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    AEIP RESPONSE

    to the EC Green Paper on the Long-Term Financing of the EU EconomyBrussels, June 25th 2013

    General remarks

    AEIP welcomes the opportunity to comment on the European Commissions Green Paper on the Long-

    Term Financing of the EU Economy.

    The European economy is facing a difficult situation, characterised by extremely high unemployment

    (12,2% in the Euro area according the latest data release by Eurostat1), consolidation of public finances

    and banking sector deleveraging. AEIP shares the view that there is an imperative need for re-launching

    growth and investments if Europe wants to maintain the sustainability and adequacy of its welfare model,

    which might be put at stake by a prolonged economic crisis.

    AEIP represents since 1997 the social protection institutions jointly established and run by the Social

    Partners. AEIP Members cover a number of social protection branches, such as pensions, healthcare,

    long-term care, health & safety at work and unemployment benefits. Within the pension field, paritarian

    institutions are involved in both the managing of the first pillar and of the second pillar pensions, inaccordance with the different European pension systems. AEIP represents pension schemes that are

    managed on pay-as-you-go (PAYG), mixed and funded basis, as well as defined contributions (DC),

    defined benefits (DB), and hybrid schemes. According to the different European systems, second pillar

    pensions fall either under the scope of the IORP directive or Insurance directive (Solvency I).

    Today, AEIP has 27 members (mostly occupational pension funds - IORPs) in 18 European countries,

    and it covers, through its members, about 75 million European citizens and 1.3 trillion in assets.

    Paritarian institutions of social protection represent a successful result of the European social dialogue

    model, offering to their members services in a number of social protection fields, i.e. retirement

    provision, health care, health and safety, unemployment benefits and long-term care.

    Amongst them, pension funds deal with long-term commitments and are true long-term investors by

    nature. They are an important source of institutional investments, and can play a stabilising role in crisis

    situations, as suggested by different studies2. However, today occupational pension funds operate in an

    environment characterised by extraordinary low interest rates and high market volatility. These factors

    have a direct impact on the ability of pension funds to efficiently match their assets and liabilities.

    1Eurostat News Release Euro Indicators 82/2013, 31 May 2013

    2See for instance the OECD Report to G20 Leaders The role of banks, equity markets and institutional investors in long -term

    financing for growth and development, February 2013

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    Long-term investments are increasingly becoming a mainstream topic of research among think tanks andinternational organisations3. Many studies have been published by several research institutions, all

    providing with data and analysis on different aspects related to the long-term investing of the EU

    Economy. AEIP believes it is important to gather data on this topic, especially on the potential of assets

    that are not exchanged on financial markets, such as infrastructure and private equity.

    The EC Green Paper on Long-Term Financing of the European Economy represents a significant

    milestone in the development of future economic policies aimed at fostering growth and jobs. It will be

    essential that the European institutions focus on how long-term savings can match long-term investments

    demand, identifying the proper role for financial markets, social institutions and assessing the cumulative

    impact of currently-debated regulations.

    In its response, AEIP builds on the material already published by different institutions and provides with

    technical and political opinions, wishing to raise some genuine concepts for the policy debate.

    Q1: Do you agree with the analysis out above regarding the supply and

    characteristics of long-term financing?

    The analysis undertaken by the European Commission in the working document attached to the Green

    Paper is correct.

    However, AEIP believes that particular attention should be given to the potential outcome of a prolonged

    crisis (and funding gap) on the European welfare systems. Indeed, the ability of the financial markets to

    channel long-term financing to the European economy should not be analysed and tackled separately

    from the demographic challenge Europe is facing.

    AEIP considers that there cannot be any increased involvement of pension funds into the financing of

    long-term investments without a broader engagement with the demographic problem, the related labour

    market policies, and a further empowerment of occupational pensions in Europe.

    Q2: Do you have a view on the most appropriate definition of long-termfinancing?

    AEIP believes there is not a unique definition of long-term financing (or long-term investment).

    The Association shares the approach adopted by the European Commission in the staff working document

    attached to the Green Paper and refrains from using a narrow approach, identifying any particular length

    (i.e. 5 years) for distinguishing long-term financing and short-term financing.

    3

    The OECD is currently undertaking a project on Institutional investors and long-term investment. The Centre for EuropeanPolicy Studies (CEPS), together with the European Capital Markets Institute (ECMI) launched a task force on long-term

    investing and the single market for long-term savings

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    Moreover, it would be beneficial for this discussion to identify the objectives of a possible definition oflong-term investment.

    Indeed, AEIP believes that it would be risky to use any artificial, detailed definition of long-term

    investment for regulatory purposes. Any definition of long-term financing should be principle-based in

    order to accommodate the different nature of Long-term Investments and Long-term Investors, which

    may be usually, but not exclusively, characterised by the presence of the following characteristics4:

    Patient capital, acting in a counter-cyclical way; A direct engagement as shareholders, bringing forward ESG principles in the investment strategy; A stronger focus on investments that have a direct impact on sustainable growth, such as

    infrastructure, cleaner energy, SMEs financing and venture capital.

    Much of the capacity of occupational pension systems to deliver adequate returns to their members stems

    from their ability to match the duration of their liabilities and assets, thus implementing long-term

    investment strategies and taking long-term risks. However, being long-term investors should not mean

    buying and holding assets for a certain amount of time, but rather implementing an investment strategy

    which allows and requires for engaging with investments providing long-term, stable and inflation-linked

    returns, in an active way (i.e. hedging the risks).

    If the European Commission would anyway provide for a legal definition of long-term financing (or long-

    term investment), AEIP suggests that a flexible definition allows for better policy making and adaptation

    to different contexts and regimes.

    Finally, AEIP highlights the epistemological nature of the discussion on long-term investments. It is

    difficult to label an investment as long-term ex-ante. An institutional investor might take a decision

    based on expectations which might not prove true in the short or medium term, thus reallocating its

    resources to other investment opportunities. Any legal definition of long-term investing that could be

    used for granting fiscal incentives or other policy benefits might hinder the ability of institutional investor

    to best allocate their resources and create wrong incentives.

    While this seems to be common sense, it should be here reminded that the prudent person principle

    requires to European pension funds to invest in the best interest of their members and beneficiaries 5.

    4OECD Discussion Note, Promoting longer-term investment by institutional investors: selected issues and policies, EUROFI

    High Level Seminar 2011.

    5Article 18, Directive 2003/41/EC on the on the activities and supervision of institutions for occupational retirement

    provision.

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    Q5:Are there other public policy tools and frameworks that can support thefinancing of long-term investment?

    Some AEIP members have a particular experience in investing in real economy activities, such as

    infrastructure, real estate and venture capital. They find that, according to their experience, not only a

    proper prudential framework must allow and possibly incentivise investments in the real economy, but

    also (and foremost) the legal framework for participating in infrastructure investments must be clear and

    open to private investors.

    From a broader policy perspective, AEIP suggests that being occupational pension funds long-term

    investors by nature, an empowerment of occupational pensions in Europe would serve the twofoldpurpose of guaranteeing more adequate pensions to European workers, while channelling more resources

    to long-term investments.

    Q6: To what extent and how can institutional investors play a greater role in

    the changing landscape of long-term financing? Q7: How can prudential

    objectives and the desire to support long-term financing best be balanced in

    the design and implementation of the respective prudential rules for

    insurers, reinsurers and pension funds, such as IORPs?

    As explained in the European Financial and Stability Report 2011 6 released by the European

    Commission, the European banking industry is undertaking a structural deleveraging. As this is

    happening in a time of fiscal consolidation, the European economy is suffering of a funding gap. This

    topic is currently being debated at G20 and G30 level, and has drawn the attention and efforts of

    International Organisations such as the OECD, the IMF and the FSB.

    Within this debate, the role covered by institutional investors, i.e. pension funds and insurance

    undertakings, has drawn particular attention.

    As mentioned above, AEIP believes occupational pension schemes can play a major role in the changing

    landscape of long-term financing, partially filling the gap left by banks and governments.

    However, the extent to which these actors are able to play a greater role than before in channelling long-

    term financing to the real economy depends on a number of factors. For instance, it can be argued that as

    long as the interest rates will remain as low as they are now, pension funds will increasingly look for

    good returns from alternative types of investments (i.e. corporate bonds, infrastructure, real estate,

    venture capital). The prudential regime applied to institutional investors should thus not hinder their

    ability to invest in these asset classes or encourage them to not invest in these.

    6Commission Staff Working Document - SWD(2012) 103 final, European Financial and Stability Report 2011, 13 April 2012

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    have in some countries. Unfortunately, their unique features, such as the ability to increase employerscontributions and their long-term liabilities are not properly taken into account in the calculation of the

    Solvency Capital Requirement (SCR).

    Moreover, the recent Long-Term Guarantee Assessment carried out by EIOPA shows there is an unsolved

    issue on the provision of guarantees in long-term insurance schemes.

    Finally, AEIP would welcome any policy initiative aimed at providing for favourable treatment of

    engaged shareholdership. Indeed, occupational institutional investors, in particular those which are

    managed on a paritarian basis, are best suited to engage as active shareholders, bringing forward social,

    environmental and good governance stances in the policy of the companies they invest into.

    Q8: What are the barriers to creating pooled investment vehicles? Could

    platforms be developed at the EU level? Q9: What other options and

    instruments could be considered to enhance the capacity of banks and

    institutional investors to channel long-term finance?

    Most European pension funds are small and their ability to channel long-term finance could be limited to

    bonds and equities. AEIP thus welcomes the idea brought forward by the European Commission of long-

    term investments funds that could make infrastructure investments more accessible to small and mediumpension funds, offering the appropriate know-how and experience, while enjoying economies of scale and

    reducing the risk exposure.

    However, for long-term investment funds to be successful, it will be essential to address a proper

    governance model, as each investor might have his own viewpoint and preference toward the size, type

    and risk of long-term financing. If the pooled investment vehicle will work based on standardised units,

    the engagement by pension funds might be hindered. In order to tackle this issue, it might be important

    for the participant investors not only to share money and risks, but also knowledge and investment

    principles.

    Q10: Are there any cumulative impacts of current and planned prudential

    reforms on the level and cyclicality of aggregate long-term investment and

    how significant are they? How could any impact be best addressed?

    To evaluate the potential cumulative impact of different prudential regulations on the European economy

    is not an easy accomplishment. A recent paper9 released by the Financial Stability Board tackles this

    issue, arguing that there is little tangible evidence to suggest that global financial regulatory reforms

    9Financial Stability Board, Financial regulatory factors affecting the availability of long-term investment finance Report to

    G20 Finance Ministers and Central Bank Governors, 8 February 2013.

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    have significantly contributed to current long-term financing concerns, although on-going monitoring isneeded (P. 13).

    AEIP welcomes the opinion of the FSB, as many regulatory reforms are still in their early phase of design

    or implementation and data on their impact is not yet available. Nevertheless, it is AEIPs belief that some

    regulatory reforms need to be carefully designed before being tested and implemented, taking into

    considerations the potential distorting impact they might have on the markets and on the provisions of

    services, especially if they put a business model at stake, as it is the case for institutions dealing with

    long-term liabilities.

    European institutions should also consider the impact that the discussions on the implementation of a

    Solvency-II-like regime on pension funds might have on the willingness of European employers to

    establish new occupational pension schemes both at industry and corporate level.

    Similarly, AEIP invites the European Commission and other relevant policy makers to take a holistic

    approach to the current regulatory agenda, taking into account the inter-connectedness of the legislative

    proposals delivered and the potential impact these might have on different categories of stakeholders.

    Also, the Association questions that the same model was used to draft the supervisory regime of different

    categories of actors. Banks, insurance companies and institutions for occupational retirement provisions

    have each unique features: they serve different purposes and engage in different internal decision making.

    What they have in common is the participation to the financial markets. Similar prudential regulations

    would likely push them towards similar investment patterns, increasing the risk of pro-cyclicality.

    AEIP believes that addressing right incentives and undertaking constant monitoring should be the basis

    for a new regulatory approach.

    AEIP is also convinced that each regulatory reform needs to stem from a careful analysis of the role

    covered by each actor operating in the financial markets for the society, taking into account the

    incentive/disincentive mechanism that move its actions.

    Also, any forthcoming assessment of a given reform should be undertaken on its own, but rather considerthe possible interactions with other reforms (currently-debated or already approved), thus identifying any

    indirect cumulative impact on financial markets and society as a whole.

    Q17: What considerations should be taken into account for setting the right

    incentives at national level for long-term saving? In particular, how should

    tax incentives be used to encourage long-term saving in a balanced way?

    Tax incentives can be a powerful tool and can certainly play a role in stimulating long-term savings,

    either directly or indirectly.

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    Particular saving products can indeed be tax-exempted or provided with a favourable tax treatment, inorder to increase the interests of households in allocating their savings into these products (e.g. long-term

    bank deposits).

    Tax incentives can also have an indirect impact on long-term savings of households, for instance

    guaranteeing a favourable fiscal treatment of occupational pensions contributions and payments. This is

    particularly relevant for those countries which have voluntary occupational pension schemes.

    Another method to favour long-term investing by means of fiscal incentives would be applying the most

    recurrent occupational pension fiscal treatment (EET: exempted-exempted-taxed) system to other social

    protection schemes.

    AEIP suggests that a particular incentive for long-term investments might be provided by favourable

    fiscal treatment (or exemption) of socially responsible investments and alternative investments (i.e.

    infrastructure and SMEs financing). This might be implemented in a number of ways.

    Q19: Would deeper tax coordination in the EU support the financing of long-

    term investment?

    AEIP believes that improved tax coordination at EU level might simplify the framework for the fiscal

    treatment of investments at cross border level. However, the recent enhanced cooperation procedure

    aiming at establishing a Financial Transaction Tax in 11 EU Member States does not seem to go in the

    direction of favouring long-term investments by pension funds, as it would be levied on them as well.

    Q20: To what extent do you consider that the use of fair value accounting

    principles has led to short-termism in investor behaviour? What alternatives

    or other ways to compensate for such effects could be suggested?

    Occupational pension schemes do not need to assess their solvency requirements on a short time basis due

    to their long term liabilities. Doing so would be incompatible with their need to invest in assets that,

    while risky, yield very positive long-term returns, on average (p.18), as suggested by Bassanini and

    Reviglio10.

    Similarly, accounting standards can have an impact on the way pension funds allocate their resources.

    AEIP has already commented on the problems and concerns arising from the IAS 1911. This accounting

    10Franco Bassanini et Edoardo Reviglio, Financial stability, fiscal consolidation and long-term investment after the crisis,

    OECD Journal: Financial Market Trends, 2011 (1).

    11See theAEIP Analysisof the influence of IFRS on the European Pension sector and the Joint ABC-AEIP-EFRP-NCCMP

    Comment Letteron the IASB Exposure Draft (ED/2010/3) of September 2010

    http://aeip.net/images/stories/position_papers/EN/2009_09_30_AEIP%20Analysis%20of%20the%20Influence%20of%20IFRS%20on%20the%20European%20Pension%20Sector.pdfhttp://aeip.net/images/stories/position_papers/EN/2009_09_30_AEIP%20Analysis%20of%20the%20Influence%20of%20IFRS%20on%20the%20European%20Pension%20Sector.pdfhttp://aeip.net/images/stories/position_papers/EN/2009_09_30_AEIP%20Analysis%20of%20the%20Influence%20of%20IFRS%20on%20the%20European%20Pension%20Sector.pdfhttp://aeip.net/images/stories/position_papers/EN/2010_09_06_abc-aeip-efrp-nccmp%20letter%20to%20iasb.pdfhttp://aeip.net/images/stories/position_papers/EN/2010_09_06_abc-aeip-efrp-nccmp%20letter%20to%20iasb.pdfhttp://aeip.net/images/stories/position_papers/EN/2010_09_06_abc-aeip-efrp-nccmp%20letter%20to%20iasb.pdfhttp://aeip.net/images/stories/position_papers/EN/2009_09_30_AEIP%20Analysis%20of%20the%20Influence%20of%20IFRS%20on%20the%20European%20Pension%20Sector.pdf
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    standard does indeed require sponsor undertakings to attribute current market values to assets whosevaluation should be based on several years (p. 21).

    Moreover, introducing market volatility into sponsor undertakings balance sheets might push for

    changing the nature of a pension scheme from defined benefit to defined contribution arrangements.

    AEIP suggests that in order to improve the provision of long-term financing to the European economy,

    the IFRS accounting standards should possibly provide for different (more favourable) treatment of long-

    term investments. AEIP believes any such measure should not be linked to a long-term investment

    detailed definition. Instead, it should be left to the pension funds to identify assets that are kept for long-

    term purposes and those which are not.

    This might eventually be coherent with the proposals suggested by Bassanini and Reviglio (p. 22), on the

    need to (i) introduce accounting criteria that reflect long-term investors specific business model; (ii)

    distinguish between different temporal durations/matching liabilities and investments; and (iii) take into

    account the valuation of future cash flows over the long-term.

    Q22: How can the mandates and incentives given to asset managers be

    developed to support long-term investment strategies and relationships?

    AEIP believes that designing incentive mechanisms at regulatory level would be too difficult.

    The relationship between the asset owner and the asset manager must be left to the ability of the two to

    agree on a set of long-term performance data. The ability of the asset manager to comply with the

    Environmental, Social and Governance principles set out by the investor should also be considered in a

    comprehensive evaluation.

    Q25: Is there a need to develop specific long-term benchmarks?

    It does not appear clear which purpose long-term benchmarks would serve. AEIP would refrain from

    using any benchmark that could evaluate a long-term investment from a purely financial point of view.

    Q30: In addition to the analysis and potential measures set out in this Green

    Paper, what else could contribute to the long-term financing of the

    European economy?

    As stated in the responses to Questions 1 and 5, AEIP suggests that being occupational pension funds

    long-term investors by nature, an empowerment of occupational pensions in Europe would serve the

    twofold purpose of guaranteeing more adequate pensions to European workers, while channelling more

    resources to long-term investments.

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    CONTACTS:

    Bruno GABELLIERISecretary General

    [email protected]

    [email protected]

    Francesco BRIGANTI

    Director

    [email protected]

    AEIP - The European Association of Paritarian InstitutionsRue Montoyer 24

    B- 1000 Brussels

    +32 2 233 54 20

    AEIP represents the EuropeanParitarian Institutionsof Social Protection in Brussels since 1997. The Association gathers 27

    leading large and medium-sized Social Protection Management Organizations which equally represent the employees and the

    employers through a joint governance scheme; plus 39 affiliates from 22 countries

    AEIP represents its members values and interests at the level of both European and International Institutions. In particular, AEIP -

    through its working groups - deal with EU coordinated pension schemes, pension funds, healthcare schemes, unemployment schemes,

    provident schemes and paid holiday schemes. The final goal of AEIP is to achieve pan-European paritarian schemes of social protection.

    mailto:[email protected]:[email protected]://en.wikipedia.org/wiki/Paritarian_Institutionshttp://en.wikipedia.org/wiki/Paritarian_Institutionshttp://en.wikipedia.org/wiki/Paritarian_Institutionshttp://en.wikipedia.org/wiki/Paritarian_Institutionsmailto:[email protected]