The ESAs informed the Commission that one of their Supervisory Boards did not approve the draft level 2 regulatory technical standards (RTS) for the Delegated Regulation on key information documents (KID) for packaged retail and insurance-based investment products (PRIIPs).
In a letter to the European Commission’s Directorate
General in charge of Financial Stability, Services and Capital Markets Union
(DG FISMA) dated 20 June 2020, the European Supervisory Authorities (ESAs)
informed that one of their respective Supervisory Boards did not approve the
draft level 2 regulatory technical standards (RTS) for the Delegated
Regulation on key information documents (KID) for packaged retail and
insurance-based investment products (PRIIPs). This impasse is due to
disagreements among the chairs of various national supervisory authorities
related to differing views on both the necessity of first undertaking the Level
1 review before the level 2 one, and the design of the performance section of
the KID document.
BETTER FINANCE regrets that such
a long period (2 years) of intense stakeholder consultations and consumer
testing by the ESAs and DG FISMA has finally resulted in a rejection of the
draft level 2 amended rules, but is not surprised. As mentioned on many
occasions, the main issues surrounding PRIIPs can only be addressed at Level 1
by the co-legislators, as highlighted by the ESAs themselves. In light of this
rejection and in line with the recommendation put forward in the Final Report of the High-Level
Forum of the Capital Markets Union,
BETTER FINANCE urges the co-legislators to immediately extend the current
exemption for Undertakings for the Collective Investment in Transferable
Securities (UCITS) from the requirement to produce the PRIIPs KID, at the very
least until Level 1 and 2 reviews are fully completed.
Any review should start with Level
1, not the other way around. As increasingly obvious from evidence put forth by
stakeholders and National Competent Authorities (NCAs) and as proposed by the
ESAs, the review should urgently reinstate the requirement to include actual
long-term past performance compared to the manager’s benchmark as is currently
the case for Key Investor Information Document for Undertakings for the
Collective Investment in Transferable Securities (UCITS KIID), in the PRIIPs
KID performance section.
Guillaume Prache, Managing
Director of BETTER FINANCE, highlights the fact that "the current
layout and content of the PRIIPs KID is highly questionable for consumers. The
ESAs have been caught in the middle of a crossfire of diverging views from
stakeholders, consumers, decision-makers and national supervisory authorities".
“On the other hand”, Prache says, “there may
actually be a silver lining to this unfortunate delay, as this rejection of the
PRIIPS RTS by the ESAs’ Joint Committee may very well represent an opportunity
to carry out a much-needed review of Level 1 and 2 PRIIPs regulations, provided
that the exemption for UCITS funds is extended beyond the completion of this
review, as strongly recommended last month by the HLF CMU set up by the EC
itself ”.
He
adds that he is also “pleased to see that many amendments proposed or backed
by BETTER FINANCE could count on the support from a qualified majority at the
European Banking Authority (EBA) and the European Securities and Markets
Authority (ESMA)”.
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