EFAMA: No need for fundamental reform of EU Money Market Funds Regulation

02 July 2021

According to the association, European MMFs continued to meet redemptions throughout 2020, even though liquidity management proved challenging for all market participants in March 2020.

The European Fund and Asset Management Association (EFAMA) has today published its response to the ESMA consultation on the legislative review of the EU Money Market Fund Regulation (MMFR).

 

Generally, EFAMA sees no need for a fundamental reform of the EU MMFR. According to the association, European MMFs continued to meet redemptions throughout 2020, even though liquidity management proved challenging for all market participants in March 2020. Moreover, European MMFs have provided a high-quality, well-diversified and liquid investment option at a time when markets underwent considerable stress, while offering both investors and regulators complete transparency around funds’ portfolio holdings and liquidity levels.

 

European fund managers entered the pandemic with very prudent fund liquidity levels, helped by the “know your customer” provisions in the MMFR and the anticipation of quarter-end seasonal outflows.

 

EFAMA insists that any reform of the EU MMFR regime needs to be carefully assessed to preserve the intermediary role that MMFs play in short-term money markets, as they continue to offer a critical alternative to traditional bank financing.

 

ESMA’s preparatory work on the review of the MMFR is a well-timed effort to contribute to a broader debate on MMF reform options, particularly, with the international standard-setting bodies IOSCO and FSB, who in turn have launched a consultation addressing MMF reform options yesterday.

 

Federico Cupelli, Senior Regulatory Policy Adviser at EFAMA comments: “We insist that the money market fund reform efforts in Europe and globally remain fact-based and do not lose sight of the importance of a functioning underlying secondary market structure where short-term securities are traded. Reform efforts should, for instance, focus more on incentivising liquidity provisions by bank dealers during periods of heightened stress, avoiding a dominant focus on the buy-side. Otherwise, we risk reducing the number of alternative sources of financing to banks, to the detriment of issuers and investors.”

 

Looking at the options presented in the ESMA consultation document, EFAMA highlights the following:

 

 

The EFAMA report on MMFs is available here. EFAMA also produced a special Market insights on MMFs.

EFAMA


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