How are our Global Markets Clients scoped? Legal Entity the Client faces: • In scope of EinSiG are all German credit institutions including their local and foreign branches as well as German branches from other credit institutions with a corporate seat outside of the EEA. • For Global Markets this means clients facing the DB AG entities (See Appendix 1). Exclusion of certain customers: • This has come directly from the regulation. Examples include Credit Institutions (banks, building societies and credit unions), Collective investment schemes, Pension Schemes and Retirement Funds. For the full list please see section 6 of the EinSiG regulatory document (Appendix 7). • These outlined customer groups have been translated to DB Industry Codes which we have excluded from our scoping criteria in dbCAR/cRDS (See Appendix 2). Products in scope: • A Balance Sheet analys€s for DRAG London (Entity Id 840) of the €n-scope FSIs (Financial Statement Items): "Liabilities to customers" (Verbindlichkeiten gegeniker Kunden) as well as "Receivables from customers" (Forderungen gegeniiber Kunden) as per HGB (Handelsgesetzbuch — German Commercial Code) has revealed that only "GMF Money Market" and "Collateral Management (Cash)" are PSM product types in- scope of the OGS. Under "GMF Money Markets" the sub products "Deposits" and "Both" have been deemed in scope. How will we reliably identify in scope clients? Strategic DbCAR/cRDS Solution As mentioned above, there are certain eligibility criteria that must be met in order for a client to fall into scope. Given the above parameters we have a signed-off business requirements document and a functional specification for a solution that will identify and label a client as in scope at the point of on boarding. The COB user will then be able to issue out the DIS with the opening pack. Further still, the so€ution has the ability to track the client correspondence in dbCAR and upload returned documents. I.e. record w