Changeflow GovPing Banking & Finance CITA Designated as Significant Benchmark
Priority review Notice Amended Final

CITA Designated as Significant Benchmark

Favicon for www.dfsa.dk Denmark DFSA News
Published January 13th, 2026
Detected March 24th, 2026
Email

Summary

The Danish Financial Supervisory Authority (DFSA) has designated the CITA benchmark as significant under Article 24(7) of the EU Benchmarks Regulation. This designation means CITA remains subject to the regulation and supervision by the DFSA, impacting its administration and use in financial markets.

What changed

The Danish Financial Supervisory Authority (DFSA) has officially designated the Copenhagen Interbank Tomorrow/Next Average (CITA) benchmark as a "significant benchmark" under Article 24(7) of the EU Benchmarks Regulation (BMR). This designation, effective January 13, 2026, confirms that CITA will continue to be subject to the full scope of the BMR and ongoing supervision by the DFSA. The decision follows a request from the administrator, Danish Financial Benchmark Facility (DFBF), which argued that CITA's usage value, while below the €50 billion threshold for automatic significance, is close to it and critical for the Danish mortgage market.

This designation has practical implications for entities using CITA in financial contracts, particularly mortgage loans and bonds. As a significant benchmark, CITA's administrator, DFBF, must adhere to BMR requirements, including potential supervision and reporting obligations. While DFBF already holds an authorization, this specific designation solidifies CITA's regulatory status. The DFSA will update the European Securities and Markets Authority (ESMA) register to reflect this change. DFBF may request the lifting of this designation after four years, provided CITA no longer meets the criteria for significance.

What to do next

  1. Verify CITA usage in financial contracts and assess impact of its significant benchmark status.
  2. Ensure compliance with any updated BMR requirements related to significant benchmarks.
  3. Monitor DFSA communications regarding other Danish benchmarks.

Source document (simplified)

CITA designated as significant benchmark under Article 24(7) of the Benchmarks Regulation

Published 14-01-2026 The benchmark CITA has been designated as a significant benchmark by the Danish Financial Supervisory Authority (Finanstilsynet) under Article 24(7) of the Benchmarks Regulation. This means that CITA remains subject to the Benchmarks Regulation and supervision by the Danish Financial Supervisory Authority.

On 1 January 2026, a number of amendments to the Benchmarks Regulation (Regulation (EU) 2016/1011 of the European Parliament and of the Council of 8 June 2016, BMR) entered into force. Until now, most benchmarks have been covered by the general scope of the BMR. Following the revision, only critical benchmarks, significant benchmarks, EU Climate Transition Benchmarks and EU Paris-aligned Benchmarks, as well as certain types of commodity benchmarks, are covered by the general scope of the BMR.

The Danish Financial Supervisory Authority (Danish FSA) has received a written request from the benchmark administrator Danish Financial Benchmark Facility (DFBF) for the benchmark Copenhagen Interbank Tomorrow/Next Average (CITA) to be designated as significant pursuant to article 24(7) of the BMR (“opt-in”). DFBF inter alia argues that the relevant usage value of CITA is estimated to be below, but close to, 50 bn euro and sets out further reasons for CITA’s significance, including the widespread use of CITA in the Danish mortgage market, which is significant for the Danish economy, including for households.

The Danish FSA shares the assessment that the discontinuance, unavailability or unreliability of CITA would have a significant adverse impact and that CITA fulfills the requirements to be designated as a significant benchmark. The significance of CITA is furthermore supported by the fact that CITA is a recommended fallback rate for mortgage loans and bonds based on the Copenhagen Interbank Offered Rate (CIBOR) and that it constitutes a forward-looking benchmark for the Denmark Short-Term Rate (DESTR), which is the preferred overnight reference rate in Danish kroner. The Danish FSA also agrees that CITA fulfils the quantitative requirement for opt-in by having a reference usage value in excess of EUR 20 bn.

On that background, the Danish FSA has designated CITA as a significant benchmark under Article 24(7) of the BMR. This means that CITA is now a significant benchmark and therefore remains subject to the BMR and supervision by the Danish FSA. DFBF already holds an authorisation from the Danish FSA to provide benchmarks under the BMR and is therefore not required to apply for a new authorisation.

If DFBF wishes so, DFBF may request to have the designation lifted no earlier than four years from the date of this designation. Upon such request, the Danish FSA can revoke the designation unless CITA fulfills either the EUR 50 bn threshold for significant benchmarks in Article 24(1)(a) of the BMR or the qualitative criteria for significant benchmarks in Article 24(3) of the BMR.

The Danish FSA will update the ESMA register under Article 36 of the BMR to include CITA as a significant benchmark pursuant to Article 24(7) of the BMR.

| Benchmark Full name | Administrator
Full name
| Administrator

Country | Relevant
authority
| Date of decision to designate as significant under Article 24(7) BMR | Applied EU/EEA Status under the BMR |
| Copenhagen Interbank Tomorrow/Next Average (CITA) | Danish Financial Benchmark Facility (DFBF) | Denmark | Danish Financial Supervisory Authority (Finanstilsynet) | 13 January 2026 | DFBF already holds an authorisation under Article 34(1)(a) of the BMR |
The Danish FSA will publish information on other significant Danish benchmarks as relevant. Under the revised BMR, benchmarks can become significant in multiple ways. A transitional period means that existing BMR administrators with a license as of 31 December 2025 may retain their license status until 30 September 2026, providing time to clarify whether their benchmarks are covered by the revised BMR.

The decision on CITA under Article 24(7) can be found here

For more information on the transition to the revised Benchmarks Regulation, please refer to ESMA’s website

ESMA’s register of benchmark administrators and benchmarks under the Benchmarks Regulation can also be found there. The register will be updated continuously.

Contact

Anders Balling Assistant Director General E-mail: akb@ftnet.dk Phone: +45 33 55 83 64

Named provisions

Article 24(7) Benchmarks Regulation

Source

Analysis generated by AI. Source diff and links are from the original.

Classification

Agency
DFSA
Published
January 13th, 2026
Instrument
Notice
Legal weight
Binding
Stage
Final
Change scope
Substantive
Document ID
Article 24(7) of the Benchmarks Regulation

Who this affects

Applies to
Financial advisers Fund managers Insurers
Industry sector
5221 Commercial Banking 5231 Securities & Investments 5239 Asset Management
Activity scope
Benchmark Administration Financial Benchmarking
Threshold
Reference usage value in excess of EUR 20 bn, or qualitative criteria for significance
Geographic scope
DK DK

Taxonomy

Primary area
Financial Services
Operational domain
Compliance
Topics
Benchmarks Regulation Mortgage Market

Get Banking & Finance alerts

Weekly digest. AI-summarized, no noise.

Free. Unsubscribe anytime.

Get alerts for this source

We'll email you when Denmark DFSA News publishes new changes.

Free. Unsubscribe anytime.