EuroInvestors reply to the EIOPA consultation on the Report on Good Practices for Disclosure and Selling of Variable Ann...

EuroInvestors reply to the EIOPA consultation on the Report on Good Practices for Disclosure and Selling of Variable Ann...

03/01/2012 The European Federation of Investors (EuroInvestors) welcomes the opportunity to comment on the draft proposal for EIOPA's Report on Good Practices for Disclosure and Selling of Variable Annuities (the “Report”). Firstly, EuroInvestors regrets that the questions for public consultation raised in this report are clearly targeted to the insurance industry and insurance distributors, and not to customer organizations. This is maybe due to a certain lack of representatives of customer organizations in the EIOPA stakeholder groups and task forces that have written this report and made the preceding studies. We hope and very strongly recommend EIOPA to involve more representatives of customer and savers organizations in its expert groups and committees following the example of the other European bodies. Secondly, we consider that VA products should be classified as PRIPs as should be all other more “traditional” classical and with profit life insurance products. There should be no difference of treatment or disclosure between those products which are purchased for investment or retirement purposes. In fact VA products offer a different approach from that of these traditional products, but the same objective of providing benefits for retirement. It is therefore very important to ensure a good level of comparability between these products when advising to the client and they should not be subject to significantly different rules. Therefore, we consider that EIOPA's recommandations for VA products concerning products features, costs transparency, level of products charges, selling practice and intermediary due diligence, apply also to the other traditionnal life and annuities products. Nevertheless, we want to stress that VA products are very complex in the sense that they incorporate (or are a mix of) two different categories of life insurance products: traditional with profit or unit-linked on one hand and annuities on the other hand. It is therefore very important that these products should be sold only on an independent advise basis and that the risks inherent to these products in terms of negative real performance, consumption of capital at the beginning of the payoff period, if any be very clearly stated. In order to insure a satisfactory level of fairness and accuracy we would welcome the use of independent experts, actuaries or financial experts, who would assess the merits of these products for a small investor according to some predefined objectives. The EuroInvestors' reply is to be found also on the following EIOPA's website: https://eiopa.europa.eu/consultations/consultation-papers/2011-closed-consultations/october-2011/report-on-good-practices-for-disclosure-and-selling-of-variable-annuities/index.html.

Position paper:
CP11-007_Comments_EFI1326295868.pdf

Read more ...

Euroshareholders' reply to the ESMA Call for evidence on Empty Voting

Euroshareholders' reply to the ESMA Call for evidence on Empty Voting

25/11/2011 Euroshareholders welcomes the call for evidence on Empty Voting launched by ESMA. The whole issue of voting rights and who can and cannot exercise them is of vital concern to Euroshareholders, our member organizations and all European individual shareholders, as it is one of the issues harming shareholder engagement and therefore good corporate governance.

Position paper:
ESH reply ESMA call for evidence on Empty Voting1322236744.pdf

EuroInvestors reply to the EC Consultation on the Social Business Initiative: Promoting social investment funds'

EuroInvestors reply to the EC Consultation on the Social Business Initiative: Promoting social investment funds'

14/09/2011 EuroInvestors welcomes the European Commission's consultation on Social Investment Funds. As far as retail investors are concerned, similar retail funds already exist throughout Europe, like the “fonds solidaires” in France. The key challenges to effectively promote retail investments in social businesses will be to: define very clearly and precisely what social businesses are: the EC proposed definition is not precise enough and diverges from other existing definitions; have a neutral control on the reality of the “social” nature of any business claiming it.; grant investor information and protection rules as close as possible to those provided by MiFID and by UCITS IV Directives; have an independent and trusted rating of such funds; simplify and clarify the offerings in this field instead of just adding yet another category of retail investments of which there are already too many, creating a lot of confusion in retail investors minds; especially the difference with SRI funds must be very clearly spelled out.

Position paper:
EFI reply on Social Business Initiative consultation1317736808.pdf

EuroInvestors' reply to the EC Consultation on a new European regime for Venture Capital.

EuroInvestors' reply to the EC Consultation on a new European regime for Venture Capital.

09/08/2011 EuroInvestors (EFI) agrees with the European Commission (EC) that venture capital is particularly important for small and medium enterprises (SMEs) in the EU, since venture capital provides finance to companies with promising but untested business models that are confronted with high levels of uncertainty as regards their future prospects. In these circumstances, these companies often face difficulties to find access to other more traditional sources of funding, in particular innovative start-up businesses that face difficulty in accessing traditional bank lending or finance through stock exchanges. But, at the same time, EFI is concerned that by legitimately trying to ease venture capital funding for SMEs, the EC may be lowering the investors' protection level.

Position paper:
EFI reply to EC consultation A new European regime for Venture Capital1322648214.pdf

 

VZMD EuropeanShareholders WFI investo.international investome_logo betterfinance eurofinuse