Make the most of EMIR 3.0
EurexOTC Clear

Benefit at the Home of the Euro Yield Curve

Ensure compliance with the EMIR 3.0 Active Account Requirement (AAR), and at the same time achieve a new level of efficiency: Bundling Euro government bond derivatives, Euro short-term interest rate (STIR) derivatives, OTC traded interest rate derivatives (IRD), and credit index futures at Eurex unlocks margin-, capital- and collateral efficiencies. Tap a new efficiency pool by bringing Euro-denominated fixed income derivatives into the “Home of the Euro Yield Curve”.

Your active account that tackles EMIR 3.0

EMIR 3.0 foresees the obligation to maintain an active account for systemically relevant products with an EU CCP, i.e., OTC IRD in euro and zloty, as well as STIR in euro, as of 24 June 2025. The regime was further specified by ESMA for the implementation in practice. Respective regulatory technical standards (RTS) were published on 19 June 2025.

Generally, EU market participants subject to the clearing obligation and exceeding the IRD clearing threshold for the products in scope of the AAR are expected to comply with the below criteria:

a) Ensuring permanent functionality, incl. IT connectivity, internal processes, legal documentation

To ensure compliance with a), the RTS require affected market participants to have the contractual arrangements supporting the provision of the respective clearing services, including in relation to cash and collateral accounts, to have the respective internal policies and procedures pertaining to those contractual arrangements, and to set up the IT connectivity.

b) Ensuring systems and resources are in place to clear large volumes or take on large flows from Tier 2 CCPs even at short notice

c) Ensuring that all new trades can be cleared at all times on the EU account

To ensure compliance with b) and c), the RTS require affected market participants to have internal systems to monitor exposure and internal arrangements to support large flows of positions held at  Tier 2 CCPs under different scenarios, including the assessment of any legal or operational barriers to this effect. In addition, affected market participants shall be able to demonstrate that they have the necessary human resources to support the clearing arrangements at all times, including in situations where the account would have to support a large shift of positions held at a Tier 2 CCP or new trades. Finally, market participants should be able to provide both a written confirmation that their EU CCP and, separately, that they themselves have the operational capacity to handle a significant increase in clearing activity.

There is an exemption from the operational criteria for affected market participants that clear 85% of their relevant business in the EU (including from related reporting and stress testing requirements). Nevertheless, this exemption does not apply to the representativeness criterion and the subsequent requirements outlined below.

d) Affected market participants need to clear, on an annual average, at least 5 trades in each of the 5 most relevant subcategories in each of the contract classes determined by ESMA during a specific reference period as defined by ESMA. For proportionality, small firms with a notional amount outstanding cleared of >6 and <100 bn EUR shall get a longer reference period compared to large firms with a clearing volume of >100bn EUR. 

To comply with d), the RTS define the classes of derivatives in scope of the requirement, the maturity ranges and trade size ranges to determine the subcategories for each of those derivatives classes, the number of the most relevant subcategories in which affected market participants need to clear at least 5 trades each, and how often affected market participants need to be active in this respect depending on their clearing volume.   

With those key parameters, affected market participants are able to determine their individual activity requirement per annum based on their individual portfolio and clearing volume:

Products in scope

Classes of derivatives per product

Maturity ranges

Trade size ranges

Number of most relevant subcategories

Reference period for small firms (<100 bn EUR)

Reference period for  large firms (>100 bn EUR)

EUR OTC IRD

EUR fixed-to-float IRS

0-5; 5-10; 10-15; +15 Y

0-25, 25-50, +50 EUR mn

5

6 months

1 month

EUR OIS

0-1;1-2; 2-5; +5 Y

0-25, 25-100, +100 EUR mn

EUR FRA

0-6; 6-12; 12-18; +18 M

0-75, 75-200, +200 EUR mn

PLN OTC IRD

PLN IRS

Average maturity and trade size of the contracts cleared at Tier 2 CCP needs to be reflected

1

12 months

PLN FRA

EUR STIR

EUR STIR EURIBOR

0-6, 6-12, 12-24, +24 M

Average trade size of the contracts cleared at Tier 2 CCP needs to be reflected

4

6 months

1 month

EUR STIR ESTR

12 months

6 months


There is an exemption from the representativeness criterion for affected market participants with a clearing volume of up to 6 bn EUR notional amount outstanding cleared (including from the related reporting requirements on compliance). Nevertheless, this exemption does not apply to the operational criteria and subsequent requirements, which means that all market participants subject to the active account regime still need to maintain an operational account with an EU CCP even if they are carved out from the representativeness requirement.

Further, there is a relief for affected market participants to clear 1 trade instead of 5 trades per subcategory, in case the required activity would amount to >50% of their total trades in the previous 12 months.

This regime is underpinned by monitoring and enforcement mechanisms such as the requirement for affected market participants to report every 6 months to their competent authority that they comply with the above criteria. 

In addition, compliance with the operational criteria shall be stress-tested on annual basis and new penalty payments were added to the existing supervisory toolbox to sanction non-compliance, if needed.

Last but not least, EMIR 3.0 foresees that the reported information will be shared with ESMA and the new Joint Monitoring Mechanism on EU level to monitor the effectiveness of the regime together with the national competent authorities (NCAs).

What happens next?

With the publication of the final RTS by ESMA, the RTS were submitted to the European Commission and EU legislators for endorsement. Once endorsed and published in the EU’s Official Journal, the RTS will become effective. However, regardless of the application date of the RTS, the industry is expected to ensure compliance with the AAR since its go-live on 24 June 2025.

To ensure compliance accordingly, the available RTS may nevertheless already serve as guidance, and firms are well advised to closely align with their relevant NCA on the implementation of the active account regime until the RTS are in force.

Achieve a new level of efficiency

Activate your account at Eurex, the Home of the Euro Yield Curve, and unlock unique margin-, capital-, and collateral efficiencies by combining government bond futures, OTC IRD, STIR and credit index futures. At Eurex, OTC IRD and STIRs can be cross-margined with all other products within the same liquidation group. Cross-margining is a powerful tool to reduce margin costs. Clearing repo transactions at Eurex also offers significant funding and financing benefits. Eurex’s integrated cleared repo setup enables participants to manage their collateral and liquidity needs more effectively.

Benefit from support programs

Buy one, get two!

Get a rebate on your Q4 2025 transaction fees with our OTC IRD AAR Incentive Scheme.

Make the Switch!

Switch to the Home of the Euro Yield Curve and benefit from a 100% discount on regular booking fees.

Eurex offers mechanisms to help smoothly transition to EMIR 3.0 compliance, such as the CCP Switch Incentive Program that lets clients get a 100% discount on regular booking fees for OTC IRD transactions on individually selected switch days until 31 December 2025. With the OTC IRD AAR Incentive Scheme clients can get a rebate on their Q4 2025 transaction fees: Program participants will have all OTC IRD transaction fees from 3 June to 30 September 2025 credited back, with the credit automatically offsetting their Q4 2025 OTC IRD fees. Eligible are client clearing accounts that have not cleared more than five OTC IRD transactions between 1 May 2024 and 29 May 2025 as well as accounts onboarded after 29 May 2025.

Take advantage of these opportunities to optimize your portfolios while staying ahead of regulatory demands. Review your current setup and the steps needed to unlock these benefits:

Onboarding and readiness: key considerations

Capacity considerations:

Legal resource
The client and the clearing broker will both need to assign legal resources to negotiate and review the clearing agreement.

Capacity considerations:

Account setup

Accounts will be required with the clearing broker and on behalf of the client at Eurex Clearing. If the client demands CCP reporting, additional lead time will be needed.

The middleware static data setup and technology layer implementation will also be needed.

Activation: key considerations

Capacity considerations:

Setting up and testing the trade execution and clearing workflow (which may require the brokers’ and the clearing brokers' support) will be required. In addition, considerations need to include a full front-to-back review of the cleared workflow.

Trading workflow setup

  • Client
  • Bloomberg/Tradeweb
  • Dealer/Clearing Broker (CB)

Client cleared workflow setup

  • Books and records
  • Reconciliation
  • CCP reporting (optional)

Capacity considerations:

Considerations should include optimizing collateral and margin requirements to maintain an active account with an EU CCP.

Client workflow setup - multi-CCP/multi-clearing broker

  • Build to multiples of the previous steps
  • CCP/IM optimization
  • CCP switching
  • Backloading
  • Collateral optimization
  • Netting/Compression


Growing together

Eurex has set up partnership programs designed to further accelerate the development of liquid, EU-based alternatives for clearing OTC IRD and STIR derivatives. Both market-led initiatives, the OTC IRD and the STIR partnership program, benefit clients and the broader marketplace through greater choice and competition, improved price transparency and reduced concentration risk. 


STIR partnership program

Creating an alternative liquidity pool for € short-term interest rate derivatives

OTC IRD partnership program

A performance-based program builds a balanced ecosystem

Three-Month Euro STR Futures

Product overview and statistics

EurexOTC Clear

Service offer and statistics

Contact

FIC Derivatives & Repo Sales

FixedIncome.Sales@eurex.com