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24 May 2013

EIOPA(欧州保険年金機構)ガブリエル・ベルナルディーノ議長、EIOPAの権限や独立性の強化の必要性を主張


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Bernardino said that in his view there were three key areas clearly needed for evolution: the strengthening of EIOPA's operational independence, the reinforcement of EIOPA's independent challenging role towards NCAs, and the enhancing of EIOPA's mandate and powers.


1. Strengthen EIOPA’s operational independence
 
The following steps would be necessary in order to strengthen the operational independence of EIOPA:
  • Financing through an independent budget line in the General Budget of the European Union;
  • Explore partial financing by levying fees on the industry in line with the evolution of EIOPA’s mandate and powers;
  • Further flexibility in the budgetary framework to continue to attract highly qualified staff which is needed to fulfil EIOPA’s role in Solvency II implementation and to develop EIOPA’s independent challenging role;
  • More efficient decision-making to ensure the capacity to take swift and effective decisions and avoid situations of conflict of interest with the mandate of national competent authorities, for example in crisis management or breach of union law.
2. Reinforce EIOPA’s independent challenging role
 
In order to ensure an adequate and consistent level of supervision, for the benefit of consumer protection and financial stability, it is fundamental to strengthen our independent challenging role towards National Competent Authorities. We need to:
  • Ensure EIOPA’s access to individual information in order to fulfil this challenging role and avoid the need for burdensome case by case discussions. This should allow EIOPA to obtain access to the information included in the harmonised templates developed for Solvency II in a smooth and direct way;
  • Extend the current powers of EIOPA to conduct an inquiry into a particular type of financial institution, type of product, or type of conduct. This power should not be confined to situations of potential threats to the stability of the financial system but be used more generally to support the independent challenging role of EIOPA.
3. Enhance EIOPA’s mandate and powers
 
Based on our experience we can also identify some important enhancements in terms of EIOPA’s mandate and powers:
  • Sectorial legislation in insurance and pensions is needed to make the powers under the EIOPA Regulation work. EIOPA’s power to ban or restrict financial activities needs to be brought to life;
  • Extending EIOPA’s scope of action to personal pensions; and
  • Introducing a centralised oversight role for EIOPA in the field of internal models.
In the medium term, as part of a step-by-step approach, consideration should be made to assign EIOPA an enhanced supervisory role for the largest important cross-border insurance groups.
 
On the overall macro-micro interaction I believe that the ESRB is proving to be a useful platform. Nevertheless, the Governance of the ESRB should be improved in order to increase efficiency, maybe with a stronger role for the Steering Committee. It would also be important to reinforce the truly cross-sectoral nature of the ESRB and develop better access tto information to improve the analysis and understanding of interconnectedness.
 
Furthermore, it is important to maintain the macro- and the micro-analysis of risks and vulnerabilities. The Joint Committee of the ESA’s has been instrumental in delivering cross-sectoral risk reports, identifying the vulnerabilities and the possible policy measures. This complements the macro risk analysis performed by the ESRB.
 
All in all, from my perspective the European System of Financial Supervision needs a constant evolution, not a revolution.


© EIOPA


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