信托首席合规官火速补位
Jing Ji Guan Cha Wang·2025-12-16 05:35

Core Viewpoint - The establishment of Chief Compliance Officers (CCOs) in trust companies is a response to regulatory requirements and an internal need for industry transformation and stable operations, aimed at enhancing compliance governance and preventing systemic risks [3][5][8]. Group 1: Regulatory Compliance - Trust companies are required to appoint CCOs by January 1, 2026, as per the revised "Trust Company Management Measures" [3][7]. - The recent approvals for CCO positions have accelerated, indicating a shift towards compliance management as a strategic priority [4][5]. - The "Financial Institutions Compliance Management Measures," effective from March 1, 2023, mandates that financial institutions establish CCO roles at their headquarters [7][9]. Group 2: Risk Management and Internal Controls - The role of CCOs is to build a comprehensive risk control mechanism, integrating compliance checks into key business processes to identify and rectify risks early [5][8]. - The establishment of CCOs aims to address past compliance failures and enhance the transparency of trust products, thereby restoring investor confidence [6][8]. - CCOs will have the authority to veto compliance issues at critical stages such as product design and investment decisions, ensuring compliance is embedded throughout the business process [8][9]. Group 3: Industry Transformation - The appointment of CCOs reflects a broader industry shift from rapid expansion to compliance-driven growth, aligning with the need for sustainable business practices [5][8]. - Trust companies are encouraged to develop a standardized compliance framework that integrates with business operations, enhancing the overall governance structure [9]. - The focus on compliance is expected to reshape the trust industry, emphasizing its role as a fiduciary and restoring its credibility [8][9].