FESE position on the MiFID II proposal

31 January 2012

FESE members have been proactive in identifying solutions to the lessons learned and observed in the application of MiFID I to strengthen the frameworks in place independently of the review of legislation.

FESE’s positions on the MiFID II Review are a result of the wealth of experience and detailed knowledge of the markets and of the activities and services provided by FESE members. In particular:

FESE has spearheaded a major industry initiative to improve data standards ahead of the MiFID II Review, and FESE members have pioneered many of the cost reduction measures later proposed by the Commission on data, thus pro‐actively supporting the set‐up of a consolidated post‐trade tape. FESE members welcome the Commission’s proposals and fully endorse the objectives supporting the revision of MIFID, as indicated in their joint press release with investors.

In particular, they support:

The above summary demonstrates that FESE agrees with many of the improvements proposed by the Commission. At the same time, on a number of other issues, FESE has significant concerns with the proposals. FESE members have been active in analysing the implementation issues with MiFID I and have brought several items to the attention of the Commission or the supervisors over the last years which has led to some of the important issues being highlighted in the Review (e.g. the unregulated equity platforms). While the broader industry appears united in endorsing the Commission’s overall objectives in the MiFID Review, there remains controversy regarding some elements of the proposals.

This is ultimately because industry participants view the implementation of MiFID differently and draw different lessons from the crisis. The Commission has understandably tried to balance these differences and has tried to find compromises across differing views. However, FESE firmly believes that the outcome needs to be stronger than a compromise solution, as the final legislation will determine the ground rules on how capital markets function in the real economy for the foreseeable future. FESE members therefore think that the final legislation should be less complex, more concise and more ambitious than the Commission has currently proposed. Additionally, they strongly believe that the provisions of MiFID should be aligned with other legislation with which it might overlap (e.g. EMIR/RCSD/MAD) and avoid any uncertainties or arbitrage among market participants, CCPs, and trading venues.

Therefore, FESE proposes the following changes to the proposals, which, if adopted, would provide welcomed additional clarification and strengthen the draft legislation:

Full position


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