 keywords ) Most Searched Keywords. Risque humor cartoons 1 . Bosch rexroth valve catalog 2 . Biography of qari barakatullah salim 3 . Open source hardware 4 . Monitor screen looks fuzzy 5 . Scrubbing bubbles toilet cleaner 6 . Thermage does it work 7 . Netgear wgr614 software 8 . Zapp and roger. THE CSSF INFORMED SUPERVISED ENTITIES IDENTIFIED AS ESSENTIAL SERVICE OPERATORS UNDER NIS 2 |Clifford Chance October 2020 CONTACTS Udo Prinz Counsel T +352 485050232 E udo.prinz @cliffordchance.com Charles-Henri Laevens Senior Associate T +352 485050485 E charleshenri.laevens @cliffordchance.com Tokyo • Warsaw • Washington, Boika Deleva Associate T +352 485050260 E boika.deleva. This list displays the significant (part A) and less significant credit institutions (part B) which are supervised entities. The list is compiled on the basis of significance decisions adopted and notified by the ECB that refer to events that became effective up to the cut-off date. List of supervised entities. Cut-off date for changes: 2 January 2019 . List of supervised entities. 2. LEI MFI. Secondly, the CSSF noted that there are two different ways to assess the materiality of IT outsourcing. You can look at it from a technical point of view which states that if a deficiency in outsourced IT operational functions, activities or services may disrupt the ability of the supervised entity to operate its material activities in a controlled manner; or you can look at it from a business.

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  1. The data in the list of supervised entities is updated every night. Register of Insurance Intermediaries . Search by name. Search Save search results as excel (.csv) We use cookies on our website for a better user experience. By using this website you agree to the use of cookies. See Cookies policy. Accept. We foster financial stability and confidence in the financial markets and enhance.
  2. Supervised entity: Banco de Portugal : 03/03/2020: Ulster Bank Ireland Designated Activity Company : Central Bank of Ireland : 21/01/2020: Coöperatieve Rabobank U.A. De Nederlandsche Bank N.V. 23/10/2019: Natural person related to a supervised entity: Banco de Portugal : 21/05/2019: RBC Investor Services Bank S.A. Commission de Surveillance du Secteur Financier : 03/10/2018: Citibank Europe.
  3. cssf register entity search
  4. ds that the management bodies and senior management of supervised entities should be aware of the enhanced legal framework set out at European level with the relevant.

or SICAR) supervised by the CSSF. It should be noted that, those various available Luxembourg regimes can also be combined when structuring an investment project either by setting up different vehicles to meet the specific needs of various investors (e.g. by creating dedicated feeder funds or parallel vehicles), but they can also be combined in a phased approach as conversions from one. Scope. To be aligned with the Law, professionals supervised, authorised or registered by the CSSF, including branches of foreign professionals notified to the CSSF and professionals established under the laws of foreign countries notified to the CSSF, who supply services in Luxembourg without establishing any branch in Luxembourg are now under the scope of the present regulation (art. 2 (1))

As such, the CSSF advises that supervised entities should carefully consider whether to opt for an unsupervised service provider and should only choose to do so after having carried out a thorough. An icon used to represent a menu that can be toggled by interacting with this icon On 9 April 2021, the Commission de Surveillance du Secteur Financier (the « CSSF »), the Luxembourg financial supervisory authority, adopted a circular 20/769 on governance and security requirements for supervised entities to perform tasks or activities through telework (the Circular).The Circular enters into force on 30 September 2021 and does not apply under pandemic situations or in. The CSSF released a ready-to-use document that may be quickly disseminated to employees of supervised entities. The document includes specific information on threats and vulnerabilities which are increasing as a result of remote working and a climate of fear as well as the relevant actions to be undertaken by those persons responsible for AML/CFT compliance and those responsible for control of.

These texts outline the primary supervisory requirements for supervised credit institutions and investment firms. 2. Administrative rules There is a variety of definitions of administrative rules. For the purpose of disclosure they are understood as instructions to supervised entities to fulfil certain legislative and regulatory requirements. 3. General guidance includes explicit disclosure. In this regard, on April 9, the CSSF published Circular 21/769 21/769 on Governance and security requirements for Supervised Entities. The Circular focuses on three purposes: To contribute to prudent management of teleworking. To ensure the proper organization of entities supervised by the CSSF. To ensure the preservation of information security In line with CSSF Circular 11/528, CSSF Regulation N°20-05 provides that, where a professional notifies the CRF under Article 5 of the 2004 Law of a suspicion relating to another CSSF-supervised.

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  1. The CSSF indicates that if for operational reasons supervised entities experience difficulties in preparing or validating their CSSF reporting due to staff not being available, for example because they work remotely without having full access to all systems, they should contact it through their usual channels as soon as possible and ahead of reporting deadlines. The CSSF also says that during.
  2. On 14 August 2020, Luxembourg's financial regulator CSSF published Regulation 20-05 (the Regulation), amending CSSF Regulation 12-02 of 14 December 2012 regarding the fight against money laundering (ML) and terrorist financing (TF). The Regulation, which entered into force on 24 August 2020, aims to provide further clarifications to professionals regarding the changes brought by the.
  3. The CSSF urged all supervised entities to immediately review their current organisational setup so that the least possible number of staff members have to travel to, and work from, their usual workplace or backup site. This should be limited to only safeguarding the vital functions that are essential to maintain the critical operations of supervised entities, which cannot be performed remotely.
  4. Luxembourg financial sector regulator defines requirements for supervised entities using teleworking 15 April 2021. On 9 April 2021, the Luxembourg's financial sector regulator (the CSSF) published a new circular (Circular CSSF 21/769 - the Circular) on governance and security requirements for supervised entities to perform tasks or activities through telework (or remote working)
  5. On 28 November 2014, the CSSF published Circular 14/596 in order to draw the attention to the new communication regime for Significant Entities and decided to abolish the VISA procedure for published annual accounts for all credit institutions.. Communication Regime under the SSM for Significant Entities. According to the Article 95 of the SSM Framework Regulation, Significant Supervised.
  6. Background . On 27 January 2020, the CSSF published its first ML/FT risk analysis on the collective investment sector (the Analysis).. In 2019, in order to link the national risk assessment (NRA) of money laundering and terrorist financing (ML/FT) to the entity-level ML/FT risk assessments that the CSSF performs annually on investment fund managers operating in Luxembourg.

Enter search term Type to search entire website submit search Close Search. Open Main (CSSF) website located at to United Kingdom and Luxembourg investors and provide access to the Financial Services Register and the register of supervised entities in Luxembourg, respectively. Investing in ILS involves certain risks and you should refer to the risk factors for more information. CSSF's CSA questionnaire. The CSSF will launch the first phase of the CSA at the beginning of March 2021.. Concerning the scope of supervised entities, the CSSF confirmed it will contact Luxembourg-based UCITS managers to complete a dedicated questionnaire for all the UCITS they manage, i.e., Luxembourg-domiciled UCITS and foreign-domiciled UCITS CSSF circular on governance and security requirements for teleworking 13/04/2021. On 9 April 2021, the Commission de Surveillance du Secteur Financier (the « CSSF »), the Luxembourg financial supervisory authority, adopted a circular 20/769 on governance and security requirements for supervised entities to perform tasks or activities through telework (the Circular) On 1 July 2019, Luxembourg's financial regulatory body, the Commission de Surveillance du Secteur Financier (CSSF), published Circular 19/721 (the Circular) to inform the supervised entities of the dematerialisation of requests to the CSSF. The Circular applies to supervised entities, including but not limited to: Undertakings for collective investment (UCIs) subject to Part II of

Under the previous version of the CSSF FAQ, conclusion could have been drawn that entities that had modified their offering document (i.e. prospectus) or their constitutive documents (i.e. statutes) to restrict distribution to professional investors within the meaning of MiFID II did not need to complete this statement. However, via the amendment of the CSSF FAQ dated 27 September 2019, the. In other words, the risk management framework within the supervised entities will have to integrate a broader scope of analysis than pure ICT risks. They will also have to consider security criteria (confidentiality, integrity, availability). They will put those criteria into the perspective of the business consequences that result (reputation, operations, legal, financial). Therefore. On 7 November 2019, the Commission de Surveillance du Secteur Financier (CSSF) issued a press release announcing the set-up of two new market entry forms aiming at collecting from professionals supervised by the CSSF standardized key information Home working and other remote working options: New CSSF guidance released! 21/04/2021. On 9 April 2021, the Commission de surveillance du secteur financier (CSSF) published valuable guidance on the governance and security requirements applicable to remote/home working (Telework) in the form of CSSF Circular 21/769 on governance and security requirements for supervised entities to. The CSSF also clarifies requirements for both appointees. T he Q&A clarifies the requirement laid down in art 4(1) of the Law of 12 November 2004 as amended (the AML Law) to appoint two different persons in charge of AML/CFT for supervised Investment Funds and Investment Fund Manager (IFMs) and clarifies requirements for both appointees

List of supervised banks - Europ

BMR: CSSF reminds supervised entities of the transitional

  1. Context and objectives. On 10 June 2021, the Commission de Surveillance du Secteur Financier (CSSF) published an FAQ on the application of the Markets in Financial Instruments Directive (MiFID) to investment fund managers (IFMs). The FAQ aims to clarify the circumstances and the extent that the MiFID applies to IFMs, their third-party delegates, and their investment advisers
  2. Commission de Surveillance du Secteur Financier - Wikipedi
  3. The Latest CSSF Communications to Regulated Entities

BSP Newsflash Circular CSSF 21/769 - Teleworking in

Luxembourg - CSSF issues Circular 21/769 on governance and

  1. Specialised PFS Portfolio Officer - CSSF Career
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  5. Financial sector: New CSSF Circular on teleworking - L&E
  6. CSSF Communication on prevention of money laundering and
  7. CSSF Circular 19/714 updating CSSF Circular 17/654 on
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