EBF response to the BCBS second consultation on revisions to the Basel Securitisation Framework

21 March 2014

The response includes: an executive summary with main observations; considerations and proposals regarding a series of relevant issues affecting the impact of the revised framework on the European securitisation market; responses to the three questions of the BCBS consultative paper.

The EBF welcomes the shift towards simplification of the hierarchy seen in this second version of the revised framework for securitisation. The introduction of the internal ratings based approach which is simpler than the previously proposed MSFA is a move in the right direction. Nevertheless, additional work needs to be done to strengthen the risk sensitivity of the framework and to smooth the steepness of the risk weights. The EBF considers that the rules could benefit from further consistency of treatment across the hierarchy of approaches.

It is also worth noting that relevant measures have already been taken since the wake of the crisis making the securitisation market significantly safer from a prudential point of view. In particular, a series of policy measures to address the shortcomings that became apparent in the pre-crisis securitisation framework have already been put into force in the EU. The EBF suggests that the Committee takes full account of all regulatory changes in the assessment of the revised securitisation framework.

EBF draws the attention of the Committee to the fact that the EU is making every effort to maintain a securitisation market that is instrumental in the funding of the European economy. In this vein, the EBF would like that the Committee carefully considered the following aspects:

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