Asset managers and their trade bodies, the Principles for Responsible Investment (PRI), and other organisations have criticised, on multiple grounds, the European Commission’s proposed definition of “sustainability preferences” in draft amendments of MiFID II rules.
Interested
parties had until 6 July to provide feedback on these and other draft
delegated acts aiming to incorporate sustainability issues and
considerations into the EU financial services regulatory framework, as
formed by the UCITS Directive, the Alternative Investment Fund Managers
Directive (AIFMD), and MiFID II.
The proposed amendments to the MiFID delegated acts include requiring
investment firms to consider the sustainability preferences of clients
in determining the suitability of products.
The Commission has proposed these preferences be defined in relation
to two types of financial products that are defined by the recently
adopted sustainable finance disclosures regulation (SFDR): so-called
Article 8 products that promote environmental and social characteristics
and Article 9 products that pursue sustainability objectives.
However, in its draft text the Commission argues that products in the
former category “do not necessarily achieve” a certain level of
sustainability and should therefore meet additional requirements if they
are to be deemed suitable for clients with sustainability preferences.
These additional limitations have provoked concerns among
stakeholders – the Investment Association said it had “serious”
concerns, the PRI said they were “substantial”.
EFAMA said it strongly rejected the Commission’s aforementioned
portrayal of Article 8 and that it was “essential” the EC change its
current proposals to ensure the final delegated acts were fully aligned
with the SFDR.
Andreas Stepnitzka, senior regulatory policy adviser at the European
asset management trade body, told IPE the Commission was giving its own
interpretation of Article 8 products.
“What we understood was that some people in the Commission didn’t
like where Article 8 has ended up after having been discussed with the
co-legislators,” he said. “In a way the Commission is not playing by the
rules.”
At Schroders, deputy head of public policy Elisabeth Ottawa assessed
the situation thus: “[T]he suggested additional requirements lack any
justification, are in conflict with the co-legislators’ will clearly
expressed in SFDR and the taxonomy regulation and limit investor’s ESG
product choice.
“Also, they will potentially confuse investors when confronted with
different categories/definitions of ESG products, depending on the point
of communication,” she said.
Sustainability boost questioned
Others focussed on the potential real world environmental and social implications of the Commission’s proposed definition.
In its feedback, Aviva said it saw incorporating sustainability into
suitability assessments as a “a key game-changer in investment
behaviour” but that the proposed definition, despite being an
improvement on that in earlier drafts, was too narrowly drawn.
“[It] may have the unintended consequence of undermining broader
policy aims of using financing to help as wide a part of the economy
transition into sustainable practices,” the insurer said.
“It fails to engage the wider role that financing can play in the
transition, through for example, stewardship, integration, or impact
investments,” it added. “The failure to engage client demand to finance
that wider range of activities overlooks the importance of creating
conditions that support investing to support the transition.”
The PRI argued that the “gold-plating” of Article 8 funds was
misguided, and reflected an inaccurate understanding of how individual
investors could influence outcomes in the real economy.
“In many cases, exposure to harmful activities is essential to
influencing environmental performance of underlying investee (for
example, through voting in support of adoption of meaningful climate
transition plans),” said the investor association.
“Stating that a client can only have a preference for a fund that
avoids all exposure to harmful activities would remove fund options that
may be better aligned with their preferences.”
NGOs echoed some of the aforementioned concerns. ShareAction, for
example, writing that “we fear that the provisions as they are could
lead to the promotion of exclusionary products only (based on negative
screening) and neglect the positive impact component of sustainable
investing”.
However, its diagnosis was that the problem lay not with the
definition of the potential product offering, but with the absence of a
more detailed framework for how to assess clients’ sustainability
preferences.
Think tank 2° Investing Initiative has been carrying out research on
retail investors and their sustainability preferences, and said it was
“unclear as to the rationale for limiting the pool of financial
instruments for a client’s preferences” in the way the Commission was
proposing.
“More crucially,” it said, “the current definition still fails to
identify the financial instruments sought by impact-oriented clients”.
The remedies suggested by the various stakeholders varied.
Aviva, EFAMA, the Investment Association and Schroders called for the
Commission to scrap the additional limitations on Article 8 products,
while 2° Investing Initiative suggested that the sustainability
preferences definition be amended to include an additional category of
financial instrument.
It defined this as “a financial instrument that “has as its objective
to positively impact the environment and society through a specific and
measurable contribution of the investor”.
The PRI, meanwhile, suggested scrapping the attempt to define a
client’s sustainability preferences in relation to fund categories and
to instead adopt a broader definition.
It recommended the following: Sustainability preferences means a
client’s or potential client’s choice as whether, to what extent and how
sustainability-related investment objectives should be reflected into
his or her investment strategy.
© IPE International Publishers Ltd.
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