...warning that the Frankfurt-based authority is taking a level of EU harmonisation too far, that it involved a confusing re-definition of defined contribution (DC) schemes, and that its ideas could be too costly.
Groups representing pension funds and providers in
Europe have responded in detail to draft supervisory guidance published in
April by the EU’s pension fund supervisor, including by warning that the
Frankfurt-based authority is taking a level of EU harmonisation too far, that
it involved a confusing re-definition of defined contribution (DC) schemes, and
that its ideas could be too costly.
The European Pensions and Occupational Pensions
Authority (EIOPA) published two draft opinions on 22 April this year – one on
the supervisory reporting of costs and charges and another on the supervision
of risk assessment by DC schemes.
EIOPA’s Occupational Pensions Stakeholder Group
(OPSG), an official body including representatives from pension funds, lobby
groups as well as academics, umbrella group PensionsEurope as well as its
insurance equivalent Insurance Europe, have all produced responses to one or
both of the consultations, which ended last week.
Regarding the opinion on the supervision of long-term
risk assessment by IORPs providing DC schemes, the OPSG said the IORP II
directive did not require a quantitative assessment of the operational risk,
adding: “Therefore an opinion of EIOPA on this subject goes beyond the scope of
IORP II.”
“Furthermore, it’s up to the IORP to determine if
there is a need to use pension projections to complement the ongoing risk
management or to use other risk management techniques which are equally
suitable for the aforementioned purpose,” it said.
The OPSG made these comments in response to a question
from EIOPA about the draft opinion’s focus on the quantitative elements in
operational risk management and long-term risk assessment from the perspective
of members and beneficiaries.
Defining DC
Elsewhere in its feedback, the OPSG said it strongly
objected to the introduction of a new definition of DC schemes in the draft
opinion.
EIOPA had canvassed responses to the scope of
application of the DC-related opinion, which it proposed take in all IORPs
providing schemes where members and beneficiaries bore material risks, rather
than restricting itself to those providing schemes where members and
beneficiaries bore all risks.
“Any scheme
where the IORP or the sponsoring undertaking offer a guarantee is under all
international definitions a DB [defined benefit] plan and should continue to be
considered as such,” the OPGS said, adding that a new definition would only
introduce confusion.
PensionsEurope and Insurance Europe also objected to
what they saw as EIOPA’s broader definition of DC.
“The opinion
should adopt the current internationally recognised understanding of DC scheme,
i.e. only applying to schemes where members and beneficiaries bear all risks,”
PensionsEurope wrote.
Insurance Europe said the definition would have
far-reaching consequences, while bringing no added value to supervisory
authorities or to IORP members and beneficiaries.
“On the
contrary, it would create unnecessary additional costs and compliance burdens
because DC IORPs are already subject to comprehensive regulation and
supervisory scrutiny both at national and European level,” it said.
Costs concerns
Scrutinising EIOPA’s consultation on the draft opinion
on the supervisory reporting of costs and charges of IORPs, PensionsEurope said
it agreed costs were a key issue when considering the value for money that
schemes delivered, but warned the authority its powers were limited.
“The IORP
Directive takes a minimum harmonisation approach to accommodate the differences
in SLL [member state social and labour law], which shape occupational pensions,
as the EU legislator considered that there is only limited need for supervisory
convergence in the pension field,” it said.
The pensions umbrella lobby also said it was
“critical” that EIOPA considered and respected the heterogeneity of this
sector.
IPE
© IPE International Publishers Ltd.
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