EFAMA appreciates the opportunity to share our views on the European Commission’s consultation on enhancements to the suitability and appropriateness assessments forming part of the wider, upcoming Retail Investment Strategy.
The
suitability and appropriateness assessments are quintessential elements
in how financial advice is provided to (retail) investors across the
EU, balancing investor protection and the need of, in particular, retail
investors to access financial advice in order to participate in the
capital markets. Given their essential importance to the overall
financial health of EU citizens, we believe that this consultation
should sit at the end of a well-defined process. As these assessments
are well-established over a number of years, the first step in their
possible revision would be a thorough, objective and evidence-based
stock-taking analysis, clearly identifying their strengths but also any
potential weaknesses. Recommendations should be based on these outcomes
and properly consulted with stakeholders. This is crucial, as the
current consultation assumes weaknesses of the current system without
specific evidence and proceeds to provide apparent solutions.
Stakeholders must be given sufficient time (at least three months
instead of four weeks) to reflect on these proposals in order to provide
the European Commission with substantive, meaningful and helpful
comments and feedback.
The
importance of such a process is to guarantee that changes are not made
for the sake of ‘something new’ but rather provide meaningful and
tangible benefits for retail investors. Concrete benefits are paramount
given that the regulatory requirements for suitability and
appropriateness processes are in constant flux (with the ongoing ESMA
consultation on the integration of sustainability considerations into
the suitability process being a prime example), leading to sometimes
incremental, but more often substantial changes for the investors and
ongoing costs for the industry. We, therefore, are keen to ensure that
the implementation costs triggered by these changes make a real
difference to (retail) investors and result in an increase of retail
participation in the capital markets – a goal strongly subscribed to by
EFAMA.
Due
to the short deadline for response of four weeks, we could not properly
collect all members’ feedback in line with our governance requirements
and hence could not complete the online survey in time. We, therefore,
wish to submit our preliminary comments below.
In any case, due to the complexity of the issues at hand and the inherent follow-up questions (see below), EFAMA and its members cannot provide any substantial assessments at this stage. We can only ask the European Commission to carefully consider our questions and continue the public engagement with stakeholders
to ensure a better understanding of the newly proposed concepts. This
open dialogue should ensure that stakeholders, including EFAMA, can
provide more meaningful feedback on the proposal’s potential and impact
soon. In the meantime, we stand ready to discuss any of our comments in
further detail.
EFAMA
© EFAMA - European Fund and Asset Management Association
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