Skip to main content
PolicySpeak
← The ranking

Side by side

Compare organizations

Consultation participation and their own register declarations, side by side. Counts, not judgments — participation is not influence.

Counts here are a floor, never a total: they cover the 583 consultation files tracked so far (42,224 submissions, mostly 2025–26), so an organization's real filing history is larger, not smaller.

EUC
EUCI

Industry association · Belgium

2
files engaged
of 583 tracked
2
positions filed
in those 583 files
declared FTE
self-declared
EP accreditations
as declared to the register
GBI
German Banking Industry Committee

Industry association · Germany

37
files engaged
of 583 tracked
45
positions filed
in those 583 files
13
declared FTE
self-declared
0
EP accreditations
as declared to the register

Declared costs: under €10K a year · in the register since 2009

Files both filed on (2)

Amending the NIS 2 Directive as regards simplification measures and alignment with the Cybersecurity Act 2 · Anti-Money Laundering Authority (AMLA)

Register facts self-declared (snapshot 2 Sept 2026); cost bands are floors. Shared files are shared attention, not evidence of coordination.

What each said, in their own words

Their opening passages on the files they share, verbatim and in filing order. We do not summarize, compare, or characterize positions — read them at source.

Amending the NIS 2 Directive as regards simplification measures and alignment with the Cybersecurity Act 2

EUCI · filed 20 Jun 2025 · source

The European Crypto Initiative (EUCI) and its members welcome the opportunity to contribute to the European Commissions call for evidence on the revision of the Cybersecurity Act (CSA). We support the objective of reinforcing Europes cyber resilience while simplifying obligations and fostering an environment that encourages innovation.

German Banking Industry Committee · filed 4 May 2026 · source

From the banks perspective, The Cybersecurity Act 2 (CSA 2) represents a paradigm shift: away from a primarily technical and operational focus towards greater consideration of geopolitical risks, and from a technology-neutral approach towards more concrete guidelines for member states, for example regarding the transition to post-quantum cryptography.

Anti-Money Laundering Authority (AMLA)

EUCI · filed 29 Nov 2021 · source

EUCI welcomes the harmonisation and strengthening of the European framework applicable to the crypto-asset industry. The current European AML/CFT legislation is characterised by a lack of harmonisation. The AML/CFT obligations of reporting entities, in particular with regard to crypto-asset service providers, may vary considerably between Member States' national laws and facilitate "law shopping" by some actors.

German Banking Industry Committee · filed 29 Nov 2021 · source

We thank you for the opportunity to comment on the draft AMLA regulation. The creation of an EU anti-money laundering authority (AMLA) is to be welcomed, but caution is urged against over-regulation of the financial sector and over-emphasis on formal anti-money laundering provisions.

Take this comparison with you

2 organizations on one sheet: every file each filed on, their register declarations, and a working link to each submission. Free: we ask for your name and email, and PolicySpeak may contact you about the product (privacy policy). The per-file record stays downloadable without signing up on each file’s page.