Live Updates

Statistical Notice 2026/07 - Bank of England Levy: Notification Document Levy Year 2026/27

AI Analysis

Executive Summary

The Bank of England has published the **Bank of England Levy Notification Document for the 2026/27 Levy year**, formally stating its anticipated levy requirement and triggering the invoicing process for levy payers. This matters for compliance and finance teams because it confirms the **chargeable amount for the 2026/27 year under the Bank of England Levy Framework**, and starts the clock on internal budgeting, approvals and payment controls for what is now a material fixed annual cost of BoE policy functions.

What Changed

  • - The Bank of England has released the annual Notification Document for the 2026/27 Bank of England Levy, confirming the anticipated levy requirement for the current levy year under paragraph 1.16 of the Bank of England Levy Framework Document.
  • For 2026/27, the Bank of England Levy is set at ยฃ700 million, reflecting both funding of the Bankโ€™s policy functions and the transition away from the legacy Cash Ratio Deposits (CRD) scheme, with a transitional โ€œCost of Transitionโ€ adjustment to neut
  • Within this ยฃ700 million total, the Bank is recovering ยฃ343 million as net Levy from industry, separate from operational policy costs of approximately ยฃ357 million, with ยฃ307 million specifically attributed to expected interest differentials over 202
  • The Levy sits within the Bankโ€™s overall fee and levy regime which is constrained such that the Bankโ€™s operating budget and core levies may increase by no more than consumer price inflation in 2026/27, with operating costs and core levies rising by ar
  • The Notification Document underlines that invoices for individual Levy Payers will follow, consistent with the Framework and associated terms and conditions, and that levy payers will be billed by email using the contact details previously collected
  • The publication does not introduce new calculation methodology or scope changes but operationalises the existing Framework by setting the anticipated Levy Requirement for 2026/27 and initiating the payment cycle.

Suggested Considerations

  • Confirm internally which group entities are Levy Payers for the 2026/27 Bank of England Levy and reconcile this against the scope set out in the Bank of England Levy Framework Document and related BoE fee regime policy statements.
  • Review the Bank of England Levy Notification Document for 2026/27 alongside the 2024 Levy Framework Document and prior-year notices to understand how the bankโ€™s individual assessment may change relative to 2025/26.
  • Ensure that Recognised Contact and Invoice Contact details submitted to the Bank are up to date, consistent with Statistical Notice 2026/03 requirements, so that levy invoices and operational communications are received and actioned promptly.
  • Set up or confirm internal approval, purchase order and payment processes to ensure invoices for the Bank of England Levy 2026/27 are validated, coded and paid in accordance with the Bankโ€™s payment terms and internal delegation of authority.
  • Update regulatory cost forecasts, budgets and FTP (funds transfer pricing) or product pricing models to reflect the 2026/27 levy quantum and any change in allocation across entities or business lines.
  • Assess whether the increased Bank of England Levy and transition from CRD generate any material impacts for regulatory reporting, ICAAP/ILAAP or recovery plans, and update documentation where levy-related costs are referenced.

Key Dates

In or around July 2026
- The Bank of England emails invoices for the Bank of England Levy to Levy Payers, setting out the levy amount payable for the 2026/27 Levy Year
Levy Year 2026/27 (1 April 2026 โ€“ 31 March 2027, by inference from BoE and FCA levy year conventions)
- Period to which the Bank of England Levy Requirement and the Notification Document relate

Compliance Impact

Non-compliance primarily creates financial and operational risk, including late-payment charges or escalation by the Bank of England, as well as potential reputational issues with the prudential supervisor. Given the Levy funds core policy functions, repeated failures or disputes around payment could attract heightened supervisory scrutiny and questions over governance, systems and controls in man

Who is Affected

UK-incorporated banks and building societiesUK subsidiaries or branches of overseas banksOther eligible institutionsbank financial institutions) that have been brought into scope as Levy Payers under the Bankโ€™s Framework where applicable.Group finance, tax, treasury and regulatory reporting functionsCompliance, legal and company secretariat teams

AI-generated analysis. May contain errors or omissions โ€” verify with the original BoE source before acting. Full disclaimer.

Summary

Statistical Notices update the definitions and guidance contained in the Banking Statistics Yellow Folder

Relevant Firm Types

Bank
View Original on BoE Back to Feed

Share this update