The European Securities and Markets Authority (ESMA), has published its 2021 Work Programme (WP), setting out its priorities and areas of focus for the next 12 months in support of its mission to enhance investor protection and promote stable and orderly financial markets.
The WP has been developed against the background of a changing landscape for ESMA, including the movement in the regulatory cycle towards supervision and enforcement. For 2021, ESMA’s planned activities will respond to the challenges faced by the EU, its capital markets and its citizens, including developing the retail investor base to support the CMU, promoting sustainable finance and long-term oriented markets, dealing with the opportunities and risks posed by digitalisation, strengthening the EU’s role in global capital markets and ensuring a proportionate approach to regulation.
During 2021, in addition to transversal themes implementing ESMA’s new mandates, the key areas of focus under its activities of supervisory convergence, assessing risks, single rulebook and direct supervision will be:
Supervisory Convergence – priorities will be to build an EU common risk-based and outcome-focused supervisory culture. Areas of focus will include fund liquidity risk and liquidity management tools, retail investment products costs and performance, quality and usability of data, supervision of ESG reporting and ESG data usage, and the implementation of EMIR.
In terms of peer reviews, ESMA expects to work on peer reviews on supervision of cross-border activities of investment firms, NCAs’ handling of relocation to the EU27 in the context of the UK’s withdrawal from the EU, supervision of CCPs, supervision of CSDs, and on the scrutiny and approval procedures of prospectuses;
Risk Assessment – emphasis on integrating the new focus on financial innovation and ESG into ESMA’s risk analysis, providing data for risk-based supervision and to support policy and convergence work. We will continue to monitor the impact on markets of the (post) COVID-19 pandemic and Brexit;
Single Rulebook – priority areas will include legislative reviews of MiFID and AIFMD and identifying possible rulebook changes in support of the CMU. Additionally, following the EMIR review and the EMIR Refit changes, review technical standards where necessary which, depending on market developments, may include the clearing thresholds and obligation; and
Direct Supervision – focus on third country central counterparty supervision as critical financial market infrastructures under EMIR 2.2 and prepare for the new supervisory mandates regarding Benchmarks and Data Service Providers.