EACT/Raeburn: ESMA's proposed technical standards for OTC derivatives et al

06 August 2012

Raeburn summarises the key issues of EACT's response to the ESMA consultation on draft technical standards on the regulation of OTC derivatives, CCPs and trade repositories.

Raeburn writes that his overall feeling after the drafting of EACT's ESMA response is that despite all EACT's efforts over EMIR there is still a huge challenge in persuading European authorities that non-financial end users are totally different from the financial sector participants with whom regulators are much more familiar.
 
So we see a continuing inability on the part of the EU bodies to recognise two things in particular: that the non-financial companies being discussed do not and have not in the past directly driven financial sector systemic risk; and that the resources, especially IT systems, available to these companies are simply not on a sufficient scale to handle regulatory requirements drafted from the perspective of the financial sector.
 
The consequences of the first point above are reflected in issues such as the perverse view being taken of hedging of company stock options and the requirement for daily mark-to-market reporting. The second point is reflected in the unreasonable administrative burden being imposed in respect of information that will do nothing to help regulators reduce systemic risk and support the stability of the financial system – which is what they should be doing.
 
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