EFAMA welcomes the Draft report published today by MEP Isabel Benjumea, Rapporteur for the AIFMD and UCITS reviews, as an important milestone towards ensuring accessibility of capital in Europe, providing incentives to ensure growth and promoting a safe and stable environment for markets and investors.
The
draft report largely validates and usefully complements the
Commission’s legislative proposal which already provided a strong
starting point to ensure targeted improvements are made to enhance the
efficacy of the current frameworks as a means of advancing the goals of
the Capital Markets Union.
More specifically:
Liquidity Management Tools – EFAMA
is pleased to note the recognition given in the draft report to the
primary role of the asset manager in liquidity risk management.
Tanguy van de Werve, EFAMA Director General, said: “Recent
crises have shown that they may be difficult to predict, including
their impact on investment funds. It would be detrimental to investor
protection and financial stability more broadly to attempt to replace
the informed discretion of the asset manager with that of an external
party.”
We
remain firmly convinced that the decision as to whether a particular
liquidity management tool (LMT) should be activated and when must remain
that of the asset manager and that prescriptive rules as to when a
particular LMT may be triggered – as per a future delegated act – must
be avoided at all costs to prevent against procyclical effects.
Delegation and Outsourcing – Delegation
is rightfully identified by the Rapporteur as a beneficial practice for
asset management companies and their investors. EFAMA welcomes the
clarifications brought to the scope of the delegation regime and will
study closely the proposition made by MEP Benjumea to replace the
delegation notification to ESMA with delegation-related supervisory
reporting requirements. The references to asset managers having to
determine whether their portfolio and/or risk management functions are
fully or only partially delegated may warrant some caution.
Loan-originating funds – EFAMA
shares the Rapporteur’s view that loan origination by funds can provide
an important source of funding to the European economy which will be
critical to achieving the CMU goal of a green, digital, inclusive and
resilient economic recovery. It is important to ensure that the proposed
rules support rather than hinder this goal. As per the Rapporteur’s
draft report, the AIFMD “is not a directive regulating specific
investment products”. Legislating for product-specific rules would
fundamentally alter the framework, affecting existing business models
and creating anomalies between asset classes. Creating, for example, a
class of non-divestable assets would interfere with the portfolio
management function to the detriment of end-investors and we support the
Rapporteur’s proposal to delete this requirement.
Depositary passport - Finally,
we fully support the Rapporteur’s decision to not introduce a
depositary passport in the revised AIFMD regime. The requirement for the
depositary to share the same domicile as the fund should be preserved
as it represents an important safeguard for investor protection.
EFAMA
looks forward to continuing our engagements with the EU co-legislators,
maintaining its key messages as set out in our position paper, Tweaking the AIFMD/UCITS Framework.
EFAMA
© EFAMA - European Fund and Asset Management Association
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