The Commissioner for Financial Services Policy should define and promote a vision for a sustainable global financial regulatory and supervisory order...should lead in setting the international agenda and build global credibility by driving the corresponding “domestic” (ie EU) reforms at home.
KEY PRIORITIES
Priority 1: Create a robust and
enforceable international institutional architecture for the oversight
of firms that are critical to global financial infrastructure and system
integrity
The ongoing (and ostensibly unstoppable)
shift to a more multipolar financial system implies that the current
setup, based on informal global coordination, will be increasingly unfit
for the oversight of a limited number of internationally critical
firms. The category includes critical financial information providers
and gatekeepers such as audit networks, ratings agencies, trade
repositories, some actors that may be emerging from the use of new
technologies such as distributed ledgers, and perhaps internationally
critical clearing houses. Banks, being ultimately tied to their currency
areas and monetary policies, should not be included within that scope.
Such internationally critical firms should
come under binding (ie, treaty-based) supranational legal and
supervisory regimes, ensuring a common basis for trust and cross-border
activity. Whether the geographical scope of such regimes should be fully
global (eg, leveraging the existing framework of the Bank for
International Settlements) or plurilateral (eg, bringing together the
home jurisdictions of a critical mass of major international financial
centres and firms) must be assessed on a case-by-case basis.
Priority 2: Streamline European
representation in existing international financial regulatory bodies to
enhance their global acceptance, not least by non-Western and emerging jurisdictions
The European Union and especially the euro
area is indefensibly overrepresented in bodies such as the Basel
Committee on Banking Supervision (BCBS) and the Financial Stability
Board (FSB), not to mention the shareholding structure of the Bank for
International Settlements. That representational imbalance is slowly
undermining the legitimacy and effectiveness of these bodies, and the
way European countries “hog the seats” reflects poorly on them too. You
may attempt to negotiate their rebalancing against something useful, but
the truth is that even a unilateral reduction of European
overrepresentation would be in the European interest so that these
bodies can retain and further develop their international relevance and
authoritativeness.
To illustrate the point, the European
Union represents 36 percent of the BCBS jurisdictions, 29 percent of
BCBS members, 26 percent of FSB members, and 32 percent of members of
the FSB Steering Committee. The corresponding figures for the United
States are respectively 4, 9, 5, and 13 percent; and for China
(including Hong Kong), 7, 7, 7, and 3 percent.
The BCBS is a particularly glaring case
since supervisory policy is no longer set at the national level in the
euro area, and thus the individual full membership thereof of no fewer
than seven euro area countries (in addition to the European Central Bank
and Single Supervisory Mechanism) has lost any justification other than
inertia and incumbency.
In the same vein, you could also promote
symbolically significant relocations of currently Europe-based
organisations, eg, the FSB secretariat, to suitable alternative
locations in Asia such as Singapore or Tokyo.
Priority 3: Lead by example by making the European Union fully compliant with relevant international standards
The existing European lapses of compliance
have more downsides, in terms of loss of credibility for the global
standard-setting bodies and loss of European influence within these,
than upsides in terms of better European regulatory outcomes. In fact,
full compliance would arguably be an improvement to the European
regulatory framework irrespective of the positive international
spillovers. The scope for this includes full compliance with the Basel
III global accord as set by the BCBS and phasing out the lingering EU
“carveouts” from International Financial Reporting Standards.
You should also foster effective and
consistent global implementation of new standards, such as critical data
elements for over-the-counter derivatives as defined under the
Committee on Payments and Markets Infrastructure and the International
Organisation of Securities Commission.
Priority 4: Create a seamlessly integrated euro area financial system by completing the banking union and capital markets union
This is of course your number one
“domestic” (intra-EU) policy priority, but it also has positive global
implications. It is the central condition for strengthening the
international role of the euro and hedging against the risk of abusive
weaponisation by the United States of the dollar’s dominance, eg, with
financial sanctions. Fortunately, the agreement reached in 2020 on the
NextGenerationEU recovery plan establishes Union bonds as a new bedrock
for the European financial system and an acceptable instrument for risk
sharing. As the consequences of this new reality gradually sink in over
the next years, they can be expected to alleviate the political
obstacles to completing the banking union, which itself is the key to
fulfilling the vision of the capital markets union.
Priority 5: Establish a credible policy framework for Anti–Money Laundering (AML) supervision in the European Union
You should prioritise this issue of EU
reform because policy momentum has been (sadly) created by the
revelation since 2018 of major shortcomings of the existing framework,
which is based on national implementation of the European Union’s five
successive AML directives. You should accelerate proposals for an
integrated system in which a new European AML supervisor is empowered to
directly supervise (and impose financial penalties on) firms it deems
most risky, while being incentivised to redelegate to the national level
AML supervision of firms and sectors it deems lower-risk in line with
the EU principle of subsidiarity.
Constructive cooperation with the
United States and China would help on all these matters, but you should
not be shy about global initiative and leadership. The United
States is likely to be absorbed by domestic priorities for the
foreseeable future, and in China (including Hong Kong) policy processes
are likewise dominated by domestic stability concerns. There is a strong
alignment between the European Union’s commitment to a sustainable
international order for financial services and the aspirations of other
jurisdictions such as Australia, Canada, Japan, Singapore, Switzerland
and the United Kingdom, to name only the most significant from a global
financial system standpoint. Even on matters where unanimity is out of
reach, the European Union is best placed to catalyse critical mass
coalitions that could move joint projects and actions forward.
Bruegel
© Bruegel
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