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MiFID, Lamfalussy and Convergence: Where Next

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23 Member States have notified the transposition of Level 1 and Level 2: ... Microsoft, Deutsche B rse, Chi-X, Project Turquoise, Project Boat to name a few ... – PowerPoint PPT presentation

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Title: MiFID, Lamfalussy and Convergence: Where Next


1
MiFID, Lamfalussy and Convergence  Where Next?
  • CEI SUMMIT ECONOMIC FORUM
  • Sofia 20 November 2007
  • Hannes Huhtaniemi
  • European Commission, DG MARKT

2
Overview
  • MiFID
  • Transposition update
  • Enforcement
  • Late transposition and the passport
  • Gold-plating
  • MiFID Reports
  • Other initiatives
  • Beyond FSAP
  • Dynamic consolidation
  • Better regulation
  • Targeted new initiatives
  • Supervisory convergence
  • The global dimension

3
MiFID Transposition update
  • 23 Member States have notified the transposition
    of Level 1 and Level 2
  • Still to notify (L1 and L2) CZ, ES, HU, PL
  • ?a few incomplete notifications
  • ?verification ongoing

4
(No Transcript)
5
Enforcement
  • Infringement proceedings have been launched and
    continue against Member States for late
    transposition
  • Commissioner has also personally written to
    finance ministers to urge high priority
  • Lamfalussy league table name and shame shows
    those who have and havent transposed
  • Business lobbying also important to maintain
    pressure on transposition

6
Late transposition and the passport
  • CESR issued practical arrangements in October to
    facilitate the continuity of the passport
  • No major issues for firms based in MSs that
    transposed on 1 November
  • More issues for firms based in MSs that transpose
    after 1 November
  • Validity of the passport?
  • Limited to ISD business wont cover investment
    advice, commodity derivatives business
  • For services and branches, host MSs have the
    ability to apply precautionary measures via
    Article 62 of MiFID

7
Gold-plating
  • Article 4 of Level 2 Directive imposes strict
    limits on gold plating by Member States
  • additional requirements can be imposed by a MS
    only if objectively justified and proportionate
    to address risks to consumer protection or market
    integrity not adequately addressed by L2
    Directive
  • Of particular importance in the circumstances of
    the market structure of the MS concerned or
  • emerge/become evident after Nov 2007 and not
    otherwise regulated by EC law.
  • Level 1 allows for national discretion
  • Regulation is generally fully harmonising

8
Gold plating cont.
  • So far, UK and IE have notified measures
  • UK softing unbundling, menu, IDD, etc.
  • Discussions led to significant cut-back in
    notified items/repackaging of rules as
    non-binding guidance
  • IE client asset rules
  • We rigorously examine justifications given
  • Notifications published on our website and
    updated where appropriate

9
Industry changes
  • We are very pleased with market developments so
    far
  • Announcements from SIA, Equiduct, LSE, ITG
    Europe, Euronext, Microsoft, Deutsche Börse,
    Chi-X, Project Turquoise, Project Boat to name a
    few
  • Changed, more competitive game
  • Not a single big bang event
  • Already having major impacts
  • Market structure will continue to evolve
    post-MiFID
  • Level of awareness differs between regions and
    sectors
  • The winners will be those who see MiFID as a
    strategic opportunity and not just a compliance
    issue
  • Those who fail to adapt and prepare themselves
    for greater competition will be the losers

10
Evaluation MiFID Reports
  • Non-equities transparency Whether to introduce
    mandatory transparency for (certain) non-equities
  • ?Final report under preparation (planned Q1
    2008)
  • Commodities markets Review of exemptions for
    commodities business
  • ?Final report Q4 2008
  • Other topics
  • Transparency II review of delay tables,
    availability of execution quality data, etc.
  • Tied agents review
  • Article 4 review
  • Telephone recording review

11
Other initiatives
  • MiFID QAs
  • Vade-mecum on MiFID and funds
  • Assistance to CESR Level 3
  • Guidelines, communications etc
  • Work on substitute products

12
Supervisory convergence
  • The problem
  • Market integration
  • Companies are integrating
  • National supervisors/national practices
  • The objective
  • Closer cooperation
  • Tangible convergence of supervisory practices
  • Streamlining of reporting formats
  • Elimination of any redundant reporting
    requirements

13
Supervisory convergence cont.
  • A solution?
  • Make the Lamfalussy architecture work better
  • European supervisory culture
  • Exchange of staff/training programs
  • Supervisory structure??
  • Discussions in different fora
  • Council FSC, ECOFIN
  • IIMG
  • Commission Lamfalussy review

14
International dimension
  • Why ?
  • Globalisation trade, investment and capital
    movement are booming
  • More efficient global allocation of capital
  • Avoid spillover effects of legislations
  • Promote EU regulatory model
  • Support global expansion of EU FS industry
  • Convergence towards international standards
  • Have an offensive position in multilateral or
    bilateral negotiations

15
International dimension cont.
  • How ?
  • Informal regulatory dialogues Commissioner and
    DG level
  • With Min Fin, Central Banks and regulatory
    agencies
  • US Started in 2003 with SEC, FED and Treasury
  • SOX, deregistration, reinsurance collateral
  • Basel II, audit et accounting
  • Japan et China started in 2005
  • Russia et India started in 2006

16
Mutual recognition
  • G7/G8, SEC have both raised this possibility
  • We are strongly supportive, so long as our red
    lines are maintained
  • Open and transparent criteria for granting of
    market access
  • COM plays the leading role for EU
  • EU States to grant market access only to
    firms/exchanges from comparably regulated
    jurisdictions
  • EU rules apply to EU financial markets
  • No regulatory spill-overs
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