The 
FBE  issued its response on the 
CESR  consultation on non-equity transparency strongly supporting CESR’s statement that price transparency rules applied to equity markets are not suitable to be transferred to bond markets. “We appreciate that 
CESR  recognises the specificities of non-equity markets”, the 
FBE  states. 
With regard to investor protection and transparency issues, the FBE  does not see the value added of applying a pre- and post-trade transparency regime designed for the equities markets to the characteristically and structurally distinct non-equity markets, especially if investor protection is the stated rationale for doing so. 
With regard to timing considerations, the FBE  reminds that it already called on the Commission to consider postponing any judgement and subsequent policy decisions in respect of transparency in the non-equity markets until the financial industry and regulatory authorities could make a fair assessment of the effectiveness of systems and the opportunities MiFID  is designed to deliver. 
Voice of the European banking sector
www.fbe.be',WIDTH, 300,  SHADOW, true, FADEIN, 300, FADEOUT, 300, STICKY, 1,DURATION,3500)" onmouseout="UnTip()");">FBE  response non-equity transparency.pdf ' target='_blank'> Document
      
      
      
      
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