{
  "tool_id": "art-576-emir3-active-account-representativeness-classifier",
  "kernel_id": "art-576-emir3-active-account-representativeness-classifier",
  "display_name": "EMIR 3.0 Active Account Representativeness Classifier",
  "tool_version": "1.0.0",
  "mandate_type": "compliance_mandate",
  "purpose": "Classifies an EU counterparty's posture under EMIR Article 7a (the Active Account Requirement, inserted by Regulation (EU) 2024/2987) across three obligations: whether the active-account obligation applies and is met at an Article-14-authorised CCP; whether the Article 7a(4) representativeness obligation applies, is exempt below the EUR 6 billion notional-clearing-volume threshold, or is met by clearing at least five trades on an annual average basis in each caller-declared most-relevant subcategory per class; and whether a reporting submission falls within the applicable Commission Delegated Regulation (EU) 2026/305 Article 10 window (last day of January or July, first cycle anchored to the stated 2026-07-31 report). Subcategories are bucketed deterministically from caller-declared trade size and maturity against the RTS Annex I tables for EUR fixed-to-float, OIS and FRA, PLN fixed-to-float and FRA (single any/any bucket), and EUR STIR Euribor and euro short-term rate. Which subcategories are ESMA's market-wide most-relevant designation is not derivable from one counterparty's own trades and is taken as a caller-declared input, named in the artifact's not_proven list. Each obligation resolves to MET, NOT_MET, EXEMPT, or INDETERMINATE, and INDETERMINATE covers every case where a required input -- clearing-threshold exceedance, active-account status, notional volume, subcategory designation, or reporting date -- was not declared; none is guessed toward a passing verdict. Cites Article 7a EMIR and Commission Delegated Regulation (EU) 2026/305, re-verified against EUR-Lex at build. Existing EMIR coverage on this site is trade-report field, lifecycle, UTI and UPI validation only; this is a distinct Active Account Requirement self-check, not a duplicate. Stated boundary: this is not legal advice, and does not independently verify that a declared trade actually cleared or that the counterparty genuinely exceeds the Article 4a clearing threshold.",
  "control_description": "Classifies an EU counterparty's posture under EMIR Article 7a (the Active Account Requirement, inserted by Regulation (EU) 2024/2987) across three obligations: whether the active-account obligation applies and is met at an Article-14-authorised CCP; whether the Article 7a(4) representativeness obligation applies, is exempt below the EUR 6 billion notional-clearing-volume threshold, or is met by clearing at least five trades on an annual average basis in each caller-declared most-relevant subcategory per class; and whether a reporting submission falls within the applicable Commission Delegated Regulation (EU) 2026/305 Article 10 window (last day of January or July, first cycle anchored to the stated 2026-07-31 report). Subcategories are bucketed deterministically from caller-declared trade size and maturity against the RTS Annex I tables for EUR fixed-to-float, OIS and FRA, PLN fixed-to-float and FRA (single any/any bucket), and EUR STIR Euribor and euro short-term rate. Which subcategories are ESMA's market-wide most-relevant designation is not derivable from one counterparty's own trades and is taken as a caller-declared input, named in the artifact's not_proven list. Each obligation resolves to MET, NOT_MET, EXEMPT, or INDETERMINATE, and INDETERMINATE covers every case where a required input -- clearing-threshold exceedance, active-account status, notional volume, subcategory designation, or reporting date -- was not declared; none is guessed toward a passing verdict. Cites Article 7a EMIR and Commission Delegated Regulation (EU) 2026/305, re-verified against EUR-Lex at build. Existing EMIR coverage on this site is trade-report field, lifecycle, UTI and UPI validation only; this is a distinct Active Account Requirement self-check, not a duplicate. Stated boundary: this is not legal advice, and does not independently verify that a declared trade actually cleared or that the counterparty genuinely exceeds the Article 4a clearing threshold.",
  "declared_inputs": [],
  "declared_outputs": [],
  "kernel_digest": "sha256:61ccaaf1ba92ae118685760e5c4c2d2196095b159dd005a1e79d115d31e544c6",
  "trust_label": "independently verified: zkVM execution proof (risc0/groth16-bn254)",
  "data_vintage": "2026-08-07",
  "last_validated": "2026-08-07",
  "conformance_fixtures_vendored": true,
  "compute_proof_ready": "ready",
  "wave": 97,
  "source_url": "https://ainumbers.co/chaingraph/art-576-emir3-active-account-representativeness-classifier.html",
  "generated_at": "2026-08-15T11:12:17.704Z"
}
