18 November 2025
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Strong and simple: The PRA’s new capital regime for small domestic deposit takers

To The Point
(4 min read)

On 28 October 2025, the PRA published near-final policy (PS20/25) on the ‘Strong and Simple Framework’ for Small Domestic Deposit Takers (SDDTs). This framework aims to simplify capital and liquidity requirements for smaller UK banks and building societies, reducing regulatory burden while maintaining financial resilience and supporting competition. Building on Phase 1, which addressed liquidity and disclosure requirements, Phase 2 introduces a streamlined capital regime covering minimum capital requirements for credit, market, and operational risk (Pillar 1), additional firm-specific risks (Pillar 2A), a new Single Capital Buffer, simplified Internal Capital Adequacy Assessment Process (ICAAP) and Internal Liquidity Adequacy Assessment Process (ILAAP), capital deductions, and reporting. The policy statement also revokes the Interim Capital Regime (ICR) and sets an implementation date of 1 January 2027, aligning with the Basel 3.1 international standards.

The Prudential Regulation Authority’s (PRA) near-final policy statement (PS20/25), published on 28 October 2025, marks a significant shift for small UK banks and building societies. The ‘Strong and Simple Framework’ introduces a simplified capital and liquidity regime for Small Domestic Deposit Takers (SDDTs), aiming to reduce regulatory burden, support competition, and maintain financial resilience. The new rules, effective from 1 January 2027, align with international Basel 3.1 standards and replace the Interim Capital Regime.

Why this matters for SDDTs
Key features of the framework
Eligibility and scope
Commercial implications and next steps
Key policy details

Conclusion

The PRA’s ‘Strong and Simple Framework’ represents a major step forward for small UK banks and building societies. By reducing regulatory complexity while maintaining robust prudential standards, the regime supports a more dynamic and competitive banking sector. SDDTs should act now to assess their eligibility and prepare for a smooth transition to the new rules, ensuring they can fully benefit from the opportunities the framework provides.

Next steps

If you would like to discuss anything raised in this article, feel free to contact our Financial Regulation team.

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