TRM notice family across FI classes
Is this legally binding?
Binding, sectoral. Binding, but only for a defined population: one regulated sector, or the federal government and the vendors it buys from.
Eleven harmonised TRM notices cover: FSM-N03 insurers, FSM-N05 banks, FSM-N07 credit/charge card licensees, FSM-N09 finance companies, FSM-N11 merchant banks, FSM-N13 designated payment systems and DPT service licensees, FSM-N17 credit bureaus, FSM-N19 insurance brokers, FSM-N21 capital markets FIs, FSM-N23 financial advisers, FSM-N25 trust companies; FSM-N30 applies to digital token service providers (2025). Cyber hygiene is separately mandated (FSM-N06, FSM-N22 and equivalents).
What this connects to
1 relations. Official relations are the ones the source documents state; anything marked GAGE analysis is our reading, not an agency's.
Cites1
- InstrumentMAS Notices on Technology Risk Management (TRM Notices)Binding, sectoral
Enumeration of the harmonised notice family per MAS consultation P012-2026
Verified against the official source on 2026-08-17. GAGE is not affiliated with or endorsed by any agency named here, and nothing on this page is legal advice. How this is built and checked.