2026-06-18
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The National Financial Market Commission (CNPF) of Moldova issued this decision detailing the findings of a thematic control conducted between December 2025 and June 2026 on ten banks and seven non-bank payment service providers. The inspection focused on verifying compliance with consumer credit laws regarding interest rate calculations and the assessment of payment service framework contracts for abusive clauses. The document records the submission of requested data by most entities, notes the lack of consumer contracts for two providers, and outlines specific procedural extensions granted to banks due to data volume.
REPUBLIC OF MOLDOVA NATIONAL FINANCIAL MARKET COMMISSION 77 Stefan cel Mare si Sfant Blvd., Chisinau, MD 2012, tel: (373 22) 859 401, www.cnpf.md, e-mail: office@cnpf.md
DECISION June 9, 2026 No. 27/4
On the results of the thematic control, conducted within banks and non-bank payment service providers
In accordance with the Control Activities Plan of the National Financial Market Commission for 2025 (annex to Decision of the National Financial Market Commission (CNPF) No. 13/1/2025), during the period 16.12.2025 – 12.06.2026, a thematic control was initiated among the participants — BC “COMERTBANK” S.A., BC “ENERGBANK” S.A., BC “EuroCreditBank” S.A., BC “EXIMBANK” S.A., BC “Moldindconbank” S.A., BC “MOLDOVA-AGROINDBANK” S.A., BC “ProCredit Bank” S.A., BC “VICTORIABANK” S.A., “Banca de Finante si Comert” S.A., “OTP Bank” S.A. (banks), SC “MMPS COM” S.R.L., “NOVA PAY” S.R.L., “Paymaster” S.R.L., “Paynet Services” S.R.L., “BPAY” S.R.L., “QIWI-M” SRL, “MOLDCELL” S.A. and “UP SERVICII” S.R.L. (non-bank PSPs), as ordered by Decision of the National Financial Market Commission (CNPF/authority) No. 60/2/2025 on conducting the thematic control within banks and non-bank payment service providers (Decision No. 60/2/2025).
The control aimed to verify the banks' compliance with the method of calculating and applying the interest rate on loans, under the provisions of Law No. 202/2013 on consumer credit contracts (Law No. 202/2013), as well as the cost elements included in the calculation of the annual effective interest rate, under Art. 23 para. (2) of Law No. 202/2013, in loan contracts secured by real estate, concluded during the period 01.01.2023 – 24.10.2025 and in force as of 16.12.2025, including regarding the non-adoption of unfair commercial practices provided for in Art. 13 of Law No. 105/2003 on consumer protection, and the verification of the conformity of the framework contract concluded by banks and non-bank PSPs with payment service users, who have the status of consumers, valid as of 16.12.2025, with the provisions of Law No. 114/2012 on payment services and electronic money (Law No. 114/2012), including regarding the identification of abusive clauses, within the meaning of Arts. 1069 – 1072, 1075 – 1079 and 1081 of the Civil Code.
According to Art. 70 para. (1) of the Administrative Code, Decision No. 60/2/2025 was sent to the participants via CNPF letter No. 04-5/4909 dated 18.12.2025, with the Control Plan attached. At the same time, according to point 26 subpoint 4) of the Regulation on the administrative control procedure (CNPF Decision No. 60/10 dated 05.12.2023, hereinafter – Regulation No. 60/10), the participants were informed of their rights and obligations under the Regulation.
The control was carried out by the control team at the CNPF headquarters. By letters sent on 23.12.2025, the control team requested the presentation, on durable medium, by 19.01.2026, of the List of loan contracts secured by real estate, concluded during the period 01.01.2023 – 24.10.2025 and in force as of 16.12.2025, which will include: the number and date of conclusion of the loan contract; the date of granting/disbursement of the loan; the duration of the loan contract; the total value of the loan; the loan currency; commissions applied at the granting of the loan (applied in the first 30 days), the interest rate on the loan at the date of conclusion of the loan contract; the annual effective interest rate; the date of the first installment due according to the payment schedule; the interest calculated from the date of conclusion of the contract until the date of the first installment due (contract register, in Excel format, according to the annex), as well as, by 12.01.2026, the Framework Contract concluded with payment service users who have the status of consumers, in force as of 16.12.2025, as well as all documents that are an integral part of it, including, but not limited to:
As a result of the requests sent, it is established that: 5.1. On 24.12.2025, a letter from “NOVA PAY” S.R.L. was received, communicating that, “Although the Company holds a payment institution license issued by the National Bank of Moldova, with the right to provide payment services provided for in Art. 4 para. (1) subpoint 1)–9) of Law No. 114/2012 on payment services and electronic money, the actual activity carried out by the Company consists exclusively in providing money remittance services, within the meaning of Art. 4 para. (1) subpoint 6) of the aforementioned law.” At the same time, it mentioned that “The Company does not have a framework contract in force concluded with payment service users – consumers.” 5.2. On 10.01.2026, a letter from “UP SERVICII” S.R.L. was received, communicating that, “currently “UP Servicii” SRL has not yet started activity as a payment service provider under the BNM license, and consequently the delivery of requested documents and information cannot be presented, as, at the present date, UP Servicii SRL has not concluded contracts with payment service users who have the status of consumers.” 5.3. Thus, in the case of “NOVA PAY” S.R.L. and “UP Servicii” S.R.L., the object of the thematic control is missing, in the sense that no framework contract was concluded with payment service users who have the status of consumers.
On 02.03.2026, to the entities subject to control (except “UP SERVICII” S.R.L. and “NOVA PAY” S.R.L.), a letter was sent to the head of the control team, requesting explanations regarding the presentation of pre-contractual information, in accordance with the provisions of Art. 42 of Law No. 114/2012. 6.1. On 30.12.2025, “MOLDCELL” S.A. sent to CNPF the materials and information requested during the control, which include: