ESMA seeks review of UCITS rules
26 July 2011 Paris
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The existing regulatory requirements for UCITS exchange traded funds and structured UCITS are not sufficient, according to ESMA, to take account of the specific features and risks associated with these types of fund
ESMA has released a discussion paper, which examines the possible measures that could be introduced to mitigate the risk that particularly complex products, which may be difficult to understand and evaluate, are made available to retail investors. In this document, ESMA also raises the potential systemic risk caused by these types of fund and their impact on financial stability. ESMA will use the feedback received to this paper to develop draft guidelines for such funds.
Steven Maijoor, chair of ESMA, said: 鈥淚nvestor protection is one of the core missions of ESMA. With the publication of this discussion paper, we seek views on policy orientations to improve the transparency and quality of information provided to investors buying UCITS ETFs and structured UCITS. Also, specific safeguards need to be developed for activities like securities lending used by UCITS ETFs or for complex strategies pursued by some structured UCITS. However, in order to preserve the integrity of the UCITS brand and to protect investors, it cannot be excluded that it may be necessary for ESMA to issue warnings to retail investors about the risks of these products or even to limit the distribution of certain of such funds to retail investors. In this context, ESMA may need to ask for appropriate powers for inclusion in the relevant sectoral legislation.鈥
For ETFs, ESMA has identified the following topics for which guidelines should be developed and on which feedback is sought:
Use of an identifier
ESMA believes that UCITS ETFs should use an identifier, in their name and in their fund rules, prospectus and marketing material, which identifies them as an Exchange-Traded Fund.
Index-tracking issues
The Authority is of the view that the prospectus of index-tracking ETFs should contain a clear and comprehensive description of the index to be tracked and the mechanism used to gain exposure to the index.
Synthetic ETFs
ESMA proposes that the information provided to investors in the prospectus of synthetic ETFs should at least include information on the underlying of the investment portfolio or index, the type of collateral which may be received from the counterparty and the risk of counterparty default and the effect on investors鈥 returns.
Securities lending activities
For securities lending activities, ESMA suggests that the collateral received should comply with the criteria for OTC transactions set out in CESR鈥檚 Guidelines on Risk Measurement and Calculation of Global Exposure and Counterparty Risk for UCITS (Ref. CESR/10-788). Also, the Authority is of the view that investors should be informed about the policy in relation to collateral, e.g. permitted types of collateral and the level of collateral required by the UCITS.
Disclosure of main risks of actively-managed ETFs
For this type of ETF, ESMA proposes that investors should be clearly informed of the fact the fund is actively managed and of the main sources of risks arising from the investment strategy.
Disclosure of the leverage policy when used by ETFs
The prospectus of leveraged ETFs should disclose the leverage policy and the risks associated with it, as well as a description of how the daily calculation of leverage impacts on investors鈥 returns over the medium to long term.
Secondary market investors
ESMA is considering the possibility to require UCITS ETFs to give all investors, including those who acquire units on the secondary market, the right to redeem their units directly from the UCITS.
For structured UCITS, ESMA considers that guidelines should be developed with regards to total return swaps and strategy indices.
For structured UCITS gaining exposure to complicated investment strategies, ESMA believes that both the structured UCITS鈥 investment portfolio, which is swapped, and the underlying to the swap to which the UCITS obtains exposure, should comply with the relevant UCITS diversification rules. Also, the Authority thinks that the role of the counterparty of the total return swap should be subject to specific safeguards.
Concerning strategy indices, ESMA proposes policy orientations on, inter alia, the appropriate frequency of rebalancing the index and how their composition should be disclosed.
Next steps
Responses to this discussion paper will help ESMA in narrowing down its policy approach. Based on the responses to this discussion paper, that are due by 22 September, ESMA will develop draft guidelines for UCITS ETFs and structured UCITS. The proposed guidelines will be subject to a public consultation, the results of which will be used by ESMA to finalise the guidelines.
ESMA has released a discussion paper, which examines the possible measures that could be introduced to mitigate the risk that particularly complex products, which may be difficult to understand and evaluate, are made available to retail investors. In this document, ESMA also raises the potential systemic risk caused by these types of fund and their impact on financial stability. ESMA will use the feedback received to this paper to develop draft guidelines for such funds.
Steven Maijoor, chair of ESMA, said: 鈥淚nvestor protection is one of the core missions of ESMA. With the publication of this discussion paper, we seek views on policy orientations to improve the transparency and quality of information provided to investors buying UCITS ETFs and structured UCITS. Also, specific safeguards need to be developed for activities like securities lending used by UCITS ETFs or for complex strategies pursued by some structured UCITS. However, in order to preserve the integrity of the UCITS brand and to protect investors, it cannot be excluded that it may be necessary for ESMA to issue warnings to retail investors about the risks of these products or even to limit the distribution of certain of such funds to retail investors. In this context, ESMA may need to ask for appropriate powers for inclusion in the relevant sectoral legislation.鈥
For ETFs, ESMA has identified the following topics for which guidelines should be developed and on which feedback is sought:
Use of an identifier
ESMA believes that UCITS ETFs should use an identifier, in their name and in their fund rules, prospectus and marketing material, which identifies them as an Exchange-Traded Fund.
Index-tracking issues
The Authority is of the view that the prospectus of index-tracking ETFs should contain a clear and comprehensive description of the index to be tracked and the mechanism used to gain exposure to the index.
Synthetic ETFs
ESMA proposes that the information provided to investors in the prospectus of synthetic ETFs should at least include information on the underlying of the investment portfolio or index, the type of collateral which may be received from the counterparty and the risk of counterparty default and the effect on investors鈥 returns.
Securities lending activities
For securities lending activities, ESMA suggests that the collateral received should comply with the criteria for OTC transactions set out in CESR鈥檚 Guidelines on Risk Measurement and Calculation of Global Exposure and Counterparty Risk for UCITS (Ref. CESR/10-788). Also, the Authority is of the view that investors should be informed about the policy in relation to collateral, e.g. permitted types of collateral and the level of collateral required by the UCITS.
Disclosure of main risks of actively-managed ETFs
For this type of ETF, ESMA proposes that investors should be clearly informed of the fact the fund is actively managed and of the main sources of risks arising from the investment strategy.
Disclosure of the leverage policy when used by ETFs
The prospectus of leveraged ETFs should disclose the leverage policy and the risks associated with it, as well as a description of how the daily calculation of leverage impacts on investors鈥 returns over the medium to long term.
Secondary market investors
ESMA is considering the possibility to require UCITS ETFs to give all investors, including those who acquire units on the secondary market, the right to redeem their units directly from the UCITS.
For structured UCITS, ESMA considers that guidelines should be developed with regards to total return swaps and strategy indices.
For structured UCITS gaining exposure to complicated investment strategies, ESMA believes that both the structured UCITS鈥 investment portfolio, which is swapped, and the underlying to the swap to which the UCITS obtains exposure, should comply with the relevant UCITS diversification rules. Also, the Authority thinks that the role of the counterparty of the total return swap should be subject to specific safeguards.
Concerning strategy indices, ESMA proposes policy orientations on, inter alia, the appropriate frequency of rebalancing the index and how their composition should be disclosed.
Next steps
Responses to this discussion paper will help ESMA in narrowing down its policy approach. Based on the responses to this discussion paper, that are due by 22 September, ESMA will develop draft guidelines for UCITS ETFs and structured UCITS. The proposed guidelines will be subject to a public consultation, the results of which will be used by ESMA to finalise the guidelines.
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