We commend the swift progress made by the French Presidency in this regard and its thorough approach to the review. The initial proposal of the Commission was designed as a targeted review of a well-functioning framework, an approach which the Council has continued and carried through in its report.
The Council’s proposed amendments
serve as a recognition of the resilience and efficacy of the existing
framework while proposing key improvements which we believe will make
strides in ensuring the achievement of the CMU goals and supporting the
growth of a stronger and more inclusive European economy.
More specifically:
Liquidity Management Tools – EFAMA
fully supports the Council’s decision to maintain the central role of
the asset manager in the management of liquidity risk.
As noted by Tanguy van de Werve, EFAMA Director General: “In
recent years, asset managers have ensured the resilience of their funds
to severe shocks caused by disturbances in the real economy.
Strengthening their toolkit with a broader range of liquidity management
tools is the best means of improving both investor protection and
financial stability for the future.”
We wholly
commend the recognition given by Council to the dangers of trying to
predict and prescribe the management of liquidity risk, particularly in
light of the heterogenous nature of investment funds and the
unpredictability of the risks they face. Substituting the knowledge and
discretion of an asset manager for that of a third party or requiring
the automatic triggering of a given LMT in a pre-defined situation would
risk giving rise to procyclical effects which ultimately undermine
investor protection and the stability of the financial system as a
whole.
Delegation and Outsourcing – EFAMA
is supportive of the Council’s decision to exclude distribution from
the scope of the delegation regime and to remove the annual notification
by NCAs to ESMA. As regards delegation reporting, EFAMA nonetheless
recommends to the co-legislators to harmonise the notifications to NCAs
foreseen under Articles 20 AIFMD / 13 UCITS instead of introducing
supervisory reporting requirements as is currently the case. Moreover, a
more in-depth discussion is warranted on the necessity of including
quantitative information in the supervisory reporting regime, such as
for instance the level of assets subject to delegation arrangements, as
asset managers already provide – and will continue to provide –
information on the level of substance they maintain in their home
jurisdictions.
Loan-originating funds – EFAMA
expresses concern with the Council’s decision to maintain
product-specific rules in what is designed to be a managers’ directive.
In particular, the creation of a separate leverage limit applicable to
any fund which originates a loan creates a cliff-edge effect which fails
to have regard to the purpose and source of leverage and the extent and
purpose for which the fund engages in loan origination. The inclusion
of carve-outs designed to exclude real estate and private equity funds
exemplifies the need for a nuanced approach to this topic which is
ill-suited to Level 1 legislation. EFAMA firmly believes the existing
leverage limit, which is subject to regular monitoring by the relevant
NCAs, is best suited to address any risks and can, if necessary, be
supplemented by ESMA guidance. We welcome the proposed revisions made to
allow for open-ended loan originating funds and to the risk retention
requirement, though we continue to question the rationale for these
requirements in light of existing rules applicable to all asset classes.
Depositary passport - Finally,
we fully support the Council’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. We also
welcome the decision of the Council to require AIFM to prove the lack of
relevant depositary services in its own Member State, before taking
advantage of the appointment of a depositary in another jurisdiction.
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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