In essence, we see no need for a fundamental review of the MMFR regime. Its resilience has been proven throughout the March 2020 market correction, with European MMFs continuing to meet redemption requests, despite evident liquidity stresses in the underlying money markets.
Important to recognise is the
fact that on such occasion there were also no recorded instances of
public debt constant net asset value (CNAV) funds, or low volatility net
asset value (LVNAV) funds, having to activate fees, gates or
suspensions; and for LVNAV funds, none had to convert to temporary
variable pricing.
Since
the entry into application of the MMFR in 2018, European MMFs have
provided a high-quality, well-diversified and liquid investment option
at a time when markets underwent considerable stress, offering both
investors and regulators complete transparency around funds’ portfolio
holdings and liquidity levels. In this regard, EFAMA notes that any
reform of the MMFR regime needs to be carefully assessed to preserve the
intermediary role that MMFs play in short-term money markets, as they
continue to offer a critical alternative to traditional bank financing.
In this regard, it is critical that the (LVNAV) fund structure be
preserved.
Worthy
of the European Commission’s attention is nevertheless the clear
regulatory link that exists for public debt CNAV and LVNAV funds between
breaches of their liquidity ratio and the potential activation of
liquidity management tools. We consider that the removal of such link in
the Regulation could to a large extent mitigate the risk of a
“first-mover advantage” and lessen redemption pressures for managers
during times of stress.
Among the proposals to
reform the MMFR recently tabled by European bodies, EFAMA opposes the
ESRB’s recommendations to increase existing MMF liquidity requirements,
as well as the notion of a mandatory additional public debt buffer. We
also believe that the existing liquidity requirements should not be
changed, considering the abundant evidence that these have never been
breached.
Lastly, in terms of liquidity management tools, we emphasise
that redemption fees remain the most appropriate to consider for all
types of MMFs. Their activation, as well as of that of other liquidity
management tools, should however not be prescribed ex ante through a delegated act (as per ESMA’s February 2022 Opinion).
As the pandemic-induced market events have demonstrated, market shocks
are often unforeseeable and prescriptive solutions will only make
liquidity management more challenging. Moreover, a prescriptive
definition of “stressed market circumstances” to be sanctioned by
supervisors only risks re-introducing the likelihood of regulatory
“threshold effects” the same MMFR reform is designed to remove.
EFAMA
© EFAMA - European Fund and Asset Management Association
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