Need an LEI in a hurry?
Compliance can be tricky in todays financial ecosystem. There is a lot of boxes to be ticked, lines to be crossed and things can often get left to the last minute. At LEI Worldwide, we understand that. We understand the pressure companies are placed under to acquire LEI numbers in a hurry. That is why we are here. We have helped hundreds of individual firms, security traders, asset managers, law firms and investment brokers obtain LEIs on behalf of their clients, pretty much instantly.
Our experience and knowledge of the LEI system allows us to take shortcuts that are not available to individuals acting on behalf of their firms. We have teamed up with Rapid LEI, to streamline imports and new LEI applications on behalf of our clients. This means, no more waiting hours or days for your LEIs to be published.
However, as quick as we would like to be, data quality is paramount to the success of the LEI. All data must be verified before being published to the global LEI index. This can sometimes cause delays.
So, if your team require LEIs urgently due to looming deadlines, below is a list of the 5 main things to look out for so you can avoid and prepare for delays.
1. Be available!
Mistakes happen.. If you have input incorrect data in your application we may contact you to correct it. We may not be able to issue the LEI without hearing from you - so leave your best email address in the contact box!
2. Business Hours
Applying on weekends or outside business hours - expect delays. Despite the modern advancements in automation systems, LEI applications still need to have the data checked by an actual real life human before being published.
This means manually confirming the data is accurate by cross checking with existing public records. We work on weekends, but not everybody does, so you may encounter set backs on Saturdays or Sundays. Try applying early on a Monday morning for instant replys (the team will thank me for that).
3. Data Verification
Have a legal document ready in case requested, such as a Certificate of Incorporation / proof of address (in the rare case that the entity cannot be found on a public registry).
LEIs should be applied for on behalf of a director / CEO, so please be aware that you may be asked to provide authorisation by way of a 'Letter of Authorisation'. Just contact email@example.com for the template to save time and have it ready in advance.
5. Fast track
Use the Fast Track service. As we operate on a queue basis, 'Fast Track' ensures your application will be prioritised by our team. Just check the appropriate box on the transaction page.
Other than that LEIs are generally generated instantly.
Please get in touch if you have anything to add, or questions or comments. Feel free to share these tips with your team if you think they might find it helpful when applying for an LEI Code. Contact sales for advice, including multi-year applications, or if you are ordering in bulk to claim a discount firstname.lastname@example.org.
LEI Worldwide Support Team
That is the number of LEI’s that are now in existence. We are now well on our way to seeing the LEI become the most recognized and primary identifier for all legal entities, above all other security checks.
Previously the ISIN & CUSIP were the main ISO identifiers, and recently the Association of National Numbering Agencies (ANNA) have agreed to match ISIN’s to LEI’s which is a huge step forward towards mapping out the global financial system in real time and wider acceptance of the LEI, it’s more than just one foot in the door.
According to ANNA, the regulatory body for ISINs, “The new, global initiative will map new and legacy ISINs to their corresponding LEIs. By linking the two ISO standards together, firms will be able to aggregate the data required to gain a clear view of their securities exposure within a given issuer and its related entities. Once implemented, the ISIN-to-LEI mapping table will be made freely available to all without restriction”.
The LEI is so important because the financial crisis exposed a number of critical faults in the global financial and banking systems. One of the faults exposed was the issue of identifying the huge number of funds, bonds, subsidiaries etc, and nobody could tell who owned who, and what resulted was a cataclysmic mess. This is why we have such faith in the LEI becoming the single identifier of all legal entities. One centralized source of information, that contains vast amounts of easily accessible, and high quality data which can prevent this from ever happening again.
Although the LEI has had a good start, I would be lying if I said that were no more challenges to overcome and milestones to reach before this digital transformation and its potential uses are fully realized. Primarily I am speaking of the slow rates of LEI renewals. Currently, 25% of all LEI’s are marked as ‘Lapsed’. Renewals are so important to the function of the LEI because it is imperative that the data remain up-to date and current. This needs to improve.
Secondly - trust. Still largely in its infancy, the LEI has potential to become recognized as the primary global identifier for all organisations, however time will be a key factor in fostering an attitude of trust towards the LEI. Trust, that it is an accurate, airtight system and does in fact contain important, meaningful and consistently accurate data. Data that is easily accessible, current, in real-time and is an important building block of the future of FinTech.
LEI adoption rates are still relatively low to what it can be. For example, China, the worlds second largest economy currently only has 2,300 LEI’s issued. Similarly, Brazil, Russia and India are huge economies that are yet to drive forward their LEI adoption rates. This indicates that there is still a long way to go to get to universal adherence to the system outside the European Union, even in the larger emerging economies worldwide. *rolls sleeves up*
The top 5 countries by number of registered LEI’s account for a disproportionate 46.7% of the worlds LEI’s.
*LEI Ownership Statistics
It is becoming more frequent for the LEI to be mandated by regulatory bodies especially in the US, which is also serving to drive up the LEI adoption rate. For example, 3 weeks ago, the US Treasury adopted new rules with regard to the Repurchasing market that require Central Counter Parties to report LEI codes. This further solidifies its adoption as a critical component of market infrastructure.
Currently, there are on average 4,000 LEI’s being issued per week. This has fluctuated since the beginning of 2019, with the peaks and troughs in the diagram below largely caused by legislation effecting LEI issuance.
*Weekly LEI registration rates
However, companies, that are not legally requiring the LEI are also transitioning due to it’s multiple advantages including enabling financial institutions to readily meet the requisite standards of KYC (Know Your Customer) and AML (Anti-Money Laundering) compliance requirements. The LEI can also be used to clarify ownership structures and identities in large organisations and corporations. The analytical advantage gained by way of the LEI is truly signifigant.
It is the mission of LEI Worldwide to facilitate this global mass adoption to the Legal Entity Identifier, by making them as accessible as possible to entities all over the world.
To do a quick review of the year passed, the total number of LEI’s jumped 36% in 2018, and now stands at an impressive 1,361,624 in February 2019.
After ESMA granted a six-month extension to Europe’s trading firms prior to the introduction of MiFID II’s “No LEI, No Trade” regime last January, the 1 million LEI milestone was reached and another deadline scramble took place 6 months later further increasing the demand for LEI’s.
Throughout the year, there have been regular uplifts to the LEI adoption rate. Don’t hold your breath as I run through the main headlines… We welcomed some new LOU’s (Local Operating Units) on the scene including RapidLEI, GS1, and APJES of Slovenia. In June, international interest was stimulated as the Bank of England Chairman, Mark Carney described the LEI as “the best corporate identifier”, it was announced that LEIs will be mandatory when reporting OTC derivative transactions in Australia from April 2019 onwards, and in December a bill was passed in Wyoming, USA that new blockchain based banks will be using the LEI as the main identifier... Hurray!
The LEI adoption rate is good, however, the LEI market is dominated by a smaller number of large LEI issuing companies (LOU's). The top five organisations that issue LEIs have been fairly consistent in their performance for a long time now, but one new LOU in particular is making great headway in catching up, RapidLEI of Finland. The GMEI Utility remains far ahead of everybody with over 420,000 LEI’s issued, followed by The London Stock Exchange with around one third of that!
Over the past few weeks of 2019 there has been an average of 3,000 LEI’s issued per week with the lions share going to the GMEI Utility. The main concern at the moment is the rate at which entities are becoming lapsed. We are now looking at nearly 340,000 lapsed LEI’s. That’s near 25% of total LEI’s. LEI Worldwide are currently taking initiative to help resolve this and renew as many lapsed LEI’s as possible. If you have an LEI and you are not sure if it should or when it should be renewed, please contact us at email@example.com or complete a “Quick Renewal” here.
LEI Worldwide expect the LEI market share to level out over the coming months and years. As the market evolves and matures data quality and verification accuracy will become more important than sheer speed and volume, and some issuers will adapt better than others.
Positivity surrounding the potential use cases of the LEI is being explored such as determining how LEI's can be the primary accepted identity in all digital certifications and in Public Key Infrastructure (PKI). We can see already that steps have been taken to make it the primary identifier. Previously the ISIN & CUSIP were in the main ISO identifiers, and now Association of National Numbering Agencies (ANNA) have agreed to match ISIN’s to LEI’s which is a huge step forward towards mapping out the global financial system in real time.
This would provide market participants with a clear picture of their counterparty risk and simultaneously provide regulators with a quality of ownership data that has not been available before, and will conceivably prevent another relapse of the confusion and uncertainty we saw in 2008 with the collapse of the global markets which spurred this initiative in the first place.
Since the dawning of the Blockchain era in recent years, many use cases for the disruptive technology have been considered, some revolutionary and some not so much. It is clear however, that some industries can hugely benefit from the technology, which has it roots in cryptocurrencies such as Bitcoin. For example the introduction of smart contracts, distributed storage and data protection are proving to be invaluable use cases to companies in the global financial industry and beyond.
According to Investopedia, a blockchain is a digitized, decentralized ledger. Immutable by nature, and incorruptable, it was valued as an means of accounting for previously easily hacked digital assets.
Recently, a published an article stated "Integrating the LEI into other entity verification methods, including solutions based on digital certificates and blockchain technology, will allow anyone to easily connect all records associated with an organization, and identify who owns whom. By becoming the common link, the LEI will provide certainty of identity in any online interaction, making it easier for everyone to participate in the global digital marketplace." Anyone who is familiar with the technology will know that this is not merely a buzzword, but in fact a potentially applicable use case for the LEI in coming years, and it is one that has echoed around the community for a while now with a vision to making the LEI more efficient.
That being said, potential cases for the Blockchain to be incorporated in the LEI system globally are merely speculative at this stage, but nevertheless an interesting topic worth exploring. For example, there are several sources currently within which LEI data is stored. When an entity is registered with an LOU, there is often a short waiting period before it appears on various search tools online. Given that the very nature of the LEI is that it is a digital product, all of the data is stored online between separate entities, and the information may not match at times, and may be inconsistent across search tools. It may be the case that all data can now become decentralised by way of a Blockchain, and any changes made on one system will auto correct on the others in real time.
By uploading new registrations to a Blockchain, Local Operating Units can rest in the knowledge that reconcilement would be agreed between all participants. Any further updates to LE-RD (Legal Entity Reference Data) would have to be fully corroborated by all participants before validation was permitted. This would result in increased efficiency, congruency and speed, from which the consumer of the LEI would benefit, such as Banks, Investors and the regulators themselves.
This use case is merely an initial introduction into one of the more obvious applications, however this may never occur, or if it does it may take an entirely different approach.
If you are familiar with this topic, and would like to share your ideas, please feel free to like, share, leave a comment or get in touch with a member of our team at firstname.lastname@example.org.
With the passing of the original deadline in January, The European Securities & Markets Authority (ESMA) have granted a 6 month grace period to allow market participants another opportunity to become compliant with one of the most important aspects of the Mifid II regulation, to obtain a Legal Entity Identifier number.
The deadline extension allows banks to conduct reportable transactions without an LEI, however other legal forms have also been using this as a means of performing transactions. This of course, is a temporary fix. One thing we learned here at LEI Worldwide last January was the number of legal entities applying for an LEI number rose dramatically. In the ten days in the lead up to January 2018, Global LEI saw a 62% increase in orders, compared to the final ten days of November 2017.
Contracting authorities such as The London Stock Exchange, and Bloomberg notified entities applying that they were not guaranteed to make the deadline if they did not complete the application process from the 13th December 2017. Nevertheless, the number of applications continued to pile up. Contracting authorities such as GMEI Utility and EQS made a ‘SAME DAY’ registration option possible, which guaranteed you application would be complete within 24 hours.
With well over 1 million LEI Numbers now issued, and with Summer just around the corner, it is advised that if you require an LEI Number you register as soon as possible. It is not likely that the deadline will be extended again, and ESMA may not show the same grace to non-compliant entities, who will face a “no LEI, no trade” ruling. If you require an LEI number in a hurry, contact one of our experts for advice on a SAME DAY LEI, to receive you LEI number within 24 hours.
Alternatively, register your legal entity today and become MifiD II compliant by filling out our LEI registration form here. One of the benefits of registering with LEI Worldwide is that you can register an entity from any country in the world and your LEI number will be globally recognised, fully active and MifiD II compliant within 24 hours.
To find out more information, or if you require an LEI Number, please contact our registration team at email@example.com.