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23 June 2016

EBF(欧州銀行連盟)、ECB(欧州中央銀行)による裁量行使に関する市中協議にコメント、意見募集期間が短すぎると指摘


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The European Banking Federation provided its comments to ECB public consultation and pointed out the short consultation period as one of the key aspects to gather all relevant comments from its members.


It is generally accepted that public and stakeholder consultation is integral to well-informed decision-making and to improving the quality of law making. An effective and structured consultation process which includes a genuine invitation for comments from stakeholders is a crucial component of and contributor to a transparent regulatory system.

One key aspect of a proper consultation process is the importance of allocating sufficient time for stakeholders to respond so that stakeholders have the ability to adequately evaluate the full consequences of the proposed regulations. The present Consultation was launched on 18 May 2016, specifying that it runs until 21 June. This means that the consultation period is about one month. The Consultation paper does not make any mention of reasons which would require the consultation period to be restricted to such a short timeframe.

In a paper which the ECB published in 2009, it was highlighted that experience of the ECB has shown that it needs between six and eight weeks to finalise an opinion1 “to take into account and reach a consensus between the views of all governors before adopting an opinion”2. Similar considerations apply where banking associations are concerned which are expected to adopt a pan-European view and, as a result, also need to be allocated sufficient to reach a consensus amongst their membership. EBF would like to highlight that a range of comments made by its members which seemed valuable could not be considered because time had been lacking to take them through due process.

EBF concludes that due process requirements have not been met. EBF expects the ECB to meet higher consultation standards in the future.

The “Explanatory Memorandum on the Addendum to the ECB Guide on options and discretions available in Union law” highlights that National Options and Discretions need to be lifted, amongst others, to establish a level playing field and to reduce operational complexity. EBF fully concurs with this view.

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