AFME briefing note: Securities Financing Transaction Regulation

30 January 2015

Whilst AFME supports the objectives of the SFTR, it is of vital importance that the regulation strikes the right balance between increasing transparency and preserving the important function of SFTs.

AFME supports the implementation of FSB’s regulatory framework for haircuts on non-centrally cleared SFTs published in October 2014. However, AFME believes that the SFTR proposal is not an appropriate legislative vehicle for the introduction of the framework for the following reasons:

AFME recommends that for securities lending and margin lending position level reporting is most appropriate. Furthermore, AFME strongly recommends that the SFTR contain a clear, unambiguous and objective definition of SFTs so that reporting can be operationalised. Further, the term “economically equivalent transactions” proposed by the Commission introduces a subjective criterion, which would lead to inconsistencies in reporting.

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