1 / 13

Disclaimer

MiFID Overview BCS 25 th April 2005 Simon Barker Head of Regulatory Affairs BNP Paribas London branch. Disclaimer. Any views are personal to the speaker and are not those of BNP Paribas. Summary. Background to MiFID Impact Assessments Project teams Key issues. Background.

ingo
Télécharger la présentation

Disclaimer

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. MiFID OverviewBCS 25th April 2005Simon BarkerHead of Regulatory AffairsBNP Paribas London branch

  2. Disclaimer • Any views are personal to the speaker and are not those of BNP Paribas

  3. Summary • Background to MiFID • Impact Assessments • Project teams • Key issues

  4. Background • The Markets in Financial Instruments Directive (MiFID) introduces a consolidated regulatory regime across the EU for financial instruments • MiFID impacts all areas of financial services businesses and will require significant work to implement • MiFID will create significant operational impact but also strategic opportunities and threats • MiFID must be implemented by 1st November 2007 • Level 1 passed in April 2004 • Level 2 passed in August 2006 • Member States had to transpose MiFID by 31 January 2007……. • Level 3 currently underway

  5. Background • MiFID is a business issue: it is not just a Compliance or IT problem • Issues such as best execution go to the heart of how the business operates: solutions must be business led and not Compliance or IT led • Successful implementation depends on senior management support and commitment: senior management must assume responsibility for implementation and establish effective governance structure to deliver effective implementation

  6. Impact Assessment • Comprehensive impact assessment must be undertaken: • identify gaps between current state and MiFID requirements • completed on a front-to-back basis for each business area addressing impact on marketing, sales, trading and back office activities • Assessment needs to include: • Business processes • Systems impacts • Documentation requirements, including client documentation and internal policies and procedures • Training and education

  7. Mobilise Project teams • Participation is required from all areas of the firm, including: • Business Management • IT • Operations • Legal • Compliance • Risk Management • Internal Audit • HR

  8. Key impacts of MiFID • Client classification: Clients to be classified as “Retail”, “Professional” or “Eligible Counterparty”. The level of protection a client receives depends on their classification. • Impacts • Re-classify clients (change existing flags) • May need to capture new information on clients • May need to feed client classifications to downstream systems • Best Execution: Firms must obtain the ‘best possible result’ when executing client orders (with limited exclusions). Applies to all investments. Firms are required to put in place an execution policy and demonstrate compliance with the policy. • Impacts • Systems to comply with best execution policies • Capture and retain information necessary to demonstrate compliance with policies

  9. Key impacts of MiFID • Pre-trade Transparency • Applies to cash equities admitted to trading on a regulated market • Systematic Internalisers to publish a firm quote in liquid shares • Applies to orders up to standard market size • Post-trade Transparency • Applies to cash equities admitted to trading on a regulated market • Firms must make public volume and price of transactions at the time they were concluded • As close to real-time as possible • Reasonable commercial basis • Easily accessible to other market participants • New ventures • Project Turquoise • Project BOAT • Equiduct

  10. Key impacts of MiFID • Suitability: New requirements to assess suitability or appropriateness of products for clients in certain cases. KYC information will need to capture relevant information • Impacts • May need to capture additional information on clients • May need to feed information to downstream systems to support advice/trading decisions • Transaction reporting: Shifts emphasis to report to home/host state competent authority of the firm and not the regulated market and extends obligation to ANY product traded on a regulated market (includes off-exchange transactions) • Impacts • Change to content of reports • Unique client identifiers • Change to recipient of reports • Identify securities to be reported

  11. Key Impacts of MiFID • Conflicts of Interest: Prescriptive requirements to identify, manage and disclose conflicts of interest • Impacts • New conflicts management systems • Consider whether additional system access changes required • Client information: More prescriptive requirements for information to be delivered to clients (best execution policy, conflicts policy) • Impacts • Web content • Recording changes to documents on web

  12. Key Impacts of MiFID • Outsourcing: outsourcing of ‘critical’ or ‘important’ functions must not significantly impair firm’s internal controls or weaken ability to monitor compliance. Includes intra-group arrangements • Impacts • Outsourcing of IT functions may need to comply with new requirements • Record Keeping: Prescriptive requirements to keep records for 5 years to demonstrate compliance • Impacts • Consider any systems that do not support a 5 year retention period • Commodity derivatives: regulated under MiFID for the first time on a pan-European basis • Impacts • Consider whether commodities systems support requirements described above

  13. Conclusions • Key changes still to be settled • Business opportunities ? • FSA move to more principles based regulation • www.mifidpodcast.com

More Related