No. Confidential supervisory information should not be submitted to GRA.
Confidential supervisory information may include non-public communications, findings, examination materials, supervisory letters, enforcement-related information, regulatory reviews, inspection results, internal supervisory assessments, prudential information, or other restricted information obtained through a regulator, supervisor, central bank, public authority, or regulated institution.
GRA may support regulatory learning, public authority learning, financial-system resilience dialogue, and public-safe risk discussion, but it does not receive or process confidential supervisory information.
Public authority participants, regulators, supervisors, regulated entities, and advisers must respect their legal and professional obligations. Participation in GRA does not create permission to disclose restricted supervisory material.
If a topic is relevant to financial-system resilience, it should be discussed at an appropriate level of abstraction, using public information, anonymized lessons, typologies, scenario framing, or approved public-safe summaries.
Confidential supervisory information belongs in the formal supervisory process, not in GRA.