Insurance Europe appreciates the fact that EIOPA acknowledges many of the challenges insurers face in adapting to the new regime. In particular, insurers face significant difficulties regarding access to data and incoherent timelines in the overarching legislation.
Insurance Europe has published its response
to a consultation by the European Insurance and Occupational Pensions
Authority (EIOPA) on the integration of sustainability preferences in
the suitability assessment.
The approach taken by EIOPA is, however,
considerably less flexible than that taken by the European Securities
and Markets Authority (ESMA). The current Level 1 and 2 rules on the
suitability assessment work well in practice: while providing robust
rules on the content of the assessment, they are also sufficiently
abstract to adapt to different customers, products, and situations. By
contrast, overly detailed provisions can create more practical and legal
difficulties than they resolve. This risk is especially high for new
rules that have not yet been tested. It is essential that guidelines
leave distributors enough room for manoeuvre to allow for pragmatic and
efficient implementation across different EU markets. The aim must
always be to help the customer, not to steer them towards specific
products or objectives.
EIOPA should, therefore, reevaluate the
proposed guidelines with a view to removing overly granular and
prescriptive requirements to keep the assessment of the sustainability
preferences as simple and accessible as possible. The aim should be to
give guidance, but without detailed requirements that benefit neither
insurers nor customers. Wherever possible, EIOPA should replicate the
flexibility of some ESMA guidelines by using ‘could’ instead of ‘should’
if appropriate. Given the similarities in the Level 2 Regulation,
divergence introduced solely at Level 3 is not justified.
At
the same time, the industry wishes to highlight the difficulties it will
face in implementing such extensive guidelines in such a short
timeframe. Technical implementation, data availability, the
classification of funds and the application to multi-option products are
significant challenges that require more time. To align the guidelines
with the application date of the Sustainable Finance Disclosure
Regulation, they should apply from 1 January 2023, with implementation
undertaken on a best-efforts basis until then.
Insurance Europe
© InsuranceEurope
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