CESR has examined the feasibility of requiring
harmonised search facilities throughout the OAM network. These harmonised search
facilities would be based on a set of common search keys and reference data
items, such as issuer name, date of filing, home Member State of the issuer,
country of admission to trading, title of document, industry/branch of trade,
type of regulated information and ISIN code of the securities. In addition,
CESR has examined the feasibility of requiring dynamic or chain searches,
multiple-country searches with a single request, the use of common input
formats and standards as well as the use of common list of types of regulated
information. CESR has also examined the feasibility of technical
interconnection with national business registers.
Integration of the OAM
network
To date, CESR has implemented a simple network model
by using CESR's MiFID database on shares admitted to trading on EU regulated
markets. This current network only includes the list of issuers of shares and
not issuers of other securities. Integration of national OAMs would facilitate
better access to regulated information on issuers having securities admitted to
trading on regulated markets. According to the Commission Recommendation, the
aim of such integration would especially be in ensuring that the electronic
network of OAMs will be able to meet the expectations of issuers and investors
in the long term, notably by providing the possibility of a virtual one-stop
shop for accessing regulated information disclosed by the issuers. At the same
time, the calls for enhanced transparency stemming from the financial crisis,
the upcoming changes in the regulatory landscape (especially the establishment
of the European Securities and Markets Authority, ESMA) and developments in other
jurisdictions have made it necessary to assess the accessibility of regulated
information on a wider scope.
Benefits of an integrated
pan-European OAM network
For investors, an integrated network could allow
easier cross-border searches for information. If information were available for
searches also at the level of a Central Access Point (CAP), an investor
searching for information on issuers in multiple Member States would be able to
find the information with a single search instead of having to visit the
websites of respective national OAMs where searches would only cover issuers of
that single Member State.
For regulators, an integrated network could ease
benchmarking of issuers’ filings. For example, enforcers of IFRS could benefit
from easier cross-country comparisons of application of a specific accounting
standard by issuers active in certain industry.
Issuers could also benefit from easier benchmarking
with their competitors and an integrated pan-European OAM network could bring
additional visibility for the issuers and attract new investors, which could
potentially reduce the issuers' cost of capital.
CESR has identified two options to develop a more
integrated OAM network.
Option 1 - a network model, which would be in line
with the current linked model of the local OAMs but would gradually develop its
functionalities and the common elements of the network by a “three step
approach”: Step 1 would extend the list of issuers to cover issuers of all
securities; Step 2 would enhance the search capabilities by requiring increased
amount of metadata; and Step 3 would integrate the network by allowing multiple
country searches. Step 3 could be implemented for example by harmonising search
requests between the CAP and national OAMs in order to enable cross-OAM
searches from the CAP, by requiring feed from national OAMs to the CAP and
storing the information also at the CAP level or by building a "search
engine" able to index and search all national OAMs.
This would mean that common technical standards would
have to be developed amongst CESR Members and the OAM operators. The network
would be implemented through a minimum harmonisation approach;
distinction would be made between the basic information that would be available
in all OAMs and in the Central Access Point and additional services national
OAMs may want to develop.
Option 2 - a single European OAM. Issuers of all securities admitted to trading
on an EEA regulated market would need to file regulated information with the
European OAM. This would require setting up a new pan-European OAM. The
potential benefits of this option would be highest if large-scale development
projects were expected. The downside of this option, on the other hand, is that
the investments made to existing OAMs would - at least partially - be wasted.
CESR prefers Option
1, as it would allow the existence of national OAMs and therefore support the
supervision of regulated information in the home Member State. CESR members
also have preference for a CAP operated by CESR.
CESR invites
responses to this consultation paper by 24
September 2010.
Consultation
paper
© CESR - Committee of European Securities Regulators
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