Future Roadmap – Synchronisation thematic engagement working group

Terms of reference

Purpose

As part of the Future Roadmap for RTGS, the Bank is exploring a synchronisation capability that would leverage RT2 as an open platform for innovation to extend atomic settlement in central bank money to a wider set of asset markets and transaction types.

The purpose of the synchronisation thematic engagement working group is to provide input and advice to the Bank on the development of an RT2 synchronisation capability. This includes:

  • Providing input to inform the Bank’s design, delivery and policy decisions; and informing the Bank’s business case analysis to delivering a minimum viable product synchronisation capability.
  • Supporting a degree of engagement between organisations from different parts of the ecosystem where there is a significant benefit in collaboration.

The synchronisation working group is one of three working groups set up for the Future Roadmap with industry following a written consultation and response in 2022/2023.

The synchronisation working group is advisory to the Bank. Final decisions on implementing the roadmap features will be taken by the Bank based on a range of inputs and factors. The group has no decision-making responsibilities and is not a statutory body.

Synchronisation working group objectives

In support of the co-creation objectives, the synchronisation working group (and potentially sub-groups) is expected to contribute and provide input in a number of areas. These include

  • Shaping high-level requirements, service design and policy - spanning build and run as required – and taking into account risks to the RTGS and CHAPS services, and wider financial stability. Exploring issues that affect parties in a synchronisation transaction e.g. understanding the end-to-end process for a particular use case.
  • Developing and broadly assessing a business case for synchronisation, and its use cases, demand and maturity of solution/ecosystem including:
    • delivery approach and timing; and
    • gathering relevant input to inform the Bank’s current policy work for a live synchronisation service, including with other financial authorities e.g. assurance and regulation of synchronisation operators, and treatment of synchronisation under the RTGS tariff.
  • Engagement with experimentation relevant to synchronisation, including with:
    • output from the Synchronisation Lab; and
    • preferences for the delivery approaches, sequencing and timing.

Membership responsibilities

The Bank selects members based on a number of factors drawing on nominations received, including diversity of representation (eg current and potential future RTGS users of a synchronisation service and other interested parties). This includes RTGS account holders, those with experience of synchronisation or managing asset ledgers; as well as those with an end-user perspective.

Members are expected to actively contribute, bring knowledge and experience on matters related to the purpose and objectives of the working groups, and, to the extent legally permissible, offer candid and open input and advice to the Bank. Meeting attendees are expected to have engaged with other relevant staff within their organisations, such that their input and advice, when relevant, is a fair reflection of the position of their organisation, to the extent possible.

Members are expected to support the Bank’s objectives for operating the RTGS and CHAPS services – monetary and financial stability; and promoting efficiency, innovation and competition where that can be safely done without impairing stability.

Members (including their organisations) may not refer to their participation in the working group for promotional or commercial purposes. For the avoidance of doubt, this means that members must not imply or assert privileged access to information, or endorsement by the Bank, but members may disclose their participation in the working group as a matter of fact.

Any information received (either from the Bank or other attendees) must be treated as confidential and must not be disclosed outside of the working group, except where the Bank permits otherwise, or the Bank itself makes the information public.

Members are responsible for identifying and declaring any conflicts of interest that may arise from participating in the synchronisation working group, as soon as they arise. The Bank will decide how the conflict should be managed, which may include in limited circumstances, excluding or suspending the member in question from the synchronisation working group.

All attendees should be aware of their obligations under competition law. Attendees should avoid potentially anti-competitive behaviour or sharing competitively sensitive information. Any attendee that has competition concerns should contact the Secretariat without delay. Further information is set out in an Annex.

Supporting governance processes for the working group

Attendance

  • The Bank will act as Chair and provide the Secretariat.
  • Members were selected through a nomination process.
  • The Bank will provide relevant attendees to support the agenda.
  • Members should declare any conflicts of interest to the Bank – either general, or in relation to specific topics.
  • Members may be invited to opt into one or more sub-groups which the Bank may set up. Membership of each group may be by characteristics of the organisation and/or interests and expertise of individuals.

Meetings including agenda, papers, and minutes.

  • The synchronisation working group and any sub-groups are expected to meet occasionally while the Bank undertakes relevant design, delivery and policy work.
  • The Bank will seek to share an agenda and any supporting papers at least three working days in advance of each meeting. Written feedback may be provided off-line to the Chair and/or Secretariat.
  • Minutes and actions will typically be issued within two weeks of the meeting.
  • The Bank will also publish summary topics discussed across the co-creation working groups on the Bank’s website.
  • Comments made in the meeting will not be attributed in any minutes or summaries shared externally without consent.

Terms of Reference

  • These Terms of Reference were finalised in January 2026. Updates should be proposed via the Secretariat.
    • It is the responsibility of attendees to ensure they understand their obligations under, and fully comply with competition law. To the extent that any attendee is unclear of these obligations, they should consult the legal and/or compliance teams at their respective institution for further guidance.
    • Care will need to be exercised in order to make sure that attendees familiarise themselves with the concept of competitively sensitive information and do not unilaterally disclose or exchange it under any circumstance.
    • If during a meeting, an attendee has concerns about the discussion from a competition law compliance perspective, the attendee should make their concerns known to the meeting as a whole, and the discussion giving rise to such concerns should cease.
    • The Bank will collect the name, business email address, job title, name of organisation, and summary of role and experience, from individuals who are nominated and invited to join the working group. The Bank may also collect some of this information from organisations who nominate an individual for membership.
    • The Bank will also collect views, opinions and further personal data where this is shared either verbally or in writing (eg by using a ‘chat’ function) by individuals participating in online meetings for the working group.
    • The Bank will be the ‘controller’ (within the meaning of data protection law) in respect of the personal data processes for the selection of members, the running of working group meetings for the and for its own processing of personal data for the purpose of participation in the working group.
    • The Bank will process personal data where necessary for the performance of its tasks carried out in the public interest, including setting up and maintaining working groups in relation to the RTGS/CHAPS services. The Bank may share your personal data with other members of the working group where necessary for this purpose. There is no automated decision making or profiling of personal data.
    • Members’ personal data will be stored on Bank systems with controlled access. The Bank uses layered information security measures to protect the data it holds. The Bank will keep members’ personal data for so long as is necessary to facilitate the working group or in accordance with the Bank’s retention policies, available on the Bank’s website accessible via the privacy notices (below).
    • Further information about how the Bank processes personal data and your rights is set out in the Bank’s Privacy Notice and also for RTGS/CHAPS users, a further privacy notice specific to RTGS/CHAPS is found on RCEP.
    • Where the Bank uses an online meeting service provider to host meetings, then the privacy statement of that service provider will apply.
This page was last updated 23 January 2026