Insurance Europe: ESAs' proposals for ES disclosure templates would not improve transparency for consumers
20 October 2020
Insurance Europe has today published its response to a survey by the European Supervisory Authorities (ESAs) on their proposals for disclosure templates for environmental and/or social financial products.
Europe’s insurers support the goal of improving the participation of
consumers in the green transition by ensuring that they receive clear
and understandable information on environmental and/or social financial
products. Disclosures must be designed to be of the maximum value for
consumers and developed with the end-user experience in mind.
Unfortunately, the ESAs’ proposed templates are neither
consumer-friendly nor digital friendly. In particular, the templates are
difficult to understand, too long and risk duplicating information
contained in other documentation that is already provided to consumers.
This will result in unnecessary information overload and will undermine
consumer understanding.
In addition, the prescriptiveness of the templates does not allow
manufacturers to adapt the information to different product features and
existing national practices. This will result in poor comparability
between single product types, and even worse comparability across
multiple product types.
For these reasons, Insurance Europe recommends that the ESAs:
- Focus on disclosure content that is really meaningful to
consumers rather than on the format and presentation of the disclosures –
Should the ESAs pursue the introduction of templates, their use should
be optional so that financial market participants are able to deliver
clear and reliable information to consumers accordingly.
- Make use of a more comprehensive testing of end-users’ needs and
preferences before proposing new customers’ disclosures – More
consideration should be given to consumers’ real needs and to the
quantity of documents that they already receive based on other
legislation, including national provisions.
- Provide clarity on how to address the current implementation
challenges – The ESAs will not finalise their proposals for templates,
as well as the overall Sustainable Finance Disclosure Regulation (SFDR)
Level 2 provisions, before the end of January 2021, little over a month
before the current deadline for implementation of the SFDR. Clarity on
how to address these implementation challenges in terms of deadlines and
contents of the new measures for sustainability-related products is
urgently needed.
Overall, it is key that the disclosure framework reflects market
reality, is workable across product types and delivers clear and
understandable sustainability-related information to customers. This is
equally important at product as well as at entity-level.
response
Insurance Europe
© InsuranceEurope