Disclosures
To respond to this demand for higher transparency and more comprehensive information, distributors will be required to separately disclose and itemize all third-party payments ex-ante and communicate their purpose and expected compounded impact on returns. ESMA and EIOPA will be mandated to develop draft RTS to set out the standardized terminology and format of such disclosures one year after the Directive’s entry into force.
Inducements will also be further emphasized and standardized in ex-post disclosures. Annual statements on costs and charges should include, inter alia, third-party payments, expressed in an itemized way in monetary terms and percentages, and performance, with the objective of demonstrating the cumulative impact on the net return.
Particularly risky products will also be required to include specific risk warnings in all client information material. European supervisory authorities will be mandated to specify the definition of these products as well as the content and the format of these warnings.
Marketing
The RIS provides for a clear allocation of responsibilities with regard to marketing communications. Product manufacturers are responsible for content and updates while distributors are responsible for the use of manufacturers’ marketing communication and are fully responsible for the communications they prepare themselves.
Member States will also be granted powers to intervene in case of unauthorized online advice or marketing, notably by financial influencers. These intervention powers will include the power to:
- order to remove or restrict access to an online interface
- order the deletion of a fully qualified domain name
- impose risk warnings
Financial literacy, professional status and advisors’ competences
The RIS spells out its ambition to improve financial literacy of the public at large through financial education. The qualification for the professional investors will also include a criterion relating to education and training which will standardize the knowledge criteria while the wealth criterion is proposed to be reduced from EUR 500 000 to EUR 250 000. This can be seen as an improvement to the opt-in conditions to qualify as professional investor but note there is no change to the number of transactions required.
Legal entities will be able to opt in for the professional status where they meet, as a minimum, two of the following criteria:
- balance sheet total: EUR 10 000 000
- net turnover: EUR 20 000 000
- own funds: EUR 1 000 000
Financial advisors will be required to demonstrate their knowledge and competence to meet their professional obligation and maintain and update that knowledge and competence by undertaking/attending a minimum of 15 hours per year of relevant professional training proven by a certificate. The certification requirement should be key to ensuring good quality advice and to provide assurance to clients, customers and competent authorities that the level of knowledge and competence meet the required standards.
Five areas distributors should look at
Revenue model
Distributors may differentiate their revenue model on client segments across two drivers:
- tailoring fee-based advisory pricing on different clients’ willingness to pay
- leveraging discretionary mandates on additional client segments for new revenue streams
Service model
Focus on intercepting and investing in services highly valued by clients will prove key to justifying fees applied to financial advisory services. Digital and direct client education should be two core levers to sustain this process.
Distribution model
There is a need to balance the distribution mix between mutual funds and ETFs, with the latter having the potential to be employed as “building blocks” in factor-based investment strategies.
It will also be necessary to innovate and streamline distribution target operating models to improve margins and tap into new market segments.
Inducement management
Increased scrutiny over inducement justification will foster the development of new value-added services functional to qualify the increased value brought by inducements received by the distributor.
Innovation and challenges
Investments will be required for the change management on the new regulatory environment, requiring a strong focus on relationship manager training and client education to effectively convey the value of services brought by inducements received by the distributor.