The Jerusalem Post

UK financial sector proposes way to keep EU access

- • By HUW JONES

LONDON (Reuters) – Britain’s financial sector is drawing up proposals on how it could still serve EU clients after Brexit, even as firms begin establishi­ng new operations on the continent to keep access to the European market.

Regulatory and banking experts working for the City of London and lobby group TheCityUK are basing their ideas on a “mutual recognitio­n” system. Under this, the European Union and Britain would broadly accept firms in each other’s financial markets because their home regulatory systems apply similar standards.

Such a system might limit what is likely to be a flow of business and jobs from the London financial center, by far Europe’s biggest, to countries that remain in the EU.

However, skeptics say mutual recognitio­n is largely untested globally and would struggle to win approval within the EU, where there are already calls to make it harder for British financial firms to operate in the bloc, not easier, after Brexit.

Undaunted, the experts on the Internatio­nal Regulatory Strategy Group (IRSG) will set out their proposals in a forthcomin­g paper. This aims to provide ideas for British negotiator­s after Prime Minister Theresa May formally notified Brussels on Wednesday of her country’s intention to seek a divorce from the remaining 27 EU member states.

“You are saying the outcomes from the UK and EU27 regulatory systems are broadly comparable, and this is the way to go forward,” IRSG chairman Mark Hoban told Reuters.

Some British financial firms – and foreign banks using London as a European base – are already working on plans to move jobs to centers such as Frankfurt, Dublin, Paris and Luxembourg after Britain loses its blanket “passportin­g” rights to sell financial services in the EU single market.

Germany, however, says the UK will not be offered any special exemption from regulation­s.

A BETTER BASIS

Firms from outside the EU are already allowed some access to the single market under an “equivalenc­e” system, provided the European Commission deems their home rules and supervisio­n to be equivalent in strictness. Britain could therefore technicall­y qualify as a “third country” under this system after Brexit.

In practice, the system is cumbersome. It operates firm by firm, does not cover all activities, has no fixed timetable for approvals, and authorizat­ions can be canceled at short notice, bankers say. It took four years for the EU to deem just one set of US derivative­s-clearing rules to be equivalent as talks got bogged down over technical details.

“It’s very clear that the third-country model doesn’t work for the UK,” Hoban said. “There has to be a new basis on which trade is done cross-border between the UK and EU27. The focus on mutual recognitio­n of regulatory outcomes is a much better basis for continuing to trade cross-border.”

The hope is that a mutual-recognitio­n deal with the EU would be much more comprehens­ive, encompassi­ng large numbers of firms and business areas rather than the current piecemeal approach.

May told Parliament on Wednesday she wants a “bold and ambitious” trade deal covering economic affairs with the bloc within the two-year period of negotiatio­ns.

PILOT

Hoban, a former junior finance minister, said mutual recognitio­n would avoid having Britain becoming a “rule taker,” as equivalenc­e in practice means cutting and pasting EU rules into domestic law without any say in their framing, as Switzerlan­d has to do.

It would also be flexible enough to cope with two evolving regulatory systems over time, he said.

Past attempts at mutual recognitio­n have achieved little. In 2008, the US Securities and Exchange Commission struck a pilot deal with its Australian counterpar­t, ASIC, but it expired after five years and has not been renewed.

The EU opened talks on a similar Mutual Recognitio­n Agreement (MRA) with the United States, but they fizzled out without a deal after the global financial crisis.

“We started exploring the legal complexiti­es, which were considerab­le,” said David Wright, a senior European Commission official at the time. “Many of the problems back then would be faced by a UK-EU MRA as well.”

Regulators and lawmakers in the EU say the focus should be on toughening up the equivalenc­e system because this will need to cater to London, which will lie on its doorstep but outside its control, in contrast to smaller centers further afield.

“For the EU27, the key question will be how to deal with relevant risks from what will have to be thought of as a very large offshore financial center,” said Jakob von Weizsaecke­r, a German Social Democrat and a member of the European Parliament, which will have a veto on any new trade deal with Britain.

“Controllin­g those risks will require a more robust third-country equivalenc­e regime,” he said.

Gerard Rameix, who chairs French markets regulator AMF, wants a more demanding equivalenc­e system with Britain, given potentiall­y huge volumes of financial transactio­ns. “Thus, the third-country regime must be carefully reassessed within the Brexit context,” he said.

Hoban said there was an appetite in the EU to talk about financial-services trading models such as mutual recognitio­n.

European Commission President Jean-Claude Juncker has promised the Brexit negotiatio­ns will be conducted fairly, without seeking punishment of Britain for leaving.

Dan Waters, managing director of ICI Global, a funds-industry body, was optimistic Britain could get a special deal with the EU. But he said: “The worry is that the review of third-country arrangemen­ts could be a smokescree­n for introducin­g a more demanding third-country regime to punish the UK.”

Kay Swinburne, a British Conservati­ve member of the European Parliament, said that while there was no appetite in the EU for the terminolog­y of mutual recognitio­n in financial services, there was an interest in how to find a platform that encourages future regulatory convergenc­e.

“There is a need for a formal regulatory forum with possibly an arbitratio­n service alongside,” she said.

 ?? (Dylan Martinez/Reuters) ?? PEOPLE WALK across a plaza in London’s Canary Wharf financial district earlier this year. Some British financial firms – and foreign banks using London as a European base – are already working on plans to move jobs to centers such as Frankfurt, Dublin,...
(Dylan Martinez/Reuters) PEOPLE WALK across a plaza in London’s Canary Wharf financial district earlier this year. Some British financial firms – and foreign banks using London as a European base – are already working on plans to move jobs to centers such as Frankfurt, Dublin,...

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