12 February 2019 – BETTER FINANCE welcomes the final report of the European Supervisory
Authorities’ Joint Committee (ESAs JC) to the European Commission (EC) on targeted
amendments to the PRIIPs Level 2 legislation.1
These proposals fall in line with some of BETTER FINANCE’s positions, but unfortunately do not solve the most important issues.
In November 2018, the ESAs launched a public consultation on possible amendments to the
provisions laying down the content and presentation of the Key Information Document (KID)
for Packaged Retail and Insurance-based Investment Products (PRIIPs). The ESAs explored
the possibility of including past-performance information in the PRIIPs KID along the lines
of the information currently required for UCITS funds, and to include a warning concerning
future performance projections.
We are pleased to see that the advice following this consultation is aligned with our
response2 by favouring the inclusion of a prominent warning to retail investors that
performance projections are not a reliable indicator of actual future performance.
However, the technical advice does not address a major and urgent issue for the PRIIPs
review: the information requirements on actual costs and performances are missing, and the
“future” ones are unreliable, not comparable, and highly misleading. The ESAs “decided not
to propose the inclusion of past performance information in the PRIIPs ”, thus leaving investors
in the dark since actual track record and, potentially, comparisons with objective market
indicators are no longer available.
The advice provided is based on the consultation feedback and justified by the “expected
2-year extension” for the UCITS KIID. BETTER FINANCE disagrees with this position, since
this leaves all PRIIPs other than UCITS funds (life insurance products in particular) with
extremely poor regulatory disclosures on their actual performance and costs.
Guillaume Prache, Managing Director of BETTER FINANCE said that “it is hard to understand
the European Commission’s position on this crucial issue for EU citizens as long-term savers:
the Commission first disregarded the PRIIPS Level 1 Regulation provision which required its
full review by the end of 2018. And now that the Parliament has voted for its full review
by the end of this year (2019), the Commission is planning it only for after 2020! It is
quite irresponsible in our view to again extend the use of such a poorly designed Key
Information Document for retail investment products. “
1 Commission Delegated Regulation (EU) 2017/653, OJ L 100, 12.4.2017, p. 1–52.
2 https://betterfinance.eu/publication/better-finances-response-to-the-joint-consultation-paper-concerning-amendments-to-thepriips-kid/.
Source: https://betterfinance.eu/publication/esas-advice-on-priips-is-well-intentioned-but-misses-on-key-issues/