A common reporting framework and joint thematic calls for innovation facilitators
Vilnius University
2026-09-28
The United Kingdom opened the first FinTech regulatory sandbox in 2016 (Marcelin 2026). Europe now has a crowded, uneven landscape of innovation facilitators.
The policy question is what these schemes produce and which lessons can travel.
FinTech has a decade of operational experience. Its reporting record shows what the next generation needs to establish earlier.
| Reported count | What is being counted | Source |
|---|---|---|
| 14 in 12 countries | Financial sandboxes under the ESAs’ inventory | European Supervisory Authorities (2023) |
| 11 of 30 jurisdictions | Supervised live testing with real customers | Hernández Sánchez (2026) |
| 132 across sectors | Member State self-report using broader definitions | European Commission (2026) |
Each figure answers a different question. None is a ranking of regulatory sophistication.
| Instrument | Core activity | Institutional form |
|---|---|---|
| Supervisory sandbox | Live testing with customers | Supervisor-run |
| Statutory testing space | Live testing with customers | Created in legislation |
| Advisory cohort | Time-bounded advice | No live-market test |
| Statutory exemption | Legal relief | No supervised testing process |
| Innovation hub | Dialogue and guidance | Continuing facilitation channel |
The first two involve supervised live testing. The others can still be useful, but they generate different evidence (Hernández Sánchez 2026).
The map records policy instrument choice as well as administrative capacity (Hernández Sánchez 2026).
| Observation | Operational context | Source |
|---|---|---|
| No completed live test in four years | Eligibility initially limited to authorised institutions | Interview 07, 2025 |
| Test environment never entered | Hub dialogue resolved every case | Interview 14, 2026 |
| Applications fell between cohorts | Procedures later simplified in legislation | Interview 09, 2026 |
| Two participants since launch | Entry rules were deliberately strict | Interview 16, 2026 |
It may reflect demand, eligibility, burden, capacity, effective triage, or simply no case that requires live testing.
Authorities already hold the information needed to interpret participation:
A common record would turn counts into evidence that another authority can read.
When the Commission asked whether sandbox experience had influenced policymaking (European Commission 2026):
| Reported position | Member States |
|---|---|
| Concrete regulatory changes | 4 |
| Too early to tell | 17 |
| No impact identified | 3 |
Standardised reporting templates were reported in only four countries. In energy, the route from sandbox outcomes to regulatory change is rarely codified (Gangale et al. 2026).
Narrative lessons are difficult to search, aggregate, compare, and reuse across schemes.
Cohort designs can build ties, trust, and shared understanding (Leonard et al. 2025). Application and graduation counts do not capture that work.
One scheme has an earmarked budget, a dedicated team, and an advisory board. Another relies on part-time staff from supervisory units where sandbox work can be deprioritised (Interviews 02 and 07, 2025).
Hubs and sandboxes can form a tiered system. One authority’s hub has resolved every case, while live testing remains available for the exceptional case (Interview 14, 2026).
Operating cost is also poorly documented (European Commission 2026).
EFIF and the ESAs can agree a small shared core with instrument-specific modules.
| Component | Minimum content |
|---|---|
| Shared core | Mandate, design, resources, demand, selection, referrals, safeguards, documented learning, negative results |
| Live-testing module | Test plan, incidents, early termination, derogations, exit assessment |
| Innovation-hub module | Query volume, recurring themes, referrals, classification questions |
| Thematic module | Problem statement, participants, partnerships, published lessons |
A short shared core with proportionate extensions follows established EU supervisory reporting practice (European Banking Authority 2021). Evaluation should be designed into the scheme (OECD 2025).
The EU cross-border testing framework had not been used at the time of the ESAs’ 2023 review (European Supervisory Authorities 2023). Early-stage firms may not be ready for multi-country testing (Interview 12, 2026).
The regulatory problems already cross borders:
Thematic cohorts concentrate expertise, make resource needs visible, and help secure internal participation.
Participation would remain voluntary. The reporting burden and staff cost still need to be tested in practice.
Agree the facilitator vocabulary, pilot a one-page core with a small group of volunteers, and publish what the pilot changes before scaling it.