ob体育 today released the final mandatory requirements for the internal dispute resolution (IDR) data reporting framework.
The requirements will be implemented in 2023 starting with a group of 11 large financial firms that will have to report IDR data to ob体育 for the first time by 28 February 2023 (see list of financial firms below). The remainder of the approximately 10,500 financial firms will join the framework and be required to report IDR data to ob体育 by 31 August 2023.
Since 5 October 2021, financial firms have been required to record all complaints received and have an effective system for recording information about complaints (see Regulatory Guide 271 Internal dispute resolution (RG 271)).
ob体育 Deputy Chair Karen Chester said 鈥楾he IDR data reporting framework is the culmination of many years of work with industry to record, improve and standardise the quality of IDR data. Updated standards and requirements for IDR will assist firms to identify and address systemic issues that arise from complaints.鈥�
鈥榦b体育 collecting and ultimately publishing system wide IDR data is a consumer centric milestone. The data will give greater and public visibility of where harms may be occurring, across the financial system and down to the firm level. It will also elevate ob体育鈥檚 ability to be a data driven regulator. Ultimately, we all want to see consumers benefit when firms use this data to benchmark, even compete on, their IDR performance and to improve the way they respond to consumer complaints in practice.鈥�
ob体育 will begin publishing IDR data once all financial firms have commenced reporting after 31 August 2023. The first report will cover all complaints received by financial firms during the period between 1 January and 30 June 2023. In the coming months ob体育 will consult on its approach to publishing the IDR data.
The requirements for firms to report IDR data under the framework are outlined in the IDR data reporting handbook and are given effect by . The handbook includes the data dictionary and data glossary published as part of the IDR data reporting pilot. The reporting requirements are the culmination of a substantial consultation process and successful IDR reporting pilot completed in late 2021 with seven financial firms (see 21-177MR).
鈥楾he IDR data handbook we are releasing today also includes practical guides and checklists ob体育 developed to assist firms (especially smaller firms) with their reporting. This practical guidance benefitted greatly from our consultation and the 2021 reporting pilot鈥�, said ob体育 Deputy Chair Karen Chester.聽
In the coming months we will release a consultation paper that seeks feedback on ob体育鈥檚 approach to publishing IDR data. We have also confirmed that we will only begin publishing data received for those complaints received after 1 January 2023.
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List of 11 entities to report IDR data in the first tranche
The following groups of licensees from various subsectors were chosen to participate in the first reporting period based on their size and preparedness. Due to the recent flooding national emergency, we have chosen not to include major general insurance groups in the first tranche.
- Commonwealth Bank of Australia
- Australia and New Zealand Banking Group
- National Australia Bank Limited
- Westpac Banking Corporation
- AMP Limited
- Dai Ichi Life Holdings, Inc (TAL)
- Insignia Financial Ltd (IOOF)
- Cbus
- UniSuper
- Retail Employees Superannuation Trust
- AustralianSuper
Background
The release of the IDR reporting requirements is a major milestone in the implementation of Recommendation 8 of the Ramsay Review into financial services dispute resolution, which recommended that financial firms be required to report on their IDR activity to ob体育. The IDR data reporting framework was also enabled by the Treasury Laws Amendment (Putting Consumers First鈥擡stablishment of the Australian Financial Complaints Authority) Bill 2017.
In March 2019 ob体育 released CP 311, which set out proposed new standards and requirements for IDR, including for the reporting of IDR data.
On 30 July 2020 new IDR standards and requirements were published in RG 271, which commenced on 5 October 2021. ob体育 also published Report 665 Response to submissions on CP 311 Internal dispute resolution聽(REP 665) along with individual submissions that we received to CP 311.
On 19 July 2021 ob体育 announced the IDR reporting pilot with seven firms participating and released a draft data dictionary and data glossary. In addition, ob体育 also released Report 693 Response to submissions on ob体育鈥檚 internal dispute resolution data consultations (REP 693) that set out our response to submissions received on the data reporting requirements in CP 311 and the Addendum to CP 311 (Addendum). Among other matters, CP 311 and the Addendum outlined ob体育鈥檚 approach to implementing the IDR data framework and included draft versions of the data dictionary.