ALFI  welcomes the European Commission Consultation Document on UCITS  product rules,  liquidity management, depositary, money market funds and long-term investments. In the present  response to this consultation, ALFI  wishes to develop the following views:
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		Regarding  securities lending, ALFI  believes that there is no need to extend further the existing framework as it already features adequate requirements.
 
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		With regard to OTC derivatives, a harmonised regime dealing with the counterparty risk in connection with instruments and EPM  transactions would mean better investor protection. Concerning operational risks resulting from UCITS  contracting with a single  counterparty, ALFI  believes that the current risk management requirements are appropriate.
 
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		As to  extraordinary liquidity management tools, ALFI  believes there is no single framework which could be effective across all types of UCITS. Exceptional cases to  suspend should be proposed by the fund managers and decided by the Board based on recommendations by risk managers. A fixed set of criteria for such decisions would not be  useful. Furthermore, time limits to trigger fund liquidation would also not be effective in  ALFI's view. ALFI  would like to underline that side-pockets should not be generally permitted and should only be used as a last resort. Finally, regarding liquidity safeguards in ETF secondary markets the topic is already adequately addressed in the current framework.
 
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		On the issue of the Depositary passport, it must be underlined that whilst it is fair to say that the UCITS  V regulation can be considered as a major step forward to the implementation of a Depositary Bank passport, ALFI  is of the strong opinion that before moving forward, the Commission should thoroughly assess and re-examine whether:
		
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				the existing UCITS  EU Regulatory framework as well as the way the Fund industry stakeholders interact and interpret the regulation are effectively compatible with an EU passport for Depositary, and
 
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				the implementation of a model where all the stakeholders (apart from the fund Regulator) could be located outside the domicile of the fund, potentially in three different jurisdictions, would have adverse consequences on investor protection.
 
		
	 
	ALFI  recommends a prudent approach vis-à-vis the Depositary passport and does not see it as a major priority for the future development of the UCITS  brand.
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		Concerning  money market funds, ALFI  broadly supports the EFAMA  position. The reform of MMFs should mainly focus on the fund's internal liquidity risk. ALFI  agrees that certain incremental steps could be considered to enhance further these products’ ability to resist pressure in times of crisis. However, ALFI  only sees a further harmonisation within the UCITS  regime. In the context of the discussion on additional regulation of CNAV, ALFI  would like to underline that eliminating the ability to retain a constant NAV would eliminate the ability to manage the fund so as to provide for yield stability and would put increased pressure on the demand for bank deposits.
 
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		On the topic of  long-term investments, ALFI  welcomes the Commission’s proposal to investigate the role that the investment fund industry could play in channelling retail investor’s money towards the financing of long-term investments in Europe supporting infrastructure and social development through the setup of a common framework for long-term investments for retail investors. ALFI  however believes that such a framework should be dealt with in a parallel and distinct regime from the UCITS  regime.
 
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		ALFI  also  strongly believes that UCITS  should be allowed to invest in Responsible Investing in general and in EuSEFs in particular, subject to some restriction, and would welcome a common framework to support long-term investing for retail investors in a parallel regime to the UCITS  regime.
 
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		Finally, with regard to UCITS  IV improvement, and self-managed investment companies in particular, ALFI  is of the opinion that some level of consistency in the application of prudential rules for self-managed investment companies could be appropriate and that certain prudential rules contained in UCITS  IV Management Company Directive applicable to management companies could be applied to self-managed investment companies. However, ALFI  deems it of utmost importance that due consideration to the principle of proportionally is given in order to avoid significant organisational requirements and related costs and ensure that the SICAV model remains viable.
 
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        © ALFI - Association of the Luxembourg Fund Industry
     
      
      
      
      
      
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