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08 September 2014

MiFID II: Be careful what you wish for


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The Securities and Markets Stakeholder Group (SMSG) published four pieces of advice to ESMA on MiFID II: Investor protection, Trading venues, Transparency for the trading of non-equity instruments, and Transparency and trading obligations (equities).


The SMSG stresses the fact that the very short deadline prevented them from going into much detail. As a result, the advice on trading venues and transparency contain mostly high-level and general comments, unlikely to influence ESMA.

Nonetheless, their advice on investor protection offers more substantial warnings. In particular, instead of increasing the quality of advice by financial advisers, the rules might drastically reduce the availability of advice for the typical customer: The restrictive approach regarding inducements for independent financial advisers might threaten the “open architecture” model in Continental Europe. In addition, ESMA should make clear that it does not intend to impose a de facto ban on inducements in the context of non-independent advice. Should ESMA persist in this path, there is a risk of shrinkage of the availability of advice for retail investors who can’t afford to pay directly for advice. This has been noticed already in the UK due to implementation of a similar regime: the Retail Distribution Review (RDR).

Besides, the SMSG reminds that member states are likely to gold plate the rules of MiFID II. The uniform – single market is a legitimate aim, but the fact remains that each member state remains unique.  In addition, the SMSG makes clear that strong enforcement of regulation is just as important as the rules themselves. The absence of coherent national liability regimes to ensure enforcement of MiFID II is seen as a major shortcoming for effective implementation.

 

Full article



© Derivatives Risk Solutions LLP


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