A new study ‘Setting EU CCP policy – much more than meets the eye’, now calls for a long-term vision for the future of the European clearing market, by taking financial stability, efficiency, and market development objectives into account.
More
than EUR 3.2 trillion notional outstanding of interest rate swaps
(IRS), the most active interest rate derivative (IRD) product, are
cleared every day in the City of London, including around 94% of all
euro-denominated IRS that are traded globally. Brexit has naturally
raised questions around whether London’s central role can continue.
- In the short-term, the best way forward to address EU concerns about
the exposure of EU firms to UK central counterparty clearing houses
(CCPs) is to implement appropriate supervisory and regulatory co-operation.
EMIR 2.2 foresees ‘adequate’ cooperation between the EU and the UK and
allows for hands-on supervision of UK-based systemically important CCPs
by European Securities and Markets Authority (ESMA).
- Any new supervisory structure needs to be given time to function
properly before more radical changes are introduced, given the
significant potential negative consequences for EU firms. A policy to
further develop central clearing in the EU should be part of a clear
long-term strategy in the context of the Capital Markets Union (CMU), be market-driven and, again, be given the appropriate time to mature.
- The alternative, to abruptly restrict EU firms’ access to London,
cannot be easily achieved and would result in clear collateral damage
for EU banks and end users, put EU banks at a clear competitive
disadvantage vis-à-vis it’s international counterparts and
unnecessarily harm the EU economy. To avoid such a situation, this
report provides valuable analysis and insights to help EU policymakers
make the right decisions to ensure that EU financial markets remain
open, global and attractive, while strengthening the international role
of the euro.
Apostolos Thomadakis
Karel Lannoo
CEPS
© CEPS - Centre for European Policy Studies
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