Crédit Agricole Group.pdf
Crédit Agricole Group’s response to the EBA’s call for evidence on the PRIIPs Regulation review, addressing concerns over regulatory stability, KID effectiveness, and proposed changes for structured and insurance-based investment products.
Deutsche Börse Group.pdf
Deutsche Börse Group responds to the EBA’s call for evidence on the PRIIPs Regulation, addressing challenges in Key Information Document (KID) requirements for exchange-traded derivatives, regulatory scope, and retail investor protection under the EU’s retail investment strategy.
German Banking Industry Committee (GBIC).pdf
German Banking Industry Committee (GBIC) response to the EBA’s call for evidence on the PRIIPs Regulation review, addressing key issues like KID accuracy, digital adaptation, and investor protection improvements for structured and derivative banking products.
Gesamtverband der Deutschen Versicherungswirtschaft.pdf
GDV (German Insurance Association) responds to EBA’s call for evidence on PRIIPs Regulation, highlighting insurers’ experience with Key Information Documents (KID), advocating for modernization to better reflect insurance-specific features like biometric protection and streamlined cost disclosures under the EU retail investment strategy.
Institut des actuaires.pdf
Institut des actuaires (France) submits feedback to the EBA’s call for evidence on the PRIIPs Regulation review, addressing KID effectiveness, digital adaptation, scope, and retail investor protection as part of the EU’s retail investment strategy.
Insurance Europe.pdf
Insurance Europe’s response to the EBA’s call for evidence on the PRIIPs Regulation review, highlighting concerns over the short consultation timeline, market impact of Insurance-based Investment Products (IBIPs), and challenges in aligning regulatory changes with consumer testing and digital adaptation.
European Fund (EFAMA).pdf
EFAMA’s response to the EBA’s call for evidence on the PRIIPs Regulation review, advocating for stability in the PRIIP KID framework post-2022 implementation, emphasizing investor adaptation needs, and cautioning against frequent regulatory changes to avoid costs and maintain confidence.
European Issuers.pdf
European Issuers' response to the EBA's call for evidence on the PRIIPs Regulation, focusing on retail investor protection, Key Information Document (KID) effectiveness, digital adaptation, and corporate bond treatment under the EU's retail investment strategy.
EUSIPA (European Structured Investment Products Association).pdf
EUSIPA's response to the EBA's call for evidence on the PRIIPs Regulation, highlighting concerns over frequent regulatory changes, alignment with MiFID rules, and the need for an evidence-based review of retail investment product disclosures and investor protection frameworks.
Finance Denmark.pdf
Finance Denmark’s response to the EBA’s call for evidence on the PRIIPs Regulation, assessing the effectiveness of Key Information Documents (KIDs) for retail investors, challenges in comparability, digital adaptation, and the transition from UCITS KIID to PRIIPs KID by December 2022.
Finance Finland.pdf
Finance Finland’s response to the EBA’s call for evidence on the PRIIPs Regulation review, addressing retail investor protection, KID effectiveness, digital adaptation, and implementation challenges in Finland, while advocating coordinated regulatory changes.
FINANCIAL ADVICE.pdf
EBA, EIOPA, and ESMA call for evidence on the PRIIPs Regulation review, seeking stakeholder input on the Key Information Document (KID), comprehension alerts, enforcement, digital adaptation, and scope to shape retail investor protection advice for the European Commission by April 2022.
France Invest.pdf
France Invest’s response to the EBA’s call for evidence on the PRIIPs Regulation, assessing its application, effectiveness, and digital adaptation, with a focus on retail investor protection, venture capital, and private equity funds in France.
French banking federation.pdf
French Banking Federation response to the EBA’s call for evidence on PRIIPs Regulation, addressing retail investor protection, KID effectiveness, regulatory consistency with MiFID II, and concerns over frequent documentation changes for investment products.
German Association of Actuaries (DAV).pdf
German Association of Actuaries (DAV) responds to the European Commission's call for evidence on the PRIIPs Regulation, providing feedback on retail investor protection, KID effectiveness, digital adaptation, and regulatory scope ahead of the 2022 retail investment strategy review.