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The European Commission Consultation on the review of EuVECA and EuSEF Regulations will precede a new legislative proposal, with the objective of increasing the take-up of the existing regime. The PAE stressed in its response the importance of maintaining the flexibility and freedom of choice of the current regime while increasing its availability for venture capital and smaller private equity managers.
Positions & consultation responses
Member Only
"This paper describes the available data and research on venture capital investments and performance. We comment on the challenges inherent in those data and research as well as possible opportunities to do better."
External resources
Member Only
European Start-up's Ecosystem
External resources
Invest Europe responded to this call for evidence, in order to help EIOPA to give technical advice to the Commission on the identification and calibration of "infrastructure corporates” in Solvency II Delegated Regulation (EU) 2015/35.
Invest Europe believes that all forms of infrastructure investments should be eligible for the insurance risk weighting and the assessment of an infrastructure asset’s eligibility should be based on its characteristics than on the legal/corporate form by which it is organised.
Positions & consultation responses
Member Only
A review of quarterly fundraising, investment and divestment trends in European private equity and venture capital activity since Q1 2007. Please note that this data covers a representative sample surveyed for the Quarterly Indicator.
Data and insight
The ESMA Consultation Paper: “Guidelines on sound remuneration policies under the UCITS Directive and AIFMD” is relevant for the private equity industry as it proposes a targeted amendment to the AIFMD Remuneration Guidelines. In its response, the PAE encourages ESMA to retain its current interpretation of proportionality for private equity fund managers, allowing “neutralization” of certain remuneration rules that apply to them.
Positions & consultation responses
In this letter to ESMA, the PAE welcomes the publication of the European Long Term Investment Funds (ELTIF) Regulation in the Official Journal of the EU, endorses the proposed regulatory technical standards and looks forward to the availability of ELTIFs at the end of this year.
Positions & consultation responses
An EVCA study into private equity activity in Central and Eastern Europe. This report provides annual private equity and venture capital fundraising, investment and divestment statistics for the private equity markets of the CEE region in 2014.
Data and insight
The EVCA responded on behalf of the PAE to the ESAs Technical Discussion Paper on Risk, Performance Scenarios and Cost Disclosures set in the Key Information Document (KID) for Packaged Retail Insurance-based and Investment Products (PRIIPS). This consultation was launched to prepare the drafting of regulatory technical standards on the detail of the information to be contained in the KID, including calculation of costs and the definition of the risk indicator. The Standards will therefore have an impact on private equity funds when they wish to market to retail customers.
Positions & consultation responses
The EIOPA Consultation Paper follows a Call for Advice from the European Commission on the identification and calibration of infrastructure investment risk categories. In the discussion paper, EIOPA examines the possibility of introducing a specific standard formula treatment for infrastructure investments in order to ensure a more risk-sensitive treatment of the asset class.
Positions & consultation responses
Member guides
This paper addresses, at a high level, the EVCA’s position on certain technical issues concerning the introduction of a third-country passport for non-EEA AIFMs/AIFs.
Positions & consultation responses
This is the response to the EBA consultation paper “Draft EBA Guidelines on limits on exposures to shadow banking entities which carry out banking activities outside a regulated framework under Article 395 para. 2 Regulation (EU) No. 575/2013”. In its response, the PAE encourages the EBA to reconsider its approach and recognise that private equity funds have neither the characteristics nor the level of risks to credit institutions that would justify their identification as shadow banks
Positions & consultation responses
The EVCA responded on behalf of the PAE to Consultation on Public Discussion Draft BEPS Action 6: Preventing the Granting of Treaty Benefits in Inappropriate Circumstances. This is the third and final written consultation on Treaty Abuse as part of the BEPS project, further explaining why and how private equity funds should not be disadvantaged under new proposed rules.
Positions & consultation responses
The letter describes the EVCA and PEGCC position on the proposed assessment methodologies for identifying non-bank non-insurer global systemically important financial institutions. It discusses the reasons that private equity firms and funds are not systemically important.
Positions & consultation responses