The European Association of Public Banks (EAPB) published a Position Paper on the forthcoming Consumer Credit Directive. Among others, the 
EAPB  opposes the idea to extend the scope of the directive to credit and surety agreements. The latter should be exempted because the objective and the economic purpose of surety agreements are different from those of a credit agreement. 
Furthermore, EAPB  suggests that a minimum and maximum threshold of the current Consumer Credit Directive of between  500 and  50000 should be maintained. Otherwise small credit amounts would entail disproportionate costs, the Association argues.
EAPB  also favours to remove promotional loans and credits secured by a mortgage from the scope of the directive. The association argues that there is no need to harmonise promotional loans, and credits secured by mortgages are of a fundamental different nature than the non- secured consumer credit. 
Finally, the EAPB  strongly opposes the principle of total harmonisation of the proposal. Total harmonisation entails extensive provisions and requirements on all aspects of the consumer credit. By doing so, the consumer credit will become overregulated with the consequence that credit costs will rise significantly and many products will disappear from the market.
Represents the specific interests of public or public owned banks, development banks & funding agencies at European level and this vis-à-vis the EU, professional organisations, the press and the general public
www.eapb.be',WIDTH, 300,  SHADOW, true, FADEIN, 300, FADEOUT, 300, STICKY, 1,DURATION,3500)" onmouseout="UnTip()");">EAPB  Position paper Consumer Credit4.doc' target='_blank'>Full Position Paper
      
      
      
      
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