It is deeply regretful that the EIOPA BoS has chosen to push forward with these flawed changes.
Following the European Insurance and Occupational Pensions
Authority’s (EIOPA) board of supervisors' (BoS) approval of changes
proposed by the European Supervisory Authorities (ESAs) to the key
information document (KID) for packaged retail and insurance-based
investment products (PRIIPs), William Vidonja, head of conduct of
business at Insurance Europe, commented:
“It is deeply regretful that the EIOPA BoS has chosen to push forward
with these flawed changes. While 75% of PRIIPs are insurance-based, the
changes only seek to facilitate the application of the PRIIPs KID to
Undertakings for Collective Investment in Transferable Securities
(UCITS), and will make the PRIIPs KID significantly worse than it is now
for consumers buying insurance-based products.
“The EIOPA BoS has chosen to approve a set of proposals that are
identical to those that it had previously rejected in July 2020.
Europe’s insurers are therefore interested to find out how the BoS has
determined that the new proposals could benefit consumers in a way that
the others could not.
“To be clear: the ESAs’ proposed changes to the PRIIPs KID will not
work or deliver any benefits for consumers buying insurance-based
products. The proposals will in fact make the PRIIPs KID much more
complex, confuse consumers and further undermine their understanding of
insurance-based investment products, as well as their trust in the
information they receive. For example, the proposals include a
presentation of performance that mixes past and future performance, as
well as new indicators that make the different sections of the KID
inconsistent.
“The Council of the EU and the European Parliament must therefore
stop these ill-judged changes and call on the European Commission to
address the shortcomings of the KID as part of the overall Level 1
PRIIPs framework review, based on a thorough impact assessment and
consumer-testing. The recently launched Commission study on distribution
and disclosures would provide a solid basis on which to rethink the
approach on PRIIPs.”
Insurance Europe
© InsuranceEurope
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