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Counsel Jacek Wiśniewski in the Experts’ Board of Loan Magazine Awards 2023

5 January 2023/0 Comments/in #PolishLegalTips, Blog & News, Finance, FinTech & Banks, Non-bank Lenders, Payment Services, Startups /by Jacek WIŚNIEWSKI

Attorney-at-law Jacek Wiśniewski has been appointed to the Experts’ Board of Loan Magazine Awards 2023.

Loan Magazine Awards are granted yearly to the best firms and managers from the non-bank lending and fintech space in Poland.

“We support non-bank lenders and fintech firms in their operations in Poland. Loan Magazine Awards is a great initiative to select and prize the best. Our firm is also supporting organizers to ensure a transparent ballot.” said Jacek Wiśniewski, the Managing Partner of #WIŚNIEWSKI.legal law firm.

Loan Magazine Awards 2023 Gala will take place on 9 February 2023 in Wrocław, Poland.

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Incoming changes for the non-bank consumer lenders in Poland

23 November 2022/0 Comments/in #PolishLegalTips, Blog & News, Finance, FinTech & Banks, Non-bank Lenders /by Jacek WIŚNIEWSKI

Based on the recent changes to the Consumer Credit Act, the non-bank lenders (NBLs) in Poland will not be able to finance their lending activity by issuing bonds (obligacje).

The Polish Financial Supervision Authority KNF will also start supervising NBLs.

#consumer #credit #nonbanklenders #loaninstitutions #fintech #lendtech #finacing #bonds #Poland #WisniewskiLegal #KNF #PFSA #supervision

You can subscribe to the #PolishLegalTips weekly newsletter here: https://www.linkedin.com/newsletters/polishlegaltips-6884566282247659520/

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Crowdfunding activities in Poland require a license and are supervised by the Polish Financial Supervision Authority (KNF) #PolishLegalTips

10 November 2022/0 Comments/in #PolishLegalTips, Blog & News, Finance, FinTech & Banks /by Jacek WIŚNIEWSKI

Crowdfunding is regulated in Poland based on the Regulation on European crowdfunding service providers for business of 2020 (ECSP), and the local Act on crowdfunding for economic ventures and assistance to borrowers of 2022.

New crowdfunding providers require a license, and the market is supervised by the Polish Financial Supervision Authority (KNF).

#PolishLegalTips #Crowdfunding #Fintech #License #EquityCrowdfunding #PFSA #KNF #Supervision #Law #Poland #WisniewskiLegal

You can subscribe to the #PolishLegalTips weekly newsletter here: https://www.linkedin.com/newsletters/polishlegaltips-6884566282247659520/

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Polish Financial Supervision Authority KNF’s List of Public Warnings #PolishLegalTips

11 February 2022/0 Comments/in #PolishLegalTips, Blog & News, Finance, FinTech & Banks, Non-bank Lenders, Payment Services /by Jacek WIŚNIEWSKI
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Registration of non-bank lenders in Poland #PolishLegalTips

27 January 2022/0 Comments/in #PolishLegalTips, Blog & News, Finance, FinTech & Banks, Non-bank Lenders /by Jacek WIŚNIEWSKI
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Receivables Assignment Legal Form #PolishLegalTips

4 January 2022/0 Comments/in #PolishLegalTips, Blog & News, Finance, FinTech & Banks, Non-bank Lenders /by Jacek WIŚNIEWSKI
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How “Fintechization” of Financial Services Affects Data Security

23 October 2019/0 Comments/in Blog & News, FinTech & Banks, Payment Services /by Jacek WIŚNIEWSKI

I will have a pleasure to moderate a panel on “How “Fintechization” of Financial Services Affects Data Security” during 10th ZPF Antifraud Congress in Warsaw, Poland

Date: 24 October 2019,

Agenda:   X ZPF Antifraud Congress Agenda

During a panel debate, which I have originated, and will have a pleasure to moderate, we shall discuss with my fellow panelists the following issues:

  1. Mass collection of data vs. its security
  2. Who is responsible for data security?
  3. Secure Banking, Secure FinTech, Secure Ecosystem – what does it really mean?
  4. PSD2 – better security in the financial sector, or another risk area?
  5. If and how persuade the clients that their data passed to FinTechs are secure?
  6. Cybersecurity solutions for the financial sector in the FinTech era
  7. Are new technology phenomena (e.g. deepfake) posing a threat to the financial sector, and how to prevent it?

On behalf of organizers, panelists and my own I hope to meet you at the event and discuss further the above issues.

Please do not hesitate to reach out to me during the congress.

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Fintegration – collaboration of the FinTech with the traditional financial sector and regulators

30 April 2017/0 Comments/in Blog & News, Non-bank Lenders, Payment Services /by Jacek WIŚNIEWSKI

Fotolia / ne2pi

 

Recently I had a pleasure to become a programme committee member of the FinTech Sector Congress which took place in Warsaw, Poland on 28 March 2017, and I also have moderated one of the panels during the congress, the one about a “Fintegration”.

Below I present my summary of the panel discussion – to find out more about the congress and the panelists please go here.

The panel’s theme was “fintegration”, understood as, on the one hand, cooperation of new players on the financial market (namely the FinTech sector) with the traditional players on this market (primarily the banks) and, on the other hand, an analysis of the approach of the Polish regulatory/supervisory authorities to financial innovation and the ability of these authorities to support innovation. The panel discussion revolved around the main arguments mentioned below.

“Zero to One”– what is financial innovation and does it require “fintegration”

The panellists discussed and mentioned numerous possible practical meanings of the term “financial innovation”, including:

  • the acceleration of financial trading,
  • greater bank penetration among consumers,
  • a reduction in transactional costs,
  • in view of the specialization of the new players in certain areas, more efficient
  • operation of the organization and optimization of the costs of introducing innovation,
  • the introduction of new models of collaboration between players on the financial
  • market (e.g. eliminating some intermediaries and distributing the benefits among the
  • parties to the transaction, such as, for instance in crowdfunding),
  • the simplification of the methods of operation of financial institutions and
  • improvement (by simplification) in the quality of customer service,
  • the improvement of customer service by focusing on the so-called design thinking
  • and client journey.

The participants of the debate unanimously acknowledged that support and a favourable approach of the legislators and supervisors would be necessary for real innovations to have a chance of success on such a regulated market as the financial market.

FinTech 2.0 and PSD2 – cooperation of FinTech innovators and bank digital rebels

The participants of the discussion agreed that the model of the so-called universal banking needs to be adjusted to the new realities, including the phenomenon of new players in the FinTech sector entering the market, as well as new consumer financial services (in particular, the so-called millennials). The panellists pointed out that there was exuberant growth of non-bank entities, which often constitute competition for banks, in many segments of traditionally bank services (such as international money transfers and consumer credit), which bankers have to face. In this context, a representative of the banking sector pointed out that the response of the bankers could be to simplify the services provided and to operate faster – so that the banks work operationally as quickly and efficiently as the FinTechs. At the same time, all the participants of the discussion agreed that the future of the financial industry, in general, is a collaboration between the new and traditional players.

They acknowledged that the method of implementing the second payment services directive (so-called PSD2) in Poland will be particularly important for the specification of the principles of future collaboration between the banks and the FinTech sector – which should take place in January 2018 – especially regarding access of companies from the FinTech sector to (transactional) bank data of customers through IT protocols (the so-called open API). The representatives of the latter considered the ability to relatively easily, but securely, share bank (transactional) data of bank customers with the FinTech sector to be the foundation of an increase in competitiveness in the banking and financial sector, which is, after all, the declared objective of the PSD2 directive.

Outlook for the Polish regulators – support, or do not disturb?

The statements from the representative of the Ministry of Finance indicating the desirable aspects of financial innovation, especially related to the so-called financial inclusion, namely attracting customers to the financial sector who have not previously used banking services or have used banking services to a small extent, came as a very positive note during the panel discussion. The solutions offered by entities from the FinTech sector can also attract young people to the financial market because of the ease of support and the use of modern sales channels (e.g. mobile channel – smartphones).

The representative of the Ministry of Finance, as a regulatory authority, also declared a positive attitude to the FinTech sector, simultaneously emphasizing that the key to the success of the FinTech sector is that the proposed solutions should be secure forcustomers. He also pointed out that the positive attitude of the regulatory and supervisory authorities is not purely at a declaration stage, but specific initiatives are being taken to develop the FinTech sector, the best example of which is the appointment of an inter-ministerial working party on financial innovations (FinTech), the objective of which is to jointly (together with the representatives of the FinTech sector and organizations of entrepreneurs from the financial market) diagnose the regulatory and supervisory barriers to the development of financial innovation in Poland and to propose solutions which can eliminate these barriers.

British and Polish experience – a “regulatory sandbox” and examples of cooperation on the market

Given that one of the companies, whose representative took part in the panel discussion (Billon sp. z o.o.) has unique experience in Poland, namely participation in the so-called “regulatory sandbox” organized in the UK under the auspices of the Financial Conduct Authority (FCA) – the British supervisor of the financial market – the discussion also included this topic. Broadly speaking, the regulatory sandbox is a special package of regulations, intended in this case for the FinTech sector, which has the purpose of facilitating the development of the sector, or safely testing new solutions, by temporarily releasing entities admitted to such a “sandbox” from some of the regulatory requirements (e.g., related to the requirement to have a licence, or the amount of share capital).

The representative of Billon sp. z o.o. considered the shortening of the time required to obtain a licence (if it is required and the given entity is applying for it) from 6 months to 6 weeks to be an important positive element of the British “regulatory sandbox”. In addition, an effective solution used in the “sandbox” was the introduction of the institution of a “custodian” from the FCA for every participant, who is constantly in touch with the given company and takes it through the potential regulatory complexities.

The regulatory environment of crowdfunding platforms – is it a solution to the sector’s problems?

A part of the panel discussion applied to the regulatory situation of the crowdfunding sector in Poland, whereby the starting point of the debate was the observation that, despite rapid development world-wide, this sector is growing relatively slowly in Poland. The representative of the industry outlined the fundamental barriers to the development of the industry, indicating that one of the main barriers may prove to be the lack of a uniform position of the regulatory and supervisory authorities regarding even the same facts. An example of a crowdfunding platform was mentioned, which received conflicting positions from the Ministry of Finance and the Polish Financial Supervision Authority twice in the same case. As for other substantive barriers to the development of the sector, the unclear treatment of loan crowdfunding, including the need to register the funding parties as entrepreneurs, the tax aspects of such transactions and possible licensing requirements with regard to Act on Payment Services.

Summary: Fintegration: opportunities and threats

In response to the question posed to the panellists – does “fintegration” carry opportunities of perhaps threats? – the distribution of responses was six : zero and, including the vote of the moderator, even seven : zero in favour of opportunities. This means that the representatives of the traditional financial sector and the regulators in Poland view this new FinTech phenomenon positively, while the representatives of the FinTech sector are looking hopefully at the opportunity to work with the traditional players and are waiting for institutional support for financial innovations. However, the key to good cooperation and the development of innovation will be an appropriate regulatory environment (in particular the implementation of the PSD2 directive) and the removal of the regulatory barriers mentioned by the FinTech sector. Additionally, given the declared positive approach of the Polish regulatory and supervisory authorities to financial innovation, perhaps it will be possible to fulfil the vision of Poland as a regional leader of such innovations in the FinTech sector.

Let’s hope this happens.

Author: Jacek Wiśniewski is a Polish attorney-at-law, founder of #WIŚNIEWSKI.legal law firm, focusing his practice on innovation in finance (FinTech), corporate M&A and PE/VC transactions, payment services and consumer finance. Jacek is originator and chair of #TechVoice monthly events for FinTech founders, banks, investors and FinTech consultants, held in Warsaw.

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Timeline for PSD2 Transposition in Poland – FinTech and Banks Save the Date!

17 January 2017/0 Comments/in Blog & News, Payment Services /by Jacek WIŚNIEWSKI
During the first meeting at the Polish Ministry of Finance, relating to the launch of public consultations process – which I attended on 16 January 2017 – a draft timeline for Payment Services Directive 2 (PSD2) transposition (implementation) into Polish law has been unveiled.PSD2 Directive is key for the development of European FinTech scene and open banking concept.One year before the deadline for transposing PSD2 into local law (i.e. by 13 January 2018) the Polish Ministry of Finance (which shall be the authority responsible for preparing a relevant draft amendment to the current Polish Payment Services Act) estimates that the transposition works will be finalised on time.This already ambitious, yet still possible, timeline looks as follows:

  • Mid-February 2017 – Internal Ministry of Finance’s works and public consultations of the working draft of legislation under the umbrella of Financial Market Development Council (RRRF) (including with market players and public authorities).
  • March – April 2017 – External consultations.
  • June – August 2017 – Works within the govenment.
  • September 2017 – Forwarding the final draft to the Parliament.
  • Mid-November 2017 – Parliamentary works and passing the amendment to the Payment Services Act.
  • December 2017 – Signing of the new law by the president and publication,
  • 13 January 2018 – Entry into force of the Polish transposition of PSD2.

Apart from the above timeline, during the meeting the so-called national options under PSD2, possibilities for “regulatory sandbox” under PSD2 and transitional provisions were also discussed.

 

This article was also published on my LinkedIn profile and can be found here.

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FinTech and Banks – The Beginning of a Beautiful Friendship

25 December 2016/0 Comments/in Blog & News, Non-bank Lenders, Payment Services /by Jacek WIŚNIEWSKI
If you are in the finance world you will have heard the word “FinTech” (unless you are having a gap year or are living under a rock), one of the most popular finance buzzwords in use today. Some argue that FinTech may be a bubble – and one that is set to burst shortly – but as a bank or other financial services provider you cannot really end the FinTech discussion with such a superficial assessment.

There is no binding definition of “FinTech”, so let me stick with the definition I have used at several finance conferences this year: FinTech is an industry made up of companies (entities) that use innovative financial technology to provide or support financial services. People also use the term to describe those companies that create the technology to provide or support financial services, so it is very likely that you have already met firms claiming that they are FinTechs themselves.

The big question now is what kind of relationships between banks and FinTech newcomers shall be developed in the coming years?

Being the organizer and chair of #FinTechFriday @ Squire Patton Boggs Warsaw monthly meet-ups, I thought this might be good to ask this question to my colleagues at Alior Bank, one of the most innovative Polish banks, which has even created an in-house innovation lab (Alior Bank Innovation Lab or “AIL”) to make the most of the rise of FinTech (which, as I understand, is usually a goal of such labs). During our latest #FinTechFriday event on 18 November 2016, Mr. Igor Zacharjasz, Startups and Ecosystem Leader at AIL, was our guest speaker and provided his insight on the meeting’s theme: Bank Innovation Labs: FinTech’s Friends or Enemies?

During the meeting, Igor has shared with us some details of AIL (for example, a basic Bank-FinTech joint project assessment period is 100 days within AIL) and confirmed that in his (and his firm’s) view, banks and FinTechs, in most cases, are destined to co-operate, with such co-operation already taking place in many instances. As an example of a Bank-FinTech co-operation success story in Poland, he pointed out Alior Bank’s co-operation with VoicePIN, a Polish FinTech company providing advanced voice biometrics solutions to clients around the world. Alior Bank in co-operation with VoicePIN has launched a smart-collection project using the so-called virtual agent Dronn – an application for which the bank won one of BAI Global Banking Innovation Awards earlier this year.

I also took the opportunity to ask Igor which FinTech types he considered as the most interesting from the perspective of possible co-operation with banks. According to Igor, such cooperation in the coming months is most likely in the areas related to business models based on PSD2 (Payment Services Directive 2), blockchain, artificial intelligence and, last but not least, biometrics.

By the way, Igor’s predictions as to friendly scenario of future relationships between banks and FinTechs has also been confirmed by most of speakers during FinTech CEE Digital Congress which took place in Warsaw on 22-23 November 2016.

The bottom line is that, in my view, we are now in the so-called FinTech 2.0 phase. This means that banks and FinTechs should work together to find opportunity areas within the banking sector and work together to implement such improvements.

To borrow a quote from Casablanca: “Louis, I think this is the beginning of a beautiful friendship.”

 

This article was originally published on the O-I-CEE! Central and Eastern Europe Legal News and Views Blog.

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