Revision of MiFID II and MiFIR
AMAFI has published a summary of the provisions of the revised MiFID II and MiFIR frameworks, against a backdrop of […]
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In the wake of the US industry’s decision to shorten its settlement cycle to one day after the date of the trade (T+1) in April 2024, the UK and EU launched studies to determine whether to follow suit and reduce their own cycles from the current two days to one day.
AMAFI teamed up with France Post Marché and the AFG to respond to ESMA's consultation on introducing a T+1 or even T.0 settlement cycle in Europe (AMAFI / 23-85).
The associations agreed to review only the T+1 scenario, since introducing same-day settlement would entail deep-seated changes to the technology currently used by financial markets and looks unworkable in the short and medium term.
AMAFI offered the following observations:
At this stage, the technical drawbacks appear to outweigh the benefits. In addition, while the move to T+1 by other jurisdictions will definitely have consequences for European stakeholders (investment firms and management companies), the effects should not be overestimated. It would be more sensible to estimate the costs and benefits of switching to T+1 in Europe once other markets, and especially the US market, have moved to the new timing.
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Revision of MiFID II and MiFIR
AMAFI has published a summary of the provisions of the revised MiFID II and MiFIR frameworks, against a backdrop of […]
Integration and supervision of European markets
AMAFI has responded to the European Commission’s “Call for Feedback” on its Package on Integration and Supervision of European markets. […]
Competitiveness of the European banking sector: AMAFI responds to the European Commission
Following the reports by Enrico Letta and Mario Draghi, which highlighted the need to strengthen the competitiveness of the EU’s […]