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AFME appoints Shaun Baddeley as Managing Director of Securitisation
8 Dec 2021
The Association for Financial Markets in Europe (AFME) has appointed Shaun Baddeley asManaging Director,Securitisation, leading theAssociation’sworkonsecuritisation regulatory reform.ShaunsucceedsRichard Hopkin, who is retiringat the end ofthis monthafter 11 yearsat AFME. Shaunhasnearly 25 years of experience in thesecuritisationindustry, having mostrecently workedforSantanderasManaging Director, Head of European ABS in Global Debt Financing at Santander’s CIB. He hasalsoworked forBanco Santanderin various rolessince 2008,all in securitisation,acting as arranger and lender, covering funding,capital management, relevant PrudentialRegulationand ESG matters. Prior to this,he spent ten years at Fitch Ratings, and before that began his career in the British Army where he was a Captain in the Royal Armoured Corps.. Rick Watson, Head of Capital Markets at AFME, said:“We are delighted to appoint Shaun asManaging Director of Securitisation. He isawell-knownand respectedmarket practitioner with extensive experience bothatUK and EUlevel.Welook forward toworking with him to takeforward AFME’s advocacy on securitisation regulatory reform, particularly as the EUplans to review the regulationnext year.” “We would also like tothank Richard for allofhis work forAFMEover the last 11 years,havingledtheEuropean securitisation industry through a crucial time of rebuilding after the global financial crisis.Together with membershehas worked tobuild and shape several crucial regulatory responses,including the Basel framework, the EU Securitisation Regulation and the concept of‘SimpleTransparent andStandardised securitisation’. We wish him well in his retirement.” Shaun Baddeley, Managing Director of Securitisation, said:“The European and UK securitisation industry is at an important crossroads and I look forward to taking forward AFME’s leadership in securitisation to the next stage, particularly in green securitisation which will play an even greater role as anessential tool for greening the economy.” –Ends –
Rebecca Hansford
New report highlights importance of private securitisation market to real economy
2 Dec 2021
The Association for Financial Markets in Europe (AFME), the European DataWarehouse (EDW) and True Sale International (TSI) have today published the first in a series of regular reports on the private cash securitisation market in the EU and UK. The Report demonstrates the importance of the private securitisation market in funding the real economy and aims to further enhance the quality and usefulness of disclosure in the private cash securitisation market in the EU and UK. To do this, it provides transaction-level data from 12 banks active in European private cash securitisation market, both ABCP and non-ABCP funding (it does not cover public term bond securitisations or synthetic securitisations). Richard Hopkin, Head of Fixed Income at AFME, said: “Private cash securitisation transactions provide important additional lines of credit to businesses across Europe. Many corporate borrowers favour such transactions because they allow for efficient future amendment, extension and restructuring through direct negotiation between the parties. They can also be an important source of finance for start-ups and new originators, prior to refinancing in the public term bond market. We hope that this report series can provide a further useful tool of reference for market participants and supervisors tracking the evolution of the European securitisation market.” Jan-Peter Hülbert, Managing Director of True Sale International GmbH, said “The report provides further evidence of the huge benefit of private securitisations for financing the real economy. Trade receivables, auto loans and leases as well as equipment leasing are the key asset classes in this segment, and they have performed very well before, during and since the global financial crisis. ABCP and other private securitisations provide access to capital markets financing especially to corporates and non-bank FIs together with their banking partners.” The Report highlights how the private cash securitisation market is vital to the real economy, providing: an important source of finance to the real economy: over 80% of transactions by volume fund sellers in the EU, and over 70% to the real economy; as well as an important source of finance supporting lower rated sellers with cost effective financing, demonstrating the transformative power of capital markets securitisation - 84% of transactions by volume were undertaken by sellers with ratings of BBB and below while the average transaction rating is in the range A to AA. AFME and TSI members are strongly committed to disclosure that is sensible, proportionate, of high quality and useful for investors and supervisors. The participants in this wide-ranging exercise took part on a voluntary basis, demonstrating their commitment to providing good quality and useful data, in order to reassure market participants and supervisors. These banks, together with all AFME and TSI members, look forward to continuing constructive discussions with the EU and UK authorities on how to improve and make more effective the framework for securitisation disclosure in general in the EU and UK, as set out in their response to the Article 46 consultations. – Ends –
Rebecca Hansford
Consolidated Tape key to progressing Capital Markets Union
26 Nov 2021
Following the publication of the European Commission’s Capital Markets Union (CMU) package, including a legislative proposal for the MiFIR Review, Adam Farkas Chief Executive of the Association for Financial Markets in Europe (AFME), commented: “Today’s package is an important step to re-energize the CMU project. This is a real chance to drive forward ambitious policies that strengthen the capacity of EU capital markets to serve the European economy. A structural equity gap remains in Europe and there is still much work to do on enhancing the provision of risk capital to meet the major long-term investment needs of the coming years. These challenges will only be addressed by a review of MiFIR that supports efficient and competitive capital markets and that promotes wider investor participation.” With respect to the MiFIR proposals, Adam Farkas commented: “The proposal for a consolidated tape is at the heart of today’s package and is essential for delivering CMU. AFME members agree a real-time tape for equities is the right solution, but the devil will be in the detail when it comes to its final design and we look forward to engaging with the co-legislators on this. “Making real-time equity market data available to all investors will provide a single view of trading in Europe, which is key for creating a truly pan-European market. This will not only promote more attractive and competitive capital markets in Europe, but it could also help to reduce home country bias in the EU, where investors tend to prefer companies from their own country. While a consolidated tape won’t deliver CMU on its own, it is an important next step to creating a truly unified, investable and tradeable market in the EU. “Regrettably, the proposal made public today does not prioritise a consolidated tape for equities with pre-trade trading data. We urge the co-legislators to extend the scope of the consolidated tape for equities to include pre and post trade trading data from the outset. “Of course, the consolidated tape will only be as good as the data that feeds into it. It is encouraging that the Commission is prioritising data quality issues and has set up an expert group to advise on the topic. We encourage the co-legislators to put frameworks in place that allow supervisors to capture a more accurate picture of the trading landscape. “In view of the poor quality of the existing trading data sets, we caution against further adjusting key fixed income or equity market structure features at this point without proper evidence and before the consolidated tape is enacted. AFME supports ESMA’s acknowledgement that the existing data does not fully reflect the equities or bonds trading landscape, and that further work is needed to improve existing evidence. “While AFME members are strongly supportive of well-calibrated, transparent fixed income markets, analysis of comprehensive data is essential for this accurate calibration to ensure an informed, balanced and effective transparency regime. As such, AFME would like to first see the development of a bond consolidated tape and to then make any necessary changes to the post-trade transparency regime once sufficient data has been gathered. This will avoid exposing committed liquidity providers to potential undue risks, especially when trading in illiquid instruments or transactions above a certain size, because if not properly considered, it may lead to diminishing liquidity available to corporates and investors.” With respect to the other parts of the CMU package, AFME is fully supportive of the establishment of a European Single Access Point (ESAP) for financial and non-financial information publicly disclosed by companies. If appropriately designed, the ESAP has the potential to enhance cross-border investors’ access to company data. It should be configured with the primary goal of increasing the availability and transparency of companies financial and non-financial ESG disclosures for the benefit of end investors without increasing costs or administrative burdens for corporates or end investors. – Ends –
Rebecca Hansford
AFME and Linklaters publish guide to navigating sustainable finance regulation
22 Nov 2021
A new report by the Association for Financial Markets in Europe (AFME) and Linklaters titled, “Sustainable Finance in Europe: Regulatory State of Play” provides a practical guide to the significant number of initiatives which make up the regulatory framework for sustainable finance in the EU, UK and Switzerland. It highlights how the banking sector is impacted and makes recommendations to further the goal of developing sustainable finance in Europe. The report provides analysis and identifies key milestones and actions for the banking industry in the five key elements of the European sustainable finance regulatory framework including: Sustainability reporting and disclosures; The development of taxonomies for sustainable activities; The development of market standards; Incorporation of ESG into banks’ risk management; and Initiatives relating to sustainable corporate governance. Oliver Moullin, Managing Director for Sustainable Finance at AFME, said: “Important progress has been made on the regulatory framework for sustainable finance. As we heard at COP26, it is essential to get the regulatory “plumbing” right to facilitate investments in support of sustainability goals. “The urgency of action has spurred an unprecedented number of initiatives in a short space of time. This report provides a practical guide for banks, helping them and their clients navigate the various initiatives; and highlights recommendations in support of the crucial goals of mobilising finance and ensuring the resilience of the financial sector to climate-related risks.” Vanessa Havard-Williams, global head of environment and climate change at Linklaters, added: “Momentum is building globally on sustainable finance. Market participants face both opportunities and challenges in navigating the ever-evolving legal and regulatory framework. Having an understanding of this shifting landscape and what actions should be taken, which we hope this report provides, is key to keeping aligned with regulatory expectations and bringing about change in the long-term.” AFME assesses the current state of play of the European regulatory framework and highlights three priority areas to facilitate the flow of capital to help achieve sustainability objectives: Finalising effective foundations Significant progress has been made over a short space of time, but it is important to finalise and implement effective regulatory building blocks as enablers of sustainable finance including (a) developing a disclosure framework for sustainability reporting; (b) providing a common classification system of sustainable economic activities; and (c) ensuring that ESG risks are effectively integrated into banks’ risk management. Ensuring coherence and consistency Due to the urgency of the task to tackle climate change, a very large number of initiatives have been put in place in a short space of time. While recognising the urgency of the task at hand, it is necessary to ensure that the framework is coherent and consistent, particularly as many aspects are complex and interconnected. As the foundations are finalised, AFME calls on policymakers and regulators to carefully consider the coherence of the framework as a whole to ensure that it is meeting its goals of facilitating the allocation of investment to meet sustainable objectives, avoids undue complexity and overlapping, duplicative or inconsistent requirements. Further enhancing the consistency, understanding and usability of the framework would facilitate its implementation and help support well-functioning sustainable finance markets. Strong international coordination Climate change and other sustainability objectives are a global challenge which necessitates an internationally coordinated response. In order to maximise the benefits of sustainable finance, it is vital to leverage international capital markets and to provide a coherent approach for multinational businesses and financial institutions which are key to supporting the transition.
New report explains how a hybrid recapitalisation instrument could work to finance recovery of smaller corporates in EU
18 Nov 2021
The Association for Financial Markets in Europe (AFME), with support from PwC and Linklaters,has todaypublished anewreport,whichprovidesapracticalguide forEuropean authorities andMember Stateslooking to introduceanewhybridrecapitalisation instrumentthatcouldhelp provide fundingforsmaller corporatespost-Covid. The report, “Introducing aNewHybridRecapitalisationInstrument forSmaller EUCorporates”builds onanearlier January reportwhich examinedtherecapitalisationneeds ofsmallerEUhybrid equityinstrument could enable a greater number of SMEsto gain access to equity-like funding without relinquishing control of theirorganisationcorporates following the pandemicand foundthat a– one of theirchief concerns. However,sucha solution needs to be tailored tothe localaccounting,legal framework,andtax and insolvency treatmentin individual EU Member States,to achieve thekey attributesnecessary for creating an instrument which meets the needs of both investors and corporate issuers. Existingdomestic frameworks inGermany, France, Italy, Spain and the Netherlandsare presentedasexampleswhichofficials inother Member Statescan refertoindevelopingstructures which work in their own countriesand preferably at EU-widelevel. Adam Farkas, Chief Executive of AFME, said:“As economic conditions graduallyimprove,it is vital that smaller unlisted companies and midcapsin the EUwith the potential to drive economic growth have access to ample fresh capital to invest in innovation and their future growth. Alternative types and sources of funding will berequired to meet this challenge. “While some EUMemberStates – including France, Spain and the Netherlands – have recently launched nationaldebt-focusedschemes and instruments to support company recapitalisation,AFMEcontinuesto see significant value in the development of an EU-wide recapitalisation instrument frameworkthat could be rolled out across variousMemberStates.” Thereport presents the following analysis: An overview of the key hybrid instrument attributesrequired to achieve the desired equity accounting, taxdeductibilityand insolvency treatment. A summary of state aid considerationsthat are likely to be taken into account in assessingthe introduction of suchequity-accountedhybrid instruments for the purposes of compliance with EU state aid requirements. A generic sample term sheetoutlining the proposed instrument features which can be used as a reference fordiscussion with officials, investors and mid-cap/SME corporate issuers. AFMEbelievesthe report will provide a useful reference forpolicy makers and key stakeholdersin order to bringthe idea of a new hybrid instrument for SMEsto reality and that officials, corporates and investors can continue to work together to design solutions adjusted to the needsof companies seeking investment capital in the phase of economic recovery. –Ends – Notes: This report followsAFME’s January2021report,whichestimated that Europe could face a funding gap of €450-600bn in equity and hybrid capital to prevent business defaults with the gradual reduction of state support measures.
Rebecca Hansford
AFME data shows record M&A and IPOs post-pandemic
5 Nov 2021
The Association for Financial Markets in Europe (AFME) has today published its quarterly Equities Data Report. The report provides an update on the performance of the equity market in Europe in activities such as primary issuance, Mergers and Acquisitions (M&A), equity liquidity structure, and market valuations. Key findings include: Equity issuances on European exchanges accumulated an increase of 39% in the first three quarters of 2021 compared to the same period of 2020. However, following two exceptionally robust quarters, equity capital raising decelerated in 3Q 2021 to levels closer to historic volumes, with a decline of -46% QoQ. IPOs for €52.8bn have taken place in the first three quarters of 2021, almost 5 times the amount issued in the same period of 2020. SPAC IPOs represented 11% of total European IPOs in Q3 2021, a decline from 15% in Q2 2021. Domestic market capitalisation of European listed shares stood at €16.8tn at the end of September 2021, a 18% increase from €14.2 at the end of 2020. European[1] Completed Mergers and Acquisitions (M&A) of European companies totalled €829bn in the first three quarters of 2021 a 60% increase from the amount completed in the same period of 2021 (€519bn). This represents the highest YtD volume since 2007. The amount of announced M&A totalled €941bn in Q1-Q3 2021, a 81% increase from the same period of 2020. De-SPAC acquisitions represented 8% of the total announced European M&A in Q3 2021 (5% in Q2 2021). 86% of the announced SPAC acquisitions of European companies during Q1-Q3 2021 are De-SPACs of US-headquartered SPACs. These European companies will be effectively listed on US exchanges via their SPAC parent company. ​ Average daily equity trading activity on European main markets and MTFs stood at €74.6bn in Q1-Q3 2021, 6% below the average daily observed in Q1-Q3 2020. Double Volume Cap (DVC) update: The number of instruments suspended under the DVC has recently increased to 380 at the EU or trading venue level as of October 2021 (from 205 in Dec-20). European trading volume by trading mechanism The report also shows that the majority of equity trading in Europe (82%) takes place on venues[i]. A much smaller share takes place off-venue on alternative trading mechanisms known as systematic internalisers[ii] (SIs) which account for 10% of trading, and over the counter (OTC), which accounts for 8%. The updated figures, sourced from BigXYT, continue to confirm the findings AFME published in June with consultancy, Oxera showing that when technical trades are filtered out of the full universe of reported equity transactions, a true picture of economic trading activity is revealed. While technical trades, such as those undertaken out of hours or that are not price-forming, are informative from a supervisory perspective, they have no relevance when conducting an analysis of the trading and liquidity landscape. AFME’s quarterly data report will continue to track the share of European trading volume by trading mechanism going forward. – Ends –
GFMA and BCG report says pace of adoption and growth of emissions trading schemes is not sufficient to limit global warming to 1.5C
28 Oct 2021
A new report by the Global Financial Markets Association (GFMA) and Boston Consulting Group (BCG) titled, “Unlocking the Potential of Carbon Markets to Achieve Global Net Zero”, finds that close to 80% of greenhouse gas emissions are not covered by regulated carbon pricing today. In order to meet the Paris Agreement goals, price levels need to increase to an estimated $50-150/tonne average by 2030 from the current global average of <$5/tonne. To do this, the report highlights the role and importance of both compliance and voluntary carbon markets (a description of which can be found in the below graphic) to the low-carbon transition. Steve Ashley, Nomura Head of Wholesale Division and Chairman of GFMA, said: “Effective carbon pricing in the economy is one of the strongest tools to drive changed outcomes, treating GHG emissions as a time limited resource. Compliance and voluntary carbon markets can play a significant and complementary role and rapid action is required across policymakers, regulators, banks and capital markets participants to ensure the right incentives to economic decision making.” Kenneth E. Bentsen, Jr., CEO of GFMA and president and CEO of SIFMA, said:“Greenhouse gas emissions have increased by 50% over the last 30 years, with the world having warmed by approximately 1°C and an increase of 1.5°C expected within the next few decades. To limit a further temperature rise, a rapid scaling of carbon markets is required in order to mobilize an estimated $100—150+ trillion investment needed across sectors and regions[1].” Roy Choudhury, Managing Director and Partner at BCG, said: “With a 300–500 Gt of total carbon budget left, the next three decades must see a swift decline in emissions down from the current ~50 GtCO2e per annum to a global Net Zero on GHG emissions. Levers will need to be pulled, including a rapid scaling of carbon markets, both in geographic and sectoral coverage, and in ambition/rate of decarbonization.” The report identifies key data and recommendations for policymakers, market participants, and other key stakeholders to scale deep and liquid carbon markets for improved global and regional pricing effectiveness to significantly accelerate carbon reduction. The report also highlights the current challenges which the public and private sector need to overcome in order to prioritize the urgent action required to scale carbon markets in the near-term. These challenges include: Further scaling and enhancement of regulated policy-driven carbon pricing mechanisms such as Emissions Trading Systems (ETSs). Despite almost 200 countries having signed the Paris Agreement, the operationalization of this 1.5°C ambition into policy measures, such as ETS initiatives, is insufficient in terms of geographic scope, sectoral coverage, and decarbonization rates. Close to 80% of global greenhouse gas emissions are still not covered by regulated carbon pricing today. Price levels also need to capture true cost of emissions, from the current global average of <$5/tCO2 to an estimated $50–150/tCO2 average by 2030. Conservative estimates suggest a need to scale ETSs from ~$170 bn today to $1 tn+ in absolute size before 2030 to achieve the 1.5°C ambition. Developing clear role of the Voluntary Carbon Markets (1) as a transitionary mechanism, until regulated mechanisms take over and ultimately scale down with reducing emissions, (2) as a long-term global marketplace for carbon removals for neutralizing residual emissions and pursuing negative emissions, and (3) as a complementary mechanism for entities to compensate for their emissions while they pursue decarbonization in their value chains. To strengthen trust in the voluntary carbon markets, and to enable it to grow from the current scale of <0.5% global emissions, it is critical to develop stringent and transparent baselining and Measurement, Reporting and Verification (MRV) standards to ensure verifiable “additional” emissions reductions; a regular process to make standards increasingly stringent to ensure that VCM projects maintain additionality. Encouraging greater interoperability driven by the public sector The interoperability between carbon markets is insufficient to meet the demands of investment required to address climate risks. Greater interoperability needs to be driven: (1) between ETSs where rates of decarbonization are aligned, and (2) between ETSs and the voluntary carbon markets through tightly controlled mechanisms—stringent MRV and limits on eligibility and quantity to ensure additionality—would serve to grow the carbon markets and drive additional co-benefits regionally and globally. At present carbon markets are very fragmented, which holds back the necessary market growth to meet the G7 and Paris Agreement objectives. The report recommends that banking and capital markets firms can help develop carbon markets through capabilities and product offerings that help market participants in their compliance, decarbonization, risk management, and investment needs. Ultimately, the private sector’s role complements the actions of the public sector in addressing the challenges identified within this report. – Ends – AFME Rebecca Hansford Head of Media Relations [email protected] +44 (0)20 3828 2693 ASIFMA Corliss Ruggles Head of Communications [email protected] 852 9359 6996 SIFMA Katrina Cavalli Managing Director, Public Affairs [email protected] 212.313.1181About AFME: [1] As highlighted in GFMA and BCG’s previous publication “Climate Finance Markets and the Real Economy https://www.gfma.org/policies-resources/gfma-and-bcg-report-on-climate-finance-markets-and-the-real-economy/
AFME says Basel standards have strengthened banks’ resilience but warns against further significant capital requirement increases
27 Oct 2021
In response to the publication today by the European Commission (EC) of the CRR3 proposal,which implements the final December 2017 Basel III rules and concludes the post 2008  financial crisis regulatory repair programme,Michael Lever, Head of Prudential Regulation,at AFMEsaid: “European banks have raised hundreds of billions in equity capital since the financial crisis,resulting in record capital levels andhighresilience as evidenced by therecentresults oftheexceptionally severe European stress test. It will be important,therefore,that the co-legislators adhere to the Basel standard setters’ commitment to avoid any significant further increases in minimum capital requirements. “Unfortunately,severalimpact studies suggest that this is unlikely to be the case with the largest European banks facingmaterial increases to their capital requirements,especiallyonceallrequired capital buffers, such asbanks’managementbuffers,are included.This could have negative consequences for lending and broader economic activityifbalance sheet growth is constrained to conserve capital. “We welcome the Commission’s intention to extend the implementation date for the proposal until 1 January 2025 and strongly recommend that this is globally agreed on to ensure the simultaneous adoption of all proposals. We also supportthesuggestions to maintain limited European market specificities while remaining faithful to the Basel principlesandproposedimprovements tothe treatmentsofexposures to unrated corporates and low risk real estate lending.However, these are unlikely to go far enough to avoidmaterialcapital increases which risk undermining banks’ ability to support their customers’ financing needs as they recover from the impact of theCovid-19 pandemic.  Further adjustments to the proposals are therefore likely to be required,including changes to the calibration of the Output Floor-the market impact of which is likely to be felt from 2025,despite its planned five-year phase-in-and to limit the impact of this measure on specific asset classes and business lines. “The Commission is also proposing enhancements to the regime relating to the regulation and supervision of third country branches to address diverging practices and overlapping requirements. AFME supports proposals to harmonise current practices to ensure appropriate visibility and strengthen international cooperation arrangements. However,such arrangements should place a high degree of reliance on home state supervisory regimes and avoid any mandatory requirement for local subsidiarisation without a full understanding of the reasons for doing so and only then where it is not possible to reach alternative supervisory solutions.” –Ends –
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Rebecca O'Neill

Head of Communications and Marketing

+44 (0) 20 3828 2753