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Compliance Quarterly Türkiye
In this issue of our Compliance Quarterly Türkiye, we continue to inform our clients about the global and local compliance rules and regulations which impact Turkish businesses.
Global | Publication | September 16, 2025
September 8th marked the entry into force of several provisions of the Retail Payment Activities Act1 (RPAA) and the mandate given to the Bank of Canada to supervise payment services providers (PSPs).
Essentially, a PSP is a person who performs any of the following activities related to an electronic funds transfer that is not incidental to another service or business activity:
As of September 8th, PSPs must comply with RPAA obligations regarding operational risk management and safeguarding end-user funds, as well as reporting and recordkeeping requirements. A registry of PSP licence applicants is available here, and a registry of registered PSPs will eventually be available.
More specifically, PSP applicants are now required to:
PSPs will also be required to submit an annual report to the Bank of Canada detailing regulatory information related to their risk management and incident response frameworks, insurance or guarantees, end-user fund holdings, and other relevant information. The first annual report must be submitted no later than March 31, 2026, in accordance with the Retail Payment Activities Regulations.2
Furthermore, the Bank of Canada possesses several enforcement tools to ensure PSP compliance with the RPAA. Depending on the circumstances, it may impose a wide range of measures, from warning letters to administrative penalties of up to $10 million, as well as the revocation of a PSP’s registration.
Additionally, following registration, PSPs should be aware that the RPAA requires a PSP to submit a new application for registration and become re-registered under that new application before making certain changes to its organization structure, including a change of control.
The entry into force of this new legislative framework could have significant impacts on PSPs’ business in Canada. For any questions or to discuss the impacts of this new regulatory framework, please contact our team.
The authors would like to thank Gabrielle Simoneau and Charles-Alexandre Groleau, students, for their contribution to preparing this legal update.
Retail Payment Activities Act, S.C. 2021, c. 23, s. 177, https://laws-lois.justice.gc.ca/eng/acts/R-7.36/FullText.html
Retail Payment Activities Regulations, (SOR/2023-229), https://lois-laws.justice.gc.ca/eng/regulations/SOR-2023-229/FullText.html
Publication
In this issue of our Compliance Quarterly Türkiye, we continue to inform our clients about the global and local compliance rules and regulations which impact Turkish businesses.
Publication
On 13 November 2025, the European Parliament adopted (subject to certain amendments) the substantive Omnibus Directive which was proposed by the European Commission on 26 February 2025 (see our previous briefing here). The Omnibus proposal has now been referred to the Committee of Legal Affairs to proceed to the trilogue negotiations.
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