The European Commission circulated a Discussion Note on a “Value for Money” (VfM) approach to solicit views on how the retail investor protection framework might be enhanced through the development of an approach aimed at ensuring that products offered to retail investors offer value for money.
ESBG
welcomed the intentions of the EC and DG FISMA to assess how the retail
investor protection framework may be enhanced through this specific
methodology, nevertheless, we believe that it should be made clear that
this approach cannot work as one-size-fits-all under the entire product
governance requirements. By the same logic, we wanted to stress that
existing tools already provide for a “Value for Money” approach.
Therefore, we answered to the discussion note questions and we sent
our position to DG FISMA with the aim of explaining why this approach
should mainly focus on products distributed under investment advice, if
at all. In order to prevent a distortion of the competition between
manufacturers, the concept will need to be fine-tuned, taking into
account the potential regulatory increasing costs of bureaucracy,
calculation and daily reporting obligations.
The new regulatory regime should also contribute to diversify the
supply. As it is well known, a broad range of manufacturers and products
is essential to guarantee a competitive offer. For example, when EC
asked to assess that certain products that are offered to consumers do
not offer Value for Money, ESBG believes that there are already current
requirements under product governance to address the performance of
products and their costs and charges.
These are implemented through various measures taken by the
manufacturers and distributors. Moreover, at the level of the
distributors, a check is already carried out during the investment
advice process as to whether the distributor also offers equivalent
products to the product which is intended for recommendation. About
which criteria should be used for an assessment of VfM, ESBG agrees that
manufacturers already carry out comprehensive inquiries of the costs of
their products in order to inform investors (i.e. in the PRIIPs KIDs),
so that meaningful data is available on costs and charges. However, the
client may take into other considerations like the horizon of investment
of a piece of its savings, the level of security etc, so it is not
possible to only take into account figures. The investor is usually
interested in the most attractive possible return. The future return of a
product cannot be predicted when it is launched.
ESBG
© ESBG
Key
Hover over the blue highlighted
text to view the acronym meaning
Hover
over these icons for more information
Comments:
No Comments for this Article