Representing financial market professionals based in France

Brèves

30/05/2023
Interviews (in French)

Interview de Stéphane Giordano – Supplément AMAFI-Revue Banque – Financement des retraites

Introduire une part de capitalisation permettrait de corriger des biais majeurs du système par répartition

01/06/2023
News

Eurofi Forum – Stockholm, 26-28 April

On the sidelines of public debates at the recent Eurofi Forum, Stéphane Giordano, Chairman of AMAFI, Arnaud Eard, Director of European and International Affairs, and several members of the European Action Commission met representatives from institutions, MEPs and delegates from the finance ministries of nine member states, the CFTC (Commodity Futures Trading Commission) and the US Treasury.

Discussions focused on current issues for AMAFI: EMIR, the Listing Act (AMAFI / 23-33) and the MiFIR review (AMAFI / 23-19).

  • Regarding the EMIR, AMAFI advocated a prudent approach to the relocation of derivatives clearing in euros in order to preserve the competitiveness of European market participants and the attractiveness of the European Union’s markets. It therefore recommends a staggered implementation of the requirement for European institutions to hold an active account with a European central counterparty, without relocation thresholds, for three years, followed by a quantitative approach only if deemed necessary.
  • On the Listing Act, AMAFI emphasised the crucial issue of sponsored research for mid-caps. While its recognition at European level is a welcome step, in AMAFI’s view, the governing code should be drawn up at the level of each Member State, rather than by ESMA, in order to take into account the specific features of local markets and foster their development. AMAFI also pointed out that the full rebundling of intermediation and research fees, as was the case before the implementation of MiFID II, could not be the only solution to the current lack of research coverage of mid-cap stocks, as the market has since undergone structural change.
  • Finally, AMAFI also set out its priorities with respect to the MiFIR review, which is currently under negotiation in trilogue meetings, in particular with regard to the creation of a pre-trade consolidated tape for equities and the importance of properly calibrating equity and non-equity transparency regimes in order to avoid a liquidity flight to the UK. The aim is to enable the European Union to maintain a certain degree of autonomy in financing its economy. 
01/06/2023
News

ESG Structured Products - Charter AFPDB, AMAFI, FBF

The ESG Structured Products Charter drafted by the industry associations AFPDB, AMAFI and FBF is currently being finalised. It aims to provide a common framework with specific requirements for structured products that have ESG characteristics or objectives. It will enable issuers that adhere to the charter (on a voluntary basis) to communicate transparently about the sustainability of these products to their distributors, in order to assist distributors in implementing their product governance obligations. The Charter is not intended to be mentioned or outsourced to end investors.

An event will soon be organised to present the Charter to AMAFI members.

01/06/2023
News

MiFIR Review

EFSA/NSA position

As part of the trilogues on the MiFIR review, the EFSA (European Forum of Securities Associations), of which AMAFI is an active member, and the NSA (Nordic Securities Association) have put their priorities (AMAFI / 23-39) to the European institutions.

In this context, a meeting with representatives of the Swedish Presidency of the European Council took place in early May. The EFSA-NSA delegation took this opportunity to highlight fundamental issues such as the need to better regulate rising market data cost inflation. It supports the approach of the European Council and the Parliament to include the principle that “the price of market data must be based on the cost of production and dissemination of information with a reasonable margin,” in the Level 1 text, as recommended by ESMA.

With regard to the equity and non-equity transparency regimes, it highlighted the issues of the competitiveness of market participants and the attractiveness of the European Union markets and recommended calibrating the various thresholds at Level 2 in order to allow them to be adjusted more quickly in line with market developments, based on objective studies and data to be produced by ESMA. This approach seems all the more necessary due to the reforms planned in the United Kingdom aimed at making the City of London more attractive.

Commodities market

Also as part of the MiFIR review, AMAFI responded to the French authorities on the proposal of the European Parliament (report) on commodity derivatives. The Parliament proposes mandating ESMA to assess, by 30 June 2025, whether the setting of minimum holding periods on certain commodity derivatives would limit the volatility of these markets and ensure convergence between the prices of derivatives during the delivery month and the spot prices of the underlying product.

AMAFI is not in favour of this measure. These derivatives provide a hedge against market fluctuations, and, in the event of market stress, market participants seek to adjust their positions frequently. A minimum holding period would prevent them from unwinding their positions in the event of unforeseen circumstances. Such an obligation may also prevent the setting up of new hedges, as the requirement to hold existing positions could cause position limits to be exceeded.

The Association also wonders about the consequences of such a measure on the offer of trading platforms, which may be forced to withdraw certain products with maturities that are shorter than the minimum holding period.