EACC

Food security and ecosystem resilience: EU Commission boosts action on pollinators

Today, the Commission is presenting ‘A New Deal for Pollinators’ to tackle the alarming decline in wild pollinating insects in Europe, revising the 2018 EU Pollinators Initiative. Citizens have been increasingly calling for decisive action against pollinator loss, also through the recent successful European Citizens’ Initiative ‘Save Bees and Farmers‘. The renewed initiative sets out actions to be taken by the EU and the Member States to reverse the decline of pollinators by 2030 as today, one in three bee, butterfly and hoverfly species are disappearing in the EU. It complements the Commission’s proposal for a Nature Restoration Law of June 2022 and is a key part of the Biodiversity Strategy 2030, the Farm to Fork Strategy and the European Green Deal.
Reversing decline of pollinators by 2030
The revised EU Pollinators Initiative sets objectives for 2030 and actions under three priorities. The key priority is improving pollinator conservation and tackling the causes of their decline. This will be done through:

Better conservation of species and habitats – for example, the Commission will finalise conservation plans for threatened pollinator species; it will identify pollinators typical of habitats protected under the Habitats Directive which Member States should protect; and the Commission jointly with Member States will prepare  blueprint for a network of ecological corridors for pollinators, or ‘Buzz Lines’.

Restoring habitats in agricultural landscapes – notably through more support for pollinator-friendly farming under the Common Agricultural Policy.

Mitigating the impact of pesticide use on pollinators – for example through legal requirements to implement integrated pest management or through additional test methods for determining the toxicity of pesticides for pollinators, including sub-lethal and chronic effects. As the excessive use of pesticides is a key driver of pollinator loss, reducing the risk and use of pesticides as per the Commission’s Sustainable Use of Pesticides proposal will be critical.
Enhancing pollinator habitats in urban areas.
Tackling the impacts on pollinators of climate change, invasive alien species and other threats such as biocides or light pollution.

The initiative will also focus on improving knowledge of pollinator decline, its causes and consequences. Actions include establishing a comprehensive monitoring system, supporting research and assessment for example by mapping Key Pollinator Areas by 2025, and targeted actions to promote capacity-building and dissemination of knowledge.
A final priority is mobilising society and promoting strategic planning and cooperation. The Commission will support Member States to develop national pollinator strategies. The Commission and Member States shall also help citizens and business to act, for example by raising public awareness and supporting citizen science.
The full list of actions can be found in the Annex to the Communication ‘A New Deal for Pollinators’.
Next steps
The Commission invites the European Parliament and the Council to endorse the new actions and to be actively engaged in its implementation, in close cooperation with all relevant stakeholders. The new actions will complement forthcoming National Restoration Plans (under the proposed Nature Restoration Law) where Member States will identify the measures to achieve the legally binding target of reversing the decline of pollinator populations by 2030.
Later this year, the Commission will respond to the Citizens’ Initiative ‘Save Bees and Farmers’ through a dedicated communication. 
Background
Pollinators are an integral part of healthy ecosystems. Without them, many plant species would decline and eventually disappear along with the organisms that depend on them, which would have serious ecological, social and economic implications. With around 80% of crop and wild-flowering plants depending on animal pollination, pollinator loss is one of the largest threats to EU nature, human wellbeing and food security, as it compromises sustainable long-term agricultural production. Today’s geopolitical context has further strengthened the need to make our food system more resilient, including through protecting and restoring pollinating insects.
The initiative builds on comprehensive stakeholder consultations and institutional feedback from the European Parliament, the Council, the Committee of the Regions, and the European Court of Auditors. It is also in line with the recently adopted Kunming-Montréal Global Biodiversity Framework which includes a global target to reduce the risk from pesticides by at least 50% by 2030.
Compliments of the European Commission.
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EACC

Trade and Climate: EU and partner countries launch the ‘Coalition of Trade Ministers on Climate’

On January 19, the European Commission, EU Member States, and 26 partners countries will launch “The Coalition of Trade Ministers on Climate”, the first Ministerial-level global forum dedicated to trade and climate and sustainable development issues. The Coalition will foster global action to promote trade policies that can help address climate change through local and global initiatives.
The Coalition aims to build partnerships between trade and climate communities to identify the ways in which trade policy can contribute to addressing climate change. It will promote trade and investment in goods, services and technologies that help mitigate and adapt to climate change.
A prominent element of the Coalition’s agenda is to identify ways in which trade policies can support the most vulnerable developing and least developed countries that face the greatest risks from climate change.
This high-level political dialogue will see the participation of Trade Ministers from different regions and income levels. Civil society, business, international organisations and climate and finance communities will participate in the Coalition’s work.
The Coalition is open to all interested countries, and so far consists of more than 50 ministers from 27 jurisdictions. The four co-leads are Ecuador, the EU, Kenya, and New Zealand. The other participants are: Angola, Australia, Barbados, Cabo Verde, Canada, Colombia, Costa Rica, Iceland, Gambia, Japan (Foreign Affairs & Trade), Republic of Korea, Maldives, Mozambique, Norway, Philippines, Rwanda, Zambia, Singapore, Switzerland, Ukraine, United Kingdom, United States and Vanuatu.
The Coalition will provide political guidance and identify trade-related strategies to adapt to changing climate conditions and extreme weather, for instance through the production, diffusion, accessibility and uptake of climate-friendly technologies. It will focus on finding trade-related solutions to the climate crisis in line with the United Nations Framework Convention on Climate Change (UNFCCC), the Paris Agreement, and the Sustainable Development Goals, whilst supporting ongoing efforts in this area in the World Trade Organization (WTO).
Next Steps
The next Ministerial meeting will take place in the margins of the next WTO Ministerial Conference planned in early 2024.
Background
The Climate Coalition was officially launched during the World Economic Forum Annual Meeting in Davos on 19 January 2022. It aims to identify the ways trade and trade policy can have a positive contribution to the current climate crisis. It will be a forum of high-level political dialogue to foster international cooperation on climate, trade and sustainable development.
Compliments of the European Commission.
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ECB Speech | The digital euro: our money wherever, whenever we need it

Introductory statement by Fabio Panetta, Member of the Executive Board of the ECB, at the Committee on Economic and Monetary Affairs of the European Parliament | Brussels, 23 January 2023 |
Our investigation into a digital euro started more than a year ago.
Closely involving the European Parliament in the investigation phase has been a priority for the ECB from day one.
Over the course of 2022, we regularly discussed key design options in this Committee.[1] Your views provided valuable input to our work and, together with the feedback from other public and private stakeholders[2], allowed us to make steady progress.
Such interactions are essential in ensuring that public money addresses the preferences and needs of citizens and businesses in an ever-evolving digital landscape.
People’s payment behaviour is changing at an unprecedented speed: over the past three years, cash payments in the euro area have dropped from 72% to 59%, with digital payments becoming increasingly popular (Chart 1).[3] In the Netherlands and Finland, for example, cash is used only in one fifth of the transactions. At the same time, people appreciate the option to pay with public money. Most see it as important or very important to always have that choice.

Chart 1: Digital payments further on the rise but cash remains an important option

Source: Study on the payment attitudes of consumers in the euro area (SPACE).

A digital euro would respond to this growing preference for electronic payments by making public money available also in digital form. Together with cash, a digital euro would offer Europeans access to means of payment that allow them to pay everywhere in the euro area, free of charge. Being easily accessible and convenient to use would support adoption and financial inclusion.
In my remarks today I will discuss how the digital euro could help enable us to use our money whenever, wherever we need it throughout the euro area.[4]
I will conclude my remarks with the work agenda for 2023, when we will conclude our investigation phase and the European Commission will present its legislative proposal.[5]
A convenient digital payment solution, giving people control over their money
The ECB is at the global forefront of the efforts by central banks to design state-of-the-art digital payment solutions for both retail and wholesale transactions.[6]
Payments are part and parcel of everyday life: we all usually carry at least one payment instrument, be it coins, banknotes, a credit card or a mobile phone.
Our priority for the digital euro project has always been clear: to preserve the role of central bank money in retail payments by offering an additional option for paying with public money, including where this is not possible today, for example in e-commerce.
The digital euro would not replace other electronic payment methods, or indeed cash. Rather, it would complement them. And by doing so, it would safeguard our monetary sovereignty while strengthening Europe’s strategic autonomy.
The initial releases would focus on enabling access to the digital euro for euro area residents, namely consumers, firms, merchants and governments.[7]
A digital euro should be easily accessible and usable throughout the euro area, like cash today. We believe this would be best achieved with a digital euro scheme.[8] By providing a single set of rules, standards and procedures, a scheme would allow intermediaries to develop products and services built on a digital euro.
The scheme would also ensure that citizens can always access certain core services, no matter which intermediary they have their account or wallet with.[9]
The digital euro would be a public good. It would therefore make sense for its basic services to be free of charge – for example when using the digital euro to pay another person, as is the case for cash.[10]
But on top of the basic services, people could choose to make use of any additional services offered by participating intermediaries on a voluntary basis.[11]
Conditional (or programmable) payments are often mentioned as one such innovative service – however, there is some confusion about the term, and this may raise concerns.
Our definition of conditional payments is that people could decide to authorise an automatic payment where pre-defined conditions of their own choosing are met.[12] For example: the payer could decide to set an automatic monthly payment in digital euro to pay their rent.[13] But the payee would not face any limitations as to what they can do with this money they receive every month.
We believe supervised intermediaries, who are in direct contact with users, are best placed to identify use cases for conditional payments and any other advanced payment services.[14]
But let me be clear: the digital euro would never be programmable money. The ECB would not set any limitations on where, when or to whom people can pay with a digital euro. That would be tantamount to a voucher. And central banks issue money, not vouchers.
We are also aware of some people’s concerns that a digital euro could harm the confidentiality of their payment data.
When it comes to the central bank, we propose that we do not have access to personal data.[15]
And it will be for you, as co-legislators, to decide on the balance between privacy and other important public policy objectives like anti-money laundering, countering terrorism financing, preventing tax evasion or guaranteeing sanctions compliance. On our side, we have been working on solutions that would preserve privacy by default and by design, thereby giving people control of their payment data.[16] To this end, we are also closely engaging with the European Data Protection Supervisor and the European Data Protection Board.
Using a digital euro easily and everywhere in the euro area
As public money, a digital euro would be a European public good which all citizens and firms should be able to access and use without barriers. This should be the case regardless of who their intermediary is or which Member State they are located in.
Offering universal accessibility and usability would be key for a digital euro to play its role as a monetary anchor and to fulfil people’s expectations. Feedback from citizens[17] reflects the value of having a payment instrument which is always an option for the payer. Citizens may not always pay with cash, but they like to always have the option to do so. The same logic applies to a digital euro.
As co-legislators, you can adopt regulatory measures that would ensure widespread acceptance of the digital euro in payments while ensuring that citizens have broad access to the digital euro.
But while these two factors are vital foundations for the digital euro, they alone are not sufficient. Attractive functionalities and convenient user experience would be equally key for widespread adoption.
We therefore want to design a digital euro with online and offline functionalities. These will allow it to serve different use cases[18] and offer users different benefits. For example, an offline functionality[19] would give payments a level of privacy that is close to that of cash. It would also increase resilience as it would work without internet access.
We are also envisaging two options for conveniently using a digital euro.
First, supervised intermediaries could integrate the digital euro into their own platforms. In this way, users could easily access the digital euro through the banking apps and interfaces they are already familiar with.
Second, the Eurosystem is considering a new digital euro app[20], which would include only basic payment functionalities performed by intermediaries. The app would ensure that no matter where you travel in the euro area, the digital euro would always be recognised and you would be able to pay with it.
The first releases are likely to offer contactless payments, QR codes and an easy way to pay online.[21] As the technology evolves, other forms of payment may become available in the future. When it comes to the hardware, people could pay either with mobile phones, physical cards or possibly other devices like smartwatches.
A convenient user experience requires close cooperation with all sections of the market: consumer groups who know best about consumer needs; intermediaries who would provide services to their customers; and merchants who want to offer a convenient payment solution.
We have started work on the digital euro scheme rulebook[22] to ensure a harmonised and user-friendly solution that works everywhere in the euro area. [23]
The work agenda for 2023
Let me conclude with the work agenda for the next months.
We will continue our investigation phase in 2023 and regularly involve this Committee in our work.[24]
Together with the European Commission, we are still analysing a possible compensation model for the digital euro. In parallel, we are reviewing all the design options to bring them together in a high-level design for the digital euro in the spring.
We are also finalising our prototyping[25] work and seeking input from the market to get an overview of options for the technical design of possible digital euro components and services.[26]
I will discuss all these topics with you in the upcoming months, before the Governing Council endorses any design and distribution options.
In the autumn our investigation phase will come to an end. Only at that point will the ECB Governing Council decide whether to move to the realisation phase.

Chart 2: Digital euro project timeline

Let me emphasise, once again, that moving to the realisation phase does not mean issuing the digital euro. During this phase we would develop and test the technical solutions and business arrangements necessary to eventually provide and distribute a digital euro, if and when decided.
The possible decision by the Governing Council to issue a digital euro would be taken at a later stage and only after the Parliament and the Council of the EU have adopted the legislative act.
The digital euro project is a truly European initiative. And it is not just a technical project: it has a clear political dimension in view of its broad societal implications. All European policymakers must thus play their part, bearing in mind our respective roles and mandates. And we must always seek broad support from European citizens.
I thus look forward to further fruitful cooperation with European co-legislators and I am personally committed to continuing our regular exchanges in this Committee.
I now look forward to your questions.
Compliments of the European Central Bank.

Footnotes:
1. See ECB (2022), Progress on the investigation phase of a digital euro, September; ECB (2022), Progress on the investigation phase of a digital euro – second report, December; and ECB (2022), Letter from Fabio Panetta to Ms Irene Tinagli on progress on the investigation phase of a digital euro. The first report covers topics such as the transfer mechanism, privacy and tools to control the amount of digital euro in circulation. The second report focuses on the roles of intermediaries, a settlement model, funding and defunding and a distribution model for the digital euro.
2. Further information on stakeholder engagement and project governance is available on the ECB’s website.
3. ECB (2022), Study on the payment attitudes of consumers in the euro area (SPACE), December. For further information, see also ECB (2023), “Digital euro – stocktake”, presentation to the Eurogroup, 16 January.
4. Panetta, F. (2022), “Building on our strengths: the role of the public and private sectors in the digital euro ecosystem”, introductory statement at the Committee on Economic and Monetary Affairs of the European Parliament, Brussels, 29 September.
5. Further information on this proposal is available on the European Commission’s website.
6. In recent years, the Eurosystem has been working on a new consolidated TARGET platform – a complex infrastructure that would offer the market enhanced and modernised services – in addition to developing a Eurosystem Collateral Management System that will simplify processes involving multiple jurisdictions, including the mobilisation of cross-border collateral. The Eurosystem has also been working to ensure that TARGET Services remain resilient to cyber threats as well as considering potential changes in the needs of its wholesale settlement services users and whether new technologies could make settlement in wholesale digital central bank money more efficient and secure. In particular, the Eurosystem has been assessing the potential of distributed ledger technology (DLT) and the extent to which it could improve its services. See also Panetta, F. (2022), “Demystifying wholesale central bank digital currency”, speech at the Symposium on “Payments and Securities Settlement in Europe – today and tomorrow” hosted by the Deutsche Bundesbank, Frankfurt am Main, 26 September.
7. Non-residents, including visitors, may also have access to the first releases of the digital euro, provided they have an account with a euro area payment service provider. Subsequent releases may enable access for individuals and businesses in the European Economic Area (EEA) and selected third-party countries. Permanent access should always be based on an agreement with the authorities of that jurisdiction.
8. Panetta, F. (2022), “Building on our strengths: the role of the public and private sectors in the digital euro ecosystem”, introductory statement at the Committee on Economic and Monetary Affairs of the European Parliament, Brussels, 29 September.
9. The core end-user services include user management (opening and closing an account, onboarding and offboarding users, know-your-customer checks, payment instrument management, linking digital euro holdings to a commercial bank account and user lifecycle management processes), liquidity management (funding, defunding and waterfall options) and transaction management (initiation, authentication and confirmation or rejection notifications). For more information, see Euro Retail Payments Board (2022), Core, optional and value-added services for the digital euro, December.
10. See ECB (2020), Report on a digital euro, October. The scope of digital euro basic services is yet to be defined but should be similar in nature to the basic services that credit institutions are to provide under the Payment Accounts Directive (PAD). They could therefore include such features as the free opening of digital euro wallets/accounts, making payments between individuals as well as the funding and defunding of digital euro accounts/wallets.
11. Examples of these additional services include (i) an account information service, which would enable a third party to integrate digital euro information into their own account information services, thereby providing end users with an overall view of their financial situation across different intermediaries at any given moment; (ii) recurring payments, which would support conveniently paying for ongoing services (e.g. electricity bills or digital service subscriptions); (iii) pay-per-use enabled via pre-authorisation, which would support certain payment contexts in which the payment amount is unknown but funds need to be reserved until the final amount is authorised by the consumer (e.g. when paying for fuel at the petrol station); and (iv) a payment initiation service, which would enable payment service providers not holding end users’ digital euro accounts to trigger payment initiation.
12. It will nonetheless always be for the user to decide whether they want to use conditional payments and, if they do, which conditions they want to apply to their payments.
13. Additional examples of conditional payments include (i) a payment vs. delivery option, where the payment instruction is triggered by a third party other than the payer or payee, for instance the postal service responsible for delivery of a product that the payer purchased online; (ii) automatic reimbursement, where upon the sale of a subsidised product a request to pay for the subsidised amount would be automatically sent from the merchant to the company or authority subsidising it; or (iii) pay-per-use services (see footnote 11).
14. The Eurosystem can support the market-led development of these services via standards in the scheme rulebook and/or by providing necessary back-end functionalities that enable the provision of such services by intermediaries. For instance, the reservation of funds in digital euro could be enabled in the back-end infrastructure.
15. For more information on foundational privacy options see Panetta, F. (2022), “A digital euro that serves the needs of the public: striking the right balance”, introductory statement at the Committee on Economic and Monetary Affairs of the European Parliament, Brussels, 30 March, and ECB (2022), “Digital euro – Privacy options”, presentation to the Eurogroup, 4 April.
16. Ibid.
17. This feedback applies to both a digital euro and cash. See: Kantar Public (2022), Study on New Digital Payment Methods, March, and ECB (2022), Study on the payment attitudes of consumers in the euro area (SPACE), December.
18. For more information on the use cases see Panetta, F. (2022), “A digital euro that serves the needs of the public: striking the right balance”, introductory statement at the Committee on Economic and Monetary Affairs of the European Parliament, Brussels, 30 March.
19. Offline payments are payments where payer and payee are not connected to the internet and need to be in physical proximity to each other – like when paying in cash. An offline functionality would allow holdings, balances and transaction amounts to remain unknown to anyone but the user. The Union legislator will be responsible for ensuring this is enabled in relevant legislation.
20. A euro area app with a homogeneous look and feel would facilitate a standardised approach to connecting end users to intermediaries. The app would enable the initiation of payments by intermediaries for the prioritised use cases. The underlying objective behind making such an app available is to provide the market with the minimum required development, ensuring that intermediaries – including smaller ones who may not want to bear the investment costs of setting up their own payment interface – keep their roles in digital euro distribution. At the same time, the app would respond to the preferences of certain end users who have called for an independent access channel in which basic functionalities are available, as expressed by consumer’s associations and market surveys. See, for instance, the feedback provided by consumer associations on the 4th ERPB technical session on digital euro. The dual approach of an integrated option plus a digital euro app would yield the best results in terms of providing value for end users, as they would have greater choice. This also applies to intermediaries, since they would be able to build their integrated solutions and attract customers through value-added services, whilst overall ensuring a speedy time to market for the digital euro. It would also strengthen the position of the digital euro as a payment solution that provides support for the monetary anchor policy objective and pan-euro area reach.
21. In terms of technological options for payment initiation, the ECB has considered specific ideas to address the prioritised use cases, whilst also following the key objectives for the digital euro. The ECB would prioritise the use of QR codes for all use cases (peer-to-peer, e-commerce and point-of-sale), “alias/proxy” functionality for peer-to-peer and e-commerce (including app-to-app redirection) and NFC (near-field communication) for the point of sale.
22. As communicated in a letter to Ms Irene Tinagli, the ECB appointed a rulebook manager in December 2022. The ECB also published a call for market participants to join the Rulebook Development Group in January 2023. The aim of the Group is to support the drafting of a scheme rulebook, obtain market input and gain an industry perspective.
23. Panetta, F. (2022), “Building on our strengths: the role of the public and private sectors in the digital euro ecosystem”, introductory statement at the Committee on Economic and Monetary Affairs of the European Parliament, Brussels, 29 September.
24. See ECB (2022), Letter from Fabio Panetta to Ms Irene Tinagli on progress on the investigation phase of a digital euro.
25. Developing a prototype is a learning activity in an experimental environment.The ECB is testing the extent to which the Eurosystem’s back-end functionalities ­– namely the settlement infrastructure working in the background to record transfers and digital euro positions – can be smoothly integrated with the existing front-end payment solutions available to the public. As mentioned in a letter to Ms Irene Tinagli, the ECB published a technical onboarding package and also made it available to all companies across the euro area in December 2022. The ECB will also report on the findings of the prototyping exercise in the second quarter of 2023.
26. As pre-announced in a letter to Ms Irene Tinagli, the ECB is inviting relevant parties to take part in market research to assess options for the technical design of possible digital euro components and services. Participation in the market research will not be remunerated and will not influence eligibility for future procurement procedures related to a digital euro or any other procurement procedures. Nor will it imply any pre-selection for a potential subsequent tender. The ECB intends to announce the findings of the market research in the second quarter of 2023.

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Harnessing Talent in Europe: a new boost for EU Regions

Europe’s got talent. But talent needs to be nurtured, especially as the EU is going through important demographic transition. This is even more needed in regions that suffer from a shrinking labour force and a low share of persons with a tertiary education, and in regions hit by the departure of young people.
If left unaddressed, this transition will trigger new and growing territorial disparities as regions age and fall behind in number and skills of their workforce. It can change Europe’s demographic landscapes hampering the resilience and competitiveness of the EU.
Ensuring that regions facing a talent development trap become more resilient and attractive is crucial in the EU’s commitment of leaving nobody and no place behind.
This is why the Commission is launching the ‘Talent Booster Mechanism’. This Mechanism will support EU regions affected by the accelerated decline of their working age population to train, retain and attract the people, the skills and the competences needed to address the impact of the demographic transition.
The Mechanism is presented in today’s Communication on Harnessing Talent in Europe’s Regions and is the first key initiative in 2023 contributing to the European Year of Skills as proposed by the Commission, which aims to bring a fresh impetus for re- and upskilling. The Communication offers tailor-made, place based and multi-dimensional solutions, including the use of existing EU funds and initiatives to support regions most affected by the ongoing demographic transition and its side-effects and prevent the emergence of new and increased territorial disparities in the EU.
The Commission is also publishing today its 2023 Report on the Impact of Demographic Change, which updates the Demography Report of 2020. It revisits the demographic trends and the impacts that had been identified in light of recent developments, such as Brexit, Covid or the Russian military aggression against Ukraine. The Report stresses that, to ensure future prosperity and well-being in the EU, it is crucial to address the challenges brought about by the demographic transition. These challenges include an ageing as well as declining population, and a shrinking working-age population, but also increasing territorial disparities, including a growing urban-rural divide. The Report looks into how and if the established demographic patterns are accelerated or disrupted, and when they take place, if the disruptions are transitory, or have a lasting impact on demographic change.
The ‘talent development trap’ in some EU Regions
EU Member States are facing a sharp decline of their working age population. This population has decreased by 3.5 million people between 2015 and 2020 and is expected to shed an additional 35 million people by 2050.
82 regions in 16 Member States (accounting for almost 30% of the EU population) are severely affected by this decline of the working age population, a low share of university and higher-education graduates, or a negative mobility of their population aged 15-39. These regions face specific structural challenges such as inefficiencies in labour market, education, training and adult learning systems, low performance in the areas of innovation, public governance or business development, and low access to services. By addressing these challenges, the regions could attract more skilled workers. Several of these regions are already in a ‘talent development trap’ while the others face this risk in the near future. If left unaddressed this situation will threaten the long-term prosperity of the EU.
A new EU mechanism: the ‘Talent Booster Mechanism’
The Commission will develop the Talent Booster Mechanism based on 8 pillars:

A new pilot project will be launched in 2023 to help regions facing a ‘talent development trap’ elaborate, consolidate, develop and implement tailored and comprehensive strategies, as well as to identify relevant projects, to train, attract and retain skilled workers. Support will be provided to pilot regions selected on the basis of an open call.
A new initiative on ‘Smart adaptation of regions to demographic transition’ will kick off in 2023 to help regions with higher rates of departure of their young people to adapt to the demographic transition and invest in talent development through tailored place-based policies. Benefiting regions will be selected on the basis of an open call.
The Technical Support Instrument (TSI) will support Member States, upon demand under the TSI 2023 call, with reforms at national and regional level, necessary to address the shrinking of the working-age population, the lack of skills and respond to local market needs.

Cohesion Policy programmes and the Interregional Innovation Investments will stimulate innovation and opportunities for high-skill jobs and thus contribute improving possibilities to retain and attract talents in these regions.

A new call for innovative actions will be launched under the ‘European Urban Initiative‘ to test place-based solutions led by shrinking cities that address the challenges of developing, retaining and attracting skilled workers.

EU initiatives that support the development of talents will be signposted on a dedicated webpage. This will provide easier access to information to interested regions about EU policies in areas such as research and innovation, training, education, and youth mobility.

Experiences will be exchanged and good practices will be disseminated: regions will have the possibility to set up thematic and regional working groups to address specific professional or territorial challenges.

The analytical knowledge required to support and facilitate evidence-based policies on regional development and migration will be further developed.

Unleashing talent through existing EU funds and initiatives
The Communication also highlights how existing EU instruments and policies can support economic revitalisation and the development of the right skills to attract high-potential activities in the affected regions, including through the steer of the European Semester. Among others, the new European Innovation Agenda that sets out the Deep Tech Talent Initiative, a specific flagship to respond to the talent gap in deep tech sectors, integrating all regions in Europe.
The Communication also stresses how Cohesion Policy is and will continue to help these regions to diversify their economy, upgrade the accessibility to services, boost the efficiency of public administration and ensure the involvement of the regional and local authorities through dedicated place-based strategies.
Finally, it offers many examples of national and regional initiatives and best practices that effectively address the structural challenges in a local context, enhancing the regions’ attractiveness for talents. To facilitate mutual learning, the Commission continues to work with national authorities, mapping the most acute demographic challenges they have identified as well as examples of policies and projects aimed at managing the impacts of demographic change.
Next steps
The Commission will regularly report on the implementation of this Communication.
Background
Addressing demographic change is key to building a fairer and more resilient society. As the on-going demographic transition affects various policy areas, it requires that policymakers, engage in complex coordination involving all relevant actors at EU, national, regional, and local level. While most of the policy levers dealing with these challenges remain at the national level, the Commission takes account of the implications and impact of demographic change in its policy proposals.
The Commission already adopted a Report on the Impact of Demographic Change in Europe in 2020, which paved the way for further initiatives in 2021 with the adoption of the Green paper on ageing and the Long-term vision for the EU’s rural areas towards 2040.
Among the most recent initiatives at EU level which support Member States in dealing with demographic change in various areas and sectors, there is the European Care Strategy with the Council Recommendations on access to affordable, high-quality long-term care and early childhood education and care, the EU Comprehensive Strategy on the Rights of the Child and the European Child Guarantee, Youth Employment Support Package, the Commission Recommendation on Effective active support to employment, the Council Recommendation on ensuring a fair transition to climate neutrality, the Disability Employment Package and the recent proposal to make 2023 the European Year of Skills as well as the Communication on Harnessing Talent in Europe’s regions that was adopted today.
Compliments of the European Commission.
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OECD | Revenue impact of international tax reform better than expected

Revenue gains from the implementation of a historic agreement to reform the international tax system will be higher than previously expected, according to new OECD analysis released today.
The two-pillar solution to address the tax challenges arising from the digitalisation and globalisation of the economy will lead to additional taxing rights for market jurisdictions and put a floor on tax competition through the creation of a global 15% minimum effective corporate income tax rate.
The proposed global minimum tax is now expected to result in annual global revenue gains of around USD 220 billion, or 9% of global corporate income tax revenues. This is a significant increase over the OECD’s previous estimate of USD 150 billion in additional annual tax revenues attributed to the minimum tax component of Pillar Two.
Pillar One, designed to ensure a fairer distribution of taxing rights among jurisdictions over the largest and most profitable multinational enterprises (MNEs) is now expected to allocate taxing rights on about USD 200 billion in profits to market jurisdictions annually. This is expected to lead to annual global tax revenue gains of between USD 13-36 billion, based on 2021 data.
The new estimates reflect a significant increase compared to the USD 125 billion of profits in previous estimates. The analysis finds that low and middle-income countries are expected to gain the most as a share of existing corporate income tax revenues.
“The international community has made significant progress towards the implementation of these reforms, which are designed to make our international tax arrangements fairer and work better in a digitalised, globalised world economy,” OECD Secretary-General Mathias Cormann said. “This new economic impact analysis again underlines the importance of a swift, efficient and widespread implementation of these reforms to ensure these significant potential revenue gains can be realised. Widespread implementation will also help stabilise the international tax system, enhance tax certainty and avert the proliferation of unilateral digital services taxes and associated tax and trade disputes, which would be bad for the global economy and economies around the world.”
The new estimates on the economic impact of the two-pillar solution are based on updated data and incorporate most of the recently agreed design features included in the Amount A Progress Report and the GloBE Model Rules, many of which have not been accounted for in other studies.
The update to the OECD’s earlier assessments, including its detailed Economic Impact Assessment issued in October 2020, shows that projected revenue gains under Pillar One have increased, and continue to rise over time, due to both revisions to the design of the tax reform and increased profitability of in-scope MNEs. It also shows increased projected revenue gains from Pillar Two, which reflects some increases in global low-taxed profit, including as a result of improved data coverage.
The analysis highlights that several design features included in the recent Amount A Progress Report would have particularly beneficial impacts for small and low-income countries.
The latest findings were presented at a webinar today. A full economic impact analysis as well as a detailed methodology report will be released in the coming months.
Further information on the Economic Impact Assessment is available at: https://oe.cd/eia.
Contacts:

Grace Perez-Navarro, Director of the OECD Centre for Tax Policy and Administration (CTPA) | Grace.Perez-Navarro@oecd.org

David Bradbury, Deputy Director of CTPA | David.Bradbury@oecd.org

Lawrence Speer, OECD Media Office | Lawrence.Speer@oecd.org

Compliments of the OECD.
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IMF | Crypto Contagion Underscores Why Global Regulators Must Act Fast to Stem Risk

Stronger financial regulation and supervision, and developing global standards, can help address many concerns about crypto assets
The already volatile world of crypto has been upended anew by the collapse of one its largest platforms, which highlighted risks from crypto assets that lack basic protections.
The losses punctuated an already perilous period for crypto, which has lost trillions of dollars in market value. Bitcoin, the largest, is down by almost two-thirds from its peak in late 2021, and about three-quarters of investors have lost money on it, a new analysis by the Bank for International Settlements showed in November.

During times of stress, we’ve seen market failures of stablecoins, crypto-focused hedge funds, and crypto exchanges, which in turn raised serious concerns about market integrity and user protection. And with growing and deeper links with the core financial system, there could also be concerns about systemic risk and financial stability in the near future.
Many of these concerns can be addressed by strengthening financial regulation and supervision, and by developing global standards that can be implemented consistently by national regulatory authorities.
Two recent IMF reports on regulating the crypto ecosystem are especially timely amid the severe turmoil and disruption in many parts of the crypto market and the repeated cycles of boom and bust for the ecosystem around such digital assets.
Our reports address the issues noted above at two levels. First, we take a broad approach, looking across key entities that carry out the core functions within the sector, and hence, our conclusions and recommendations apply to the entire crypto asset ecosystem.
Second, we focus more narrowly on stablecoins and their arrangements. These are crypto assets that aim to maintain a stable value relative to a specified asset or a pool of assets.
New challenges
Crypto assets, including stablecoins, are not yet risks to the global financial system, but some emerging market and developing economies are already materially affected. Some of these countries are seeing large retail holdings of, and currency substitution through, crypto assets, primarily dollar-denominated stablecoins. Some are experiencing cryptoization—when these assets are substituted for domestic currency and assets, and circumvent exchange and capital control restrictions.
Such substitution has the potential to cause capital outflows, a loss of monetary sovereignty, and threats to financial stability, creating new challenges for policy makers. Authorities need to address the root causes of cryptoization, by improving trust in their domestic economic policies, currencies, and banking systems.
Advanced economies are also susceptible to financial stability risks from crypto, given that institutional investors have increased stablecoin holdings, attracted by higher rates of return in the previously low interest rate environment. Therefore, we think it’s important for regulatory authorities to quickly manage risks from crypto, while not stifling innovation.
Specifically, we make five key recommendations in two Fintech Notes, Regulating the Crypto Ecosystem: The Case of Unbacked Crypto Assets and Regulating the Crypto Ecosystem: The Case of Stablecoins and Arrangements, both published in September.

Crypto asset service providers should be licensed, registered, and authorized. That includes those providing storage, transfer, exchange, settlement, and custody services, with rules like those governing providers of services in the traditional financial sector. It’s particularly important that customer assets are segregated from the firm’s own assets and ring-fenced from other functions. Licensing and authorization criteria should be well defined, and responsible authorities clearly designated.
Entities carrying out multiple functions should be subject to additional prudential requirements. In cases where carrying out multiple functions might generate conflicts of interest, authorities should consider whether entities should be prohibited to do so. Where firms are permitted to, and do carry out multiple functions, they should be subject to robust transparency and disclosure requirements so authorities can identify key dependencies.
Stablecoin issuers should be subject to strict prudential requirements. Some of these instruments are starting to find acceptance beyond crypto users, and are being used as a store of value. If not properly regulated, stablecoins could undermine monetary and financial stability. Depending on the model and size of the stablecoin arrangement, strong, bank-type regulation might be needed.
There should be clear requirements on regulated financial institutions, concerning their exposure to, and engagement with, crypto. If they provide custody services, requirements should be clarified to address the risks arising from those functions. The recent standard by Basel Committee on Banking Supervision on the prudential treatment of banks’ crypto assets exposures recently is very welcome in this respect.
Eventually, we need robust, comprehensive, globally consistent crypto regulation and supervision. The cross-sector and cross-border nature of crypto limits the effectiveness of uncoordinated national approaches. For a global approach to work, it must also be able to adapt to a changing landscape and risk outlook.

Containing user risks will be difficult for authorities around the world given the rapid evolution in crypto, and some countries are taking even more drastic steps. For example, sub-Saharan Africa, the smallest but fastest growing region for crypto trading, nearly a fifth countries have enacted bans of some kind to help reduce risk.
While broad bans might be disproportionate, we believe targeted restrictions offer better policy outcomes provided there is sufficient regulatory capacity. For instance, we can restrict the use of some crypto derivatives, as shown by Japan and the United Kingdom. We can also restrict crypto promotions, as Spain and Singapore have.
Still, while developing global standards takes time, the Financial Stability Board has done excellent work by providing recommendations for crypto assets and stablecoins. Our Fintech Notes draw many of the same conclusions, a testament to our close collaboration and shared observations on the market. For its part, the IMF will continue to work with global bodies and member nations to help leading policy makers working on this topic to best serve individual users as well as the global financial system.
Authors:

Bo Li
Nobuyasu Sugimoto
Parma Bains
Fabiana Melo
Arif Ismail

Compliments of the IMF.

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Special Address by President von der Leyen at the World Economic Forum

“Check against delivery”
Ladies and Gentlemen,
Lieber Klaus,
Dear Olena,
For almost one year now, Ukraine has stunned the world. On that fateful February morning, many predicted that Kyiv would fall in a matter of days. But this did not account for the morale and physical courage of Ukrainian people. You have resisted the Russian invasion and pushed back against the aggressor against all odds. Not even Russia’s relentless attacks on civilians or the spectre of a brutal winter have shaken your resolve. In this last year, your country has moved the world and inspired all of Europe. And I can assure you that Europe will always stand with you.
Many doubted whether that support would be so unwavering. But today, European countries are providing more and more critical weapons to Ukraine. We are hosting around four million Ukrainians in our cities, in our homes and in our schools. And we have put in place the strongest sanctions ever which leave the Russian economy facing a decade of regression and its industry starved of any modern and critical technologies. There will be no impunity for these crimes. And there will be no let-up in our steadfast support to Ukraine – from helping to restore power, heating and water, to preparing for the long-term effort of reconstruction. And to reaffirm that support, we announced yesterday that the Commission is delivering EUR 3 billion of financial support. This is the first tranche of our EUR 18 billion support package for 2023. This will bolster Ukraine’s financial stability, help to pay wages and pensions, and ensure the running of hospitals, schools, and housing services. We are in it – for as long as it takes.
And Europe’s reaction to the war is the latest example in how our Union has pulled together when it matters the most. Take energy. A year ago, Europe had a massive dependency on Russian fossil fuels built up over decades. This made us vulnerable to supply squeezes, price hikes and Putin’s market manipulation. In less than a year, Europe has overcome this dangerous dependency. We have replaced around 80% of Russian pipeline gas. We have filled our storages and reduced demand by more than 20% in the period from August to November. And through collective effort, we brought down gas prices quicker than anyone expected. From its peak in August, European natural gas prices have now dropped by 80% this month. That is below the levels of before the Ukraine war. Europe has once again shown the power of its collective will.
Nevertheless, we should be under no illusions how difficult these periods of pandemic and war are for families and for business. And we will have to show that same resolve as we face up to a collision of crises. As your Global Risks Report sets it out, we see rising inflation making the cost of living and the cost of doing business more expensive. We see energy being used as a weapon. We see threats of trade wars and the return of confrontational geopolitics. In addition, climate change already comes with a huge cost and we have no time to lose in the transition to a clean economy.
The net-zero transformation is already causing huge industrial, economic and geopolitical shifts – by far the quickest and the most pronounced in our lifetime. It is changing the nature of work and the shape of our industry. But we are on the brink of something far greater. Just think: in less than three decades we want to reach net zero. But the road to net zero means developing and using a whole range of new clean technologies across our economy: in transport, buildings, manufacturing, energy. The next decades will see the greatest industrial transformation of our times – maybe of any times. And those who develop and manufacture the technology that will be the foundation of tomorrow’s economy will have the greatest competitive edge. The scale of the opportunity is clear for all to see. The International Energy Agency estimates that the market for mass-manufactured clean energy tech will be worth around USD 650 billion a year by 2030 – more than triple today’s levels. To get ahead of the competition, we need to keep investing in strengthening our industrial base and making Europe more investment- and innovation-friendly. This is what investors are looking closely at in the different global markets for clean tech. Here in Europe, we moved first with the European Green Deal to set the path to climate neutrality by 2050. We have cast our net-zero target into law to provide the predictability and transparency business needs. We followed it up with the investment firepower of NextGenerationEU, our EUR 800 billion investment plan, the Just Transition Fund and other instruments across the economy. This is unprecedented investment in clean technology across all sectors of the green transition. Clean tech is now the fastest-growing investment sector in Europe – doubling its value between 2020 and 2021 alone. And the good news for the planet is that other major economies are now also stepping up. Japan’s green transformation plans aim to help raise up to JPY 20 trillion – around EUR 140 billion – through ‘green transition’ bonds. India has put forward the Production Linked Incentive Scheme to enhance their competitiveness in sectors like solar photovoltaics and batteries. The UK, Canada and many others have also put forward their investment plans in clean tech. And of course, we have seen the Inflation Reduction Act in the United States, their USD 369 billion clean-tech investment plan. That means that together, the EU and US alone are putting forward almost EUR 1 trillion to accelerate the clean energy economy. This has the potential to massively boost the path to climate neutrality.
But it is no secret that certain elements of the design of the Inflation Reduction Act raised a number of concerns in terms of some of the targeted incentives for companies. This is why we have been working with the US to find solutions, for example so that EU companies and EU-made electric cars can also benefit from the IRA. Our aim should be to avoid disruptions in transatlantic trade and investment. We should work towards ensuring that our respective incentive programmes are fair and mutually reinforcing. And we should set out how we can jointly benefit from this massive investment, for example by creating economies of scale across the Atlantic or setting common standards. At the heart of the joint vision is our conviction that competition and trade is the key to speeding up clean tech and climate neutrality. And that means that we Europeans also need to get better at nurturing our own clean-tech industry. We have a small window to invest in clean tech and innovation to gain leadership before the fossil fuel economy becomes obsolete. We have an industry challenged by a pandemic, supply chain issues and price shocks. We see aggressive attempts to attract our industrial capacities away to China or elsewhere. We have a compelling need to make this net-zero transition without creating new dependencies. And we know that future investment decisions will be taken depending on what we do today.
We have a plan, a Green Deal Industrial Plan, our plan to make Europe the home of clean tech and industrial innovation on the road to net zero. Our Green Deal Industrial Plan will be covering four key pillars: the regulatory environment, financing, skills and trade.
The first pillar is about speed and access. We need to create a regulatory environment that allows us to scale up fast and to create conducive conditions for sectors crucial to reaching net zero. This includes wind, heat pumps, solar, clean hydrogen, storage and others – for which demand is boosted by our NextGenerationEU and REPowerEU plans. To help make this happen, we will put forward a new Net-Zero Industry Act. This will follow the same model as our Chips Act. The new Net-Zero Industry Act will identify clear goals for European clean tech by 2030. The aim will be to focus investment on strategic projects along the entire supply chain. We will especially look at how to simplify and fast-track permitting for new clean-tech production sites. In parallel to this Net-Zero Industry Act, we will reflect on how to make Important Projects of Common European Interest on clean tech faster to process, easier to fund and simpler to access for small businesses and for all Member States. The Net-Zero Industry Act will go hand in hand with the Critical Raw Materials Act. For rare earths, which are vital for manufacturing key technologies – like wind power generation, hydrogen storage or batteries –, Europe is today 98% dependent on one country – China. Or take lithium. With just three countries accounting for more than 90% of the lithium production, the entire supply chain has become incredibly tight. This has pushed up prices and is threatening our competitiveness. So, we need to improve the refining, processing and recycling of raw materials here in Europe. And in parallel, we will work with our trade partners to cooperate on sourcing, production and processing to overcome the existing monopoly. To do this, we can build a critical raw materials club working with like-minded partners – from the US to Ukraine – to collectively strengthen supply chains and to diversify away from single suppliers. This is pillar one – speed and access through the Net-Zero Industry Act.
The second pillar of the Green Deal Industrial Plan will boost investment and financing of clean-tech production. To keep European industry attractive, there is a need to be competitive with the offers and incentives that are currently available outside the EU. This is why we will propose to temporarily adapt our state aid rules to speed up and simplify. Easier calculations, simpler procedures, accelerated approvals. For example, with simple tax-break models. And with targeted aid for production facilities in strategic clean-tech value chains, to counter relocation risks from foreign subsidies. But we also know that state aid will only be a limited solution which only a few Member States can use. To avoid a fragmenting effect on the Single Market and to support the clean-tech transition across the whole Union, we must also step up EU funding. For the medium term, we will prepare a European Sovereignty Fund as part of the mid-term review of our budget later this year. This will provide a structural solution to boost the resources available for upstream research, innovation and strategic industrial projects key to reaching net zero. But as this will take some time, we will look at a bridging solution to provide fast and targeted support where it is most needed. And to support this, we are currently working hard on a needs assessment.
The third pillar of the Green Deal Industrial Plan will be developing the skills needed to make the transition happen. The best technology is only as good as the skilled workers who can install and operate it. And with a huge growth in new technologies, we will need a huge growth in skills and skilled workers in this sector. This will cut across all that we do – whether on regulation or finance – and will be a priority for our European Year of Skills.
The fourth pillar will be to facilitate open and fair trade for the benefit of all. For clean tech to deliver net zero globally, there will be a need for strong and resilient supply chains. Our economies will rely ever more on international trade as the transition speeds up to open up more markets and to access the inputs needed for industry. We need an ambitious trade agenda, including by making the most of trade agreements for example with Canada or with the UK – with which we are trying hard to sort our difficulties. We are working to conclude agreements with Mexico, Chile, New Zealand and Australia; and to make progress with India and Indonesia. And we need to restart a conversation regarding the Mercosur agreement. Because international trade is key to helping our industry cut costs, create jobs and develop new products.
But by the same token where trade is not fair, we must respond more robustly. China has made boosting clean-tech innovation and manufacturing a key priority in its five-year plan. It dominates global production in sectors like electric vehicles or solar panels, which are essential for the transition. But competition on net zero must be based on a level playing field. China has been openly encouraging energy-intensive companies in Europe and elsewhere to relocate all or part of their production. They do so with the promise of cheap energy, low labour costs and a more lenient regulatory environment. At the same time, China heavily subsidises its industry and restricts access to its market for EU companies. We will still need to work and trade with China – especially when it comes to this transition. So, we need to focus on de-risking rather than decoupling. This means using all our tools to deal with unfair practices, including the new Foreign Subsidies Regulation. We will not hesitate to open investigations if we consider that our procurement or other markets are being distorted by such subsidies.
Ladies and Gentlemen,
The story of the clean-tech economy is still being written. Over the years I have been coming to Davos, I have heard many times that we are on the cusp of a period of creative destruction that the economist Joseph Schumpeter spoke of – his idea that innovation and tech replaces the old, leaving the old industry and jobs behind. In many ways, this dynamic applies to the clean-tech revolution of tomorrow. But I believe if Europe gets it right, the story of the clean-tech economy can be one of creative construction – with the right support and incentives for companies to innovate; with the right focus on skills and people; with the right environment to make the most of our world-leading innovation capacity. Europe already has everything it takes – talent, researcher, industrial capacity. And Europe has a plan for the future. And this is why I believe the story of the clean-tech economy will be written in Europe.
Thank you.
Compliments of the European Commission.
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BIS | Governors and Heads of Supervision endorse global bank prudential standard for cryptoassets and work programme of Basel Committee

The Basel Committee’s oversight body endorses a global prudential standard for banks’ exposures to cryptoassets, for implementation by 1 January 2025.
Endorses the Committee’s work programme and strategic priorities for 2023–24.
The programme prioritises work on emerging risks and vulnerabilities, digitalisation, climate-related financial risks and Basel III implementation.

The Group of Central Bank Governors and Heads of Supervision (GHOS), the oversight body of the Basel Committee on Banking Supervision, met on 16 December to endorse a finalised prudential standard on banks’ cryptoasset exposures and the Committee’s work programme and strategic priorities for 2023–24.

“Today’s endorsement by the GHOS marks an important milestone in developing a global regulatory baseline for mitigating risks to banks from cryptoassets. It is important to continue to monitor bank-related developments in cryptoasset markets. We remain ready to act further if necessary.”
Tiff Macklem, Chair of the GHOS and Governor of the Bank of Canada

“The Committee’s standard on cryptoasset is a further example of our commitment, willingness and ability to act in a globally coordinated way to mitigate emerging financial stability risks. The Committee’s work programme for 2023–24 endorsed by GHOS today seeks to further strengthen the regulation, supervision and practices of banks worldwide. In particular, it focuses on emerging risks, digitalisation, climate-related financial risks and monitoring and implementing Basel III.”
Pablo Hernández de Cos, Chair of the Basel Committee and Governor of the Bank of Spain

Cryptoassets
The GHOS endorsed the Committee’s finalised prudential treatment for banks’ exposures to cryptoassets. Unbacked cryptoassets and stablecoins with ineffective stabilisation mechanisms will be subject to a conservative prudential treatment. The standard will provide a robust and prudent global regulatory framework for internationally active banks’ exposures to cryptoassets that promotes responsible innovation while preserving financial stability. GHOS members agreed to implement the standard by 1 January 2025, and tasked the Committee with monitoring the implementation and effects of the standard.
While the global banking system’s direct exposures to cryptoassets remain relatively low, recent developments have further highlighted the importance of having a strong global minimum prudential framework for internationally active banks to mitigate risks from cryptoassets. To that end, the GHOS tasked the Committee with continuing to assess bank-related developments in cryptoasset markets, including the role of banks as stablecoin issuers, custodians of cryptoassets and broader potential channels of interconnections. More generally, the Committee will continue to collaborate with other standard-setting bodies and the Financial Stability Board to ensure a consistent global regulatory treatment of stablecoins.
Basel Committee work programme for 2023–24
The GHOS also endorsed the strategic priorities and work programme of the Committee for 2023–24. In addition to pursuing a forward-looking approach to identifying and assessing emerging risks and vulnerabilities to the global banking system, the work programme places high priority on work related to the ongoing digitalisation of finance, climate-related financial risks and monitoring, implementing and evaluating the Basel III framework.

Note to editors: The Basel Committee is the primary global standard setter for the prudential regulation of banks and provides a forum for cooperation on banking supervisory matters. Its mandate is to strengthen the regulation, supervision and practices of banks worldwide with the purpose of enhancing financial stability. The Committee reports to the Group of Central Bank Governors and Heads of Supervision and seeks its endorsement for major decisions. The Committee has no formal supranational authority, and its decisions have no legal force. Rather, the Committee relies on its members’ commitments to achieve its mandate. The Group of Central Bank Governors and Heads of Supervision is chaired by Tiff Macklem, Governor of the Bank of Canada. The Basel Committee is chaired by Pablo Hernández de Cos, Governor of the Bank of Spain. More information about the Basel Committee is available here.

Compliments of Bank for International Settlements.
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ECB | Philip R. Lane: Interview with Financial Times

Interview with Philip R. Lane, Member of the Executive Board of the ECB, conducted by Martin Wolf on 12 January 2023 | 17 January 2023 |
From your perspective, how much do you see the big rise in inflation as having been due to a supply shock or a demand shock, globally and also within the eurozone?
The way to think about the last two years is that this supply versus demand question has to be addressed at a sectoral level.
We clearly have a supply shock in energy; and the pandemic had previously led to a supply shock in contact-intensive services. But there have also been two sectoral demand shocks: one was for goods, because there was a big switch towards consumption of goods; and then the post-Covid reopening took the form of a demand shock for services, notably in Europe.
You have to take account of this sectoral differentiation. In Europe, we do not have a big rise in overall demand. But we have had this global mismatch in goods, which led to bottlenecks, and then, over the past year, a reopening effect on demand for services.
So, this is why we at the ECB say there are both demand and supply channels at work. But it’s best not to view these at the aggregate level.
Isn’t it also true that the impact on prices of strong demand elsewhere — in the US, for example — will look like a supply shock to you?
There’s a large global component to inflation.
Let me slightly broaden the point. On one level, the big increase in global prices of commodities and goods clearly reflect global demand and supply. But, since Europe is a big producer of manufactured goods, that has also boosted export prices for European firms.
So, it’s not just that the prices of imported goods have increased. Europe has also been a beneficiary of high demand for its exports. We see that in cars and in luxury goods. And so, even though Europe has suffered a lot from high import prices for energy over the past year, there’s been a partial offset via higher export prices.
There are two views on what has happened.
One is we’ve had a series of unexpected shocks to the world economy: the pandemic; then the swift opening, which brought unbalanced demand; and then the energy shock. So, the world went crazy and we’ve simply done our best to manage it.
The other view is that monetary policy fuelled the flames, with a long history of ultra-loose monetary policy, followed by a gigantic monetary expansion in the early period of the pandemic. And this was then made worse by huge fiscal expansions, notably in the US. So, the central banks and fiscal authorities bear the blame for this.
How would you respond to these different views?
I’m going to be firmly in the first camp of essentially saying that we have had these very large shocks.
For me the way to differentiate these narratives is that before the pandemic we had five years of low interest rates but little inflationary pressure. So, the idea that the world we lived in was creating an inflationary environment just doesn’t ring true.
We did have very large quantitative easing and very low interest rates, and this did limit the disinflationary pressure, keeping inflation in the eurozone at around 1-1.5 per cent rather than allowing outright deflation. But we were not creating inflationary pressure. So, I don’t see that today’s inflation came out of excessively loose monetary policy.
What is true, however, is that once these shocks had occurred it became important to move away from the super-loose monetary policy. If we had kept rates super low for too long, these might have translated into self-sustaining inflation. That’s why we have moved away from low interest rates and quantitative easing over the last number of months, when this inflation shock turned out to be fairly large and quite durable.
Again, there are two sides.
One says that most of this inflation is going to fade away, partly because the base effect of the high prices of a year before is going to lower annual inflation a great deal. Also, inflation expectations look well anchored and the labour market well behaved, at least in Europe. So, the real danger is that you are going to persist with tightening or “normalisation” for too long. Given the long and variable lags in monetary policy, you’re going to create an unnecessarily deep and costly recession.
So, that’s one side. But the other side, someone might say, is that many households are suffering a big negative shock to real incomes, which they are only [now] beginning to realise. So, there is a lot more labour market pressure to come and you are going to have to tighten a great deal and then stay there for a long time.
In other words, there are the risks of doing too much and too little, in a situation of extreme uncertainty. Which risk do you currently think is the bigger and on which side do you think the ECB should err?
These risks need to be taken seriously. But these have different prominence at different phases of the monetary policy cycle.
The first phase for us was indeed to normalise monetary policy, to bring interest rates away from the lower bound towards something corresponding to neutral rates. We have done this. So, now we have the policy rate at around 2 per cent, which is in the “ballpark” of neutral.
Yet we are still not where the risks become more two-sided or symmetric. So, we need to raise rates more. Once we’ve made further progress, the risks will be more two-sided, where will have to balance the risks of doing too much versus doing too little. This is not just an issue about the next meeting or the next couple of meetings, it’s going to be an issue for the next year or two.
It’s important to remember that we meet every six weeks. We will have to make sure we take a data-dependent, meeting-by-meeting approach, to make sure we adjust to the evolution of the two risks.
What does that mean? We have to keep an open mind on the appropriate level of interest rates. The big error would be maintaining a misdiagnosis for too long. The risk is not what happens in one meeting or in two meetings. What happened in the 1970s was a misdiagnosis over a long period of time. The issue here is flexibility in both directions to make sure that policy is adjusted in a timely manner, rather than maintaining a fixed view of the world for too long.
Are you reasonably comfortable, in retrospect, with the decisions you’ve made over the last couple of years? Do you feel that not only are you in a reasonable place, but that you’ve made sensible judgments?
Fundamentally, yes.
Let me, first, give you a reminder of the last 15 months or so. Inflation pressures were starting to build from the summer of 2021. So maybe the first meeting at which this was sufficiently visible in the data would have been December 2021. But December 2021 was also when the Omicron variant was emerging.
We did make an adjustment in December 2021 by firming up the ending of the PEPP (Pandemic Emergency Purchase Programme) from March 2022. Then, at the February 2022 meeting, we signalled a faster pace of reduction in asset purchases. We got out of a very large programme of quantitative easing by June 2022. And then we started hiking in July.
So, what we did between December 2021 and June 2022 was focus on reducing QE, before starting to raise rates, in the knowledge that we could move relatively quickly once we started raising rates. The debate about the exact timing is misplaced, because we knew that we could always catch up if it turned out that rates needed to be moved more quickly. In the end, where we are now is reasonable.
Any debate about whether we moved too slowly on rates has to be assessed in the context of being willing to move at a fast pace once we started hiking. This debate should not be about when exactly a central bank starts raising rates. After all, the yield curve jumps in anticipation of what we are expected to do and we’ve also proven an ability to move quickly.
If you asked your readers a year ago what probability they would put on the ECB being at a 2 per cent policy rate by the end of 2022, I don’t think many would have bet on that. So, we’ve proven we are responsive and we’ve also proven our determination to deliver our inflation target. 2022 was a year of a big pivot, a big transition from accommodative towards restrictive policy.
By the way, we do have a symmetric target. It was always important to demonstrate the symmetry. In the same way that we were active in fighting below-target inflation, we also have to be active in fighting above-target inflation.
How would you articulate the condition of the eurozone economy in comparison with the situation in the US?
US inflation is clearly more of a textbook case, in that a lot of inflation is coming from the demand side. The labour market has been hot, with a lot of vacancies, limited labour supply and so on. And it’s clear that monetary policy is working to cool down the labour market in a classic way.
We have a more complicated situation in the euro area, because a lot of the inflation is connected to a negative terms of trade shock. We have declining real incomes and falling real wages, and a big supply component to the inflation.
Regardless of where the inflation comes from, one has a risk of “second-round” effects, in which high inflation gives rise to upward pressure on wages and profit mark-ups. Monetary policy has to ensure that the second-round effect doesn’t become excessive or persistent.
The fact that we have a negative real income shock in Europe, which the US does not have because it’s an energy exporter as well as an importer, means that the scale of monetary policy tightening needed to adjust inflation to target is smaller in the euro area than in the US. We both have a 2 per cent inflation target. But delivering 2 per cent means that interest rates will differ substantially between us and the US.
One of the consequences of this divergence has been a fairly big rise in the dollar. Does this shift in the external value of the currency cause issues for your policymaking?
It’s on the list of factors we look at but it’s definitely not at the top of the list. The euro area is a continental-sized economy. But there is a spillover from global monetary policy, because the rate of growth in the global economy and the rate of price increases of global commodities and other tradable goods are globally determined.
We also have to take into account the downward pressure on inflation from tightening by other central banks around the world, which generates weaker demand for our exports and lower import prices. But this is not particularly via the euro-dollar rate, but rather via the global dynamics for commodities and tradable goods.
There’s a debate over whether the inflation, the rise in interest rates, the tightening of monetary policy and the move away from ultra-loose monetary policy represents a temporary blip, a big blip, but still a blip. Alternatively, is this the point at which we are moving into a more “normal environment” with nominal interest rates well away from zero and real interest rates positive rather than negative?
Do you have views on this?
Let me strongly differentiate the nominal versus the real sides of this story.
For me, there are three regimes: one, inflation chronically below target; two, inflation more or less on target; and, three, inflation above target.
Before the pandemic we, in the eurozone, had inflation at around 1 per cent for many years. So markets believed that interest rates would be super-low indefinitely. And that can be self-sustaining, because expectations would rationally be that inflation remains below targeted in that scenario.
But I don’t think we’re going back to that. The inflation shock has proven that inflation is not deterministically bound to be too low. The narrative I often heard before the pandemic on the “Japanification” of the European economy has gone quiet.
I think this will be a lasting result. So, if expectations have now re-anchored at our 2 per cent target, compared to being well below it, interest rates will go to the level consistent with that target, not back to the super-low rates we needed to fight below-target inflation. For nominal rates, that makes a big difference.
On the second question you posed, which was on the equilibrium real interest rate, I would be in the agnostic camp. It’s not clear whether there will be a large movement in the equilibrium real rate.
Let me point to a couple of indirect mechanisms here. One is that in the pre-pandemic period some of the anti-inflationary forces were coming from globalisation. There were also the anti-inflationary effects of the deleveraging and fiscal austerity after the global financial crisis and European sovereign debt crisis.
It’s a fair assumption that globalisation is going to be different. At the very least, there will be more concern about the resilience of supply chains and so forth and also more concern for security. This means that inflation is going to be more sensitive to domestic slack and less to global conditions. How big an effect that will have is uncertain. But it is a structural change in the world economy.
The other point is that we had deleveraging after the global financial crisis and the European sovereign-debt crisis. In a number of countries, households had to reduce their household debt. Also, we had a number of years when governments felt they had to run austere fiscal policies, or were forced to do so. This, too, was bad for aggregate demand.
In the pandemic, however, governments had to run big deficits. That spending was transferred to households and firms. Also, the pandemic created “forced savings”, because there was less opportunity to spend. So, household balance sheets look better now than before the pandemic.
So one factor that will be different now is the globalisation process. A second factor is where we are in terms of the balance sheets of the private sector and the governments. Governments will have to pull back from the high level of fiscal support they offered during the pandemic. But by and large it should be a normalisation of fiscal policy rather than a sudden stop in fiscal support. The fact that households have better balance sheets now also means that support for aggregate demand will probably be stronger after the pandemic than before the pandemic.
So this inflation shock has got rid of this environment of self-reinforcing low inflation and this is, to some degree, a relatively benign outcome.
You can classify it as a by-product of this shock. It has reminded the world that inflationary shocks can happen. And we absolutely see that in our surveys. If we go back to a year and a half ago, most of the distributions of inflation expectations were below 2 per cent. As you know, expectations have a strong effect on medium-term inflation and, as a consequence, on steady-state interest rates. So, yes, absolutely, I don’t think the chronic low-inflation equilibrium we had before the pandemic will return.
So, we might have inflation at target, monetary policy credible at delivering the inflation target, and a continuation of low real interest rates. In an economy with a lot of debt, this sounds like an ideal combination.
Well, it is important to recognise that it still requires work. We’re not yet at the level of interest rates needed to bring inflation back to 2 per cent in a timely manner. Governments also do need to pull back from the high deficits that remain. So, a significant fiscal adjustment will be needed in coming years. But, that adjustment should be a return to some normal situation, as opposed to a forced overcorrection.
In the first years of the euro, big imbalances were built up. Then there was a painful correction from 2008 until about 2015 or 2016. I don’t think that this high volatility will be repeated on this occasion. It’s more a question of returning from this unusual pandemic situation to a more normal state of affairs. We haven’t seen “normal” in Europe for a long time.
Where do you think interest rates might end up before this is over?
Here I’m going to repeat the point about data dependence. We’re working under very high uncertainty. Let’s just take one concrete example: compared to where we were in mid-December, when we had our last meeting, there have been big declines in energy prices. A lot of that has to do with mild weather in recent weeks. So, this is a simple example of why we must be open about where interest rates need to go.
It’s still the case now in mid-January, that we run many scenarios about where interest rates are going to need to go. Under most of them, the vast majority of them, interest rates rates do have to be higher than they are now. As we discussed earlier, risks are not yet two-sided, and under a wide range of scenarios, it’s still safe to bring interest rates above where they are now. And this was the communication at our last meeting.
Where exactly we end up will depend on a lot of factors.
Let me go back to one thing you said earlier on, mechanical base effects mean that we do have inflation coming down a lot this year. So, for Q4 2023, our projection of inflation back in December 2022 was that we would be at around 3.6 per cent. Compared to being at 9 per cent at the end of 2022, that’s a fairly big decline. But it is mostly base effects. And then, in terms of interest rates, the question is how do you get from mid-threes at the end of 2023 to the 2 per cent target in a timely manner?
That’s where interest rate policy is going to be important. It’s to make sure that the last kilometre of returning to target is delivered in a timely manner. So, what I would also say is that because we haven’t had so many tightening cycles in recent memory, another source for uncertainty is that the sensitivity of inflation to interest rates varies a lot across the different models we run.
And this is why we would say, and the Fed would also say, that one of the big issues for this year is to observe the impact of the tightening we’ve already done. Last year we could say that it’s clear that we need to bring rates up to more normal levels, and now we say, well, actually we need to bring them into restrictive territory. But in terms of deciding where eventually the level is going to be, there will be a feedback loop from experience.
What we would expect to see in the coming months is the impact of the interest rate hikes that happened last year for investment and consumption. In turn, that will help us decide how powerfully the interest rate hikes are affecting the real economy and the inflation dynamic.
Anyone who says they know for sure what the right level of interest rates will be must, apart from everything else, have a lot of confidence in their model of how the world works. The prudent approach is, instead, to observe the feedback from the tightening last year.
The policy rate only moved in the summer but the yield curve has been moving for a year. We are seeing the effects of this in the behaviour of banks, the bond market and the financial system. The interesting phase now is the response of firms, households and governments to the change in financial conditions.
Let me move on to “market fragmentation”, or divergences in monetary conditions across member states. How significant a risk do you think this is? And do you have the tools needed to manage it?
So, let me give you a two-level answer to that.
The first level is that the biggest risk of fragmentation occurs when you have economic conditions that are misaligned across the EU area. And this is what we had prior to 2008. Because we had large differences in growth rates, current account deficits and credit conditions, in that first decade of the euro, many indicators showed a lot of divergence.
And when the crunch came, the countries that needed to make a correction were going to have a number of years of difficult economic circumstances — low growth rates and shrinking economies. Those are the conditions in which risk of financial fragmentation would be most intense.
A lot of measures were taken to reduce those fundamental differences. We have not seen large current account deficits in recent years, we have not seen large differences in fiscal deficits and we have not seen large differences in credit conditions. So, we do not have the ingredients for big divergence now, though this can always recur in the future, because there could be bad luck or bad policy choices.
And let me add that during the pandemic, Europe also launched NextGenerationEU. So, there’s now jointly funded debt directed at the economies which suffered most in the pandemic. This is now going to be a big platform for reform and public investment in countries like Italy, Spain, Greece and so on. That’s one level.
The second level is that over the past year there has been a significant change in the nominal and inflationary environment. That might have caught some investors by surprise. In the process of normalisation, there’s always the risk that there could be market accidents, there could be non-fundamental volatility.
That is why we found it important to introduce an extra instrument — the Transmission Protection Instrument (TPI) — last summer. And that adds to our toolkit. Because we now have an ex-ante programme. We have told the world that if we see non-fundamental volatility emerging we will be prepared to intervene, subject to a set of “good governance” criteria, which means that affected member countries are aligned with the European frameworks.
In sum, in terms of fundamental forces of volatility or divergence, Europe looks to be in reasonably good shape, and in terms of non-fundamental volatility, which is a more elevated risk in a time of transition, we have expanded our toolkit, by having the TPI.
There are people who note that we are experiencing a considerable change in the monetary environment for the financial sector. So, there is discussion about potential risks of financial instability. How do you perceive that in the ECB?
Since the start of unconventional monetary policy it was clear that there was a potential risk. What happens if there’s a sudden change in the interest rate environment? So, in principle that is a risk factor.
It has been greatly mitigated in the European context not just by banks, but also by individuals. There has been a lot of “macroprudential” regulation, in terms of limits on loan-to-value ratios, limits on debt-to-income ratios and so on. The ability to exploit super-low interest rates via excessive leverage might have existed in some pockets, but it was not pervasive.
The evidence is that we’re not seeing very high vulnerability to the big change in interest rates. In the less regulated non-bank sectors of the financial system, losses may have accumulated. But we have a bank-based financial system and the banks are heavily supervised and regulated.
For banks, rising interest rates help via some channels, such as net interest income. To the extent that the European economy is hurt by the slowdown, they face some risks in their loan books. But again, we think the European economy will be growing again in 2023. Our current assessment is that if there is a recession, it’s going to be mild and short lived.
So, I’ll be cautiously optimistic that we’re able to make this transition away from “low for long” towards a more normal situation.
But again, let me go back to the running theme of this conversation, which is high uncertainty. If it turns out that inflation is much stickier than expected, that there’s more of a downturn in the world economy, that higher interest rates have to be higher than is currently expected by the market, we will be keeping a perpetual eye on financial fragility.
One other question about credibility. Let’s assume you’re correct that inflation will go back to target. Nonetheless, there will have been quite a jump in the price level. So, people will have suffered permanent losses on nominal assets. They might then say “well, this has shown us that big jumps in the price level can happen”.
People may say to themselves “well, maybe they’re going to do this to us again and so maybe we should be cautious about owning these sorts of assets”. And a big part of monetary stability is designed to make people feel confident that these assets are reliable in terms of their real value.
There are two parts to that analysis. One is whether, after this period of high inflation, the 2 per cent inflation target will be seen as credible by people in general. I think monetary policy can deliver that, by making sure inflation comes back to 2 per cent in a timely manner.
But then, there is the second part, which is the implications for nominal assets and what assets people may wish to hold and what one means by the safety of “safe assets” after this inflation surprise?
When you think about it, for me, it’s going to be more of a forward-looking question. First of all, I’m not going to disagree with you. Before the pandemic we had a negative inflation-risk premium. Interest rates were low not just because inflation was below target, but the risk distribution was seen as skewed to the downside. We would now expect to see an inflation risk premium being more substantial. People rationally update their beliefs about the world.
It’s 40 years since we’ve seen this happen. And then the question is: how would that risk premium be priced? Is it going to be seen as a once in 40-year kind of risk factor? And with that kind of frequency, it’s not going to have that much effect. But, as you know, these kinds of rare events are priced by the market, to some extent. And we may see more of an inflationary risk premium, maybe more demand for index-linked products and so on.
And that’s an open question.
Can you comment briefly on fiscal policy and its relationship to monetary policy — an issue Mario Draghi talked about quite a bit — as well as the fiscal policy framework, which is being discussed again by Eurozone governments.
This is a multilevel debate. In the end, everything has to be anchored on sustainable debt levels. If debt levels are, in the medium-term, anchored at a moderate level, governments can respond aggressively to large shocks, such as the pandemic or the energy shock.
So, any fiscal framework should be embedded in a clear debt anchor. Politically, it’s not easy to deliver a strategy that will reduce debt ratios over time. But it is essential.
Let me add that a lot of the fiscal support in Europe consists of price subsidies, which are different from broad-based increases in government spending or broad-based reductions in taxes. The direct impact of fiscal policy is to lower inflation right now. But in our projections, it is expected to raise inflation in 2024 and 2025 when these subsidies are scheduled to be removed.
So, when you look at what’s happening now, there are two different conversations. One is how fiscal policy is currently lowering inflation through subsidies, followed by the reversal of those subsidies later on. The other is the broader issue about the appropriate level of fiscal support in the economy.
And what I said earlier on is true. We need to get to a normal situation where fiscal policy is not excessively loose. Because it’s hard to say you need expansionary fiscal policy when we have low unemployment. But we also don’t want to get to an excessively austere fiscal policy which would be an excessive drag on the economy.
So, as I said earlier, we have not had “normal” in Europe for a long time. We really should be setting up a system to deliver a normal, stable, macroeconomic environment, including a normal, stable fiscal policy.
Just on your first point, there are member countries, some of them important, which do have high debt levels both by historical standards and by most norms. You are implying that these should be lowered. Given relatively modest low structural growth rates, that’s quite a challenge, isn’t it?
Right, so we have to be forward looking about this. We have to have a situation where, there is consensus that debt ratios have to come down. And we do need a fiscal framework that supports governments in delivering a steady and sustained decline in debt ratios. It’s not going to be easy. But again, in order to have the room to be aggressive when you need to be, you need to return to safe fiscal positions when the opportunities arise.
What do you think of the arguments that have been put forward, by Olivier Blanchard, for example, that the 2 per cent target is too low. It pushes you to the zero-bound too easily. And so we should really have a slightly higher inflation target?
There’s a lot of value in the stability of the inflation target. So, for me, at this point, maintaining an exclusive focus on 2 per cent as the inflation target is the best strategy.
What is your view of the usefulness of a digital euro?
So, what I would say is that where we are now is abnormal. We have essentially a big move away from state-provided money in favour of private sector alternatives.
The anchor of the monetary system and the anchor of an electronic or digital monetary system should be a state-supplied digital currency. So, I’m very much in favour of having a digital currency. But, in the same way that currency is a relatively minor fraction of overall transactions, a digital euro is not intended to become the dominant way we transact. But a digital currency will allow Europe to have a more stable and secure digital economy. So, digital currency is necessary and desirable as an anchor for a generally digitalised economy.
But you do think this can be done without destabilising banks? And particularly bank deposits?
Absolutely. Yes, so it’s fair to say that the interest and the energy the ECB is putting into the digital euro is with conviction that this will not be a threat to the stability of the banking system.
Compliments of the European Central Bank.
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Foreign Subsidies Regulation: rules to ensure fair and open EU markets enter into force

Today, the Foreign Subsidies Regulation (‘FSR’) enters into force. This new set of rules for addressing distortions caused by foreign subsidies will allow the EU to remain open to trade and investment, while ensuring a level playing field for all companies operating in the Single Market. The Regulation was proposed by the Commission in May 2021 and agreed by the European Parliament and the Council in record-time, in June 2022.
The new rules on distortive foreign subsidies
The FSR applies to all economic activities in the EU: it covers concentrations (mergers and acquisitions), public procurement procedures and all other market situations. The new rules give the Commission the power to investigate financial contributions granted by non-EU countries to companies engaging in an economic activity in the EU and redress, if needed, their distortive effects.
The FSR consists of three tools, which will be enforced by the Commission:

An obligation for companies to notify to the Commission concentrations involving a financial contribution by a non-EU government where (i) the acquired company, one of the merging parties or the joint venture generates an EU turnover of at least €500 million and (ii) the foreign financial contribution involved is at least €50 million;
An obligation for companies to notify to the Commission participation in public procurement procedures, where (i) the estimated contract value is at least €250 million and (ii) the foreign financial contribution involved is at least €4 million per non-EU country; the Commission may prohibit award of contracts in such procedures to companies benefiting from distortive subsidies.
For all other market situations, the Commission can start investigations on its own initiative (ex-officio) if it suspects that distortive foreign subsidies may be involved. This includes the possibility to request ad-hoc notifications for public procurement procedures and smaller concentrations.

Investigative powers and procedures
A notified concentration cannot be completed and an investigated bidder cannot be awarded the public procurement contract while under investigation by the Commission. In case of breach of this obligation, the Commission can impose fines, which may reach up to 10% of the company’s annual aggregated turnover. The Commission can also prohibit the completion of a subsidised concentration or the award of a public procurement contract to a subsidised bidder.
The FSR grants the Commission a wide range of investigative powers to gather the necessary information, including: (i) sending information requests to companies; (ii) conducting fact-finding missions within and outside the Union; and (iii) launching market investigations into specific sectors or types of subsidies. The Commission may also rely on market information submitted by companies, by Member States, or by any natural or legal person or association.
If the Commission finds that a foreign subsidy exists and distorts the Single Market, it may  balance the negative effects in terms of the distortion with the positive effects of the subsidy on the development of the subsidised economic activity. If the negative effects outweigh the positive ones, the Commission may impose structural or non-structural redressive measures on companies, or accept them as commitments, to remedy the distortion (e.g. divestment of certain assets or prohibition of a certain market conduct).
As a general rule, subsidies below €4 million over three years are considered ‘unlikely’ to be distortive while subsidies below the EU State aid ‘de minimis’ thresholds are considered non-distortive.
In the context of notifiable concentrations and public procurement procedures, the Commission can look at foreign subsidies granted up to three years before the transaction. However, the Regulation does not apply to concentrations concluded and public procurements initiated before 12 July 2023.
In all other situations, the Commission can look at subsidies granted 10 years in the past. However, the Regulation only applies to subsidies granted in the five years prior to 12 July 2023 where such subsidies distort the Single Market after the start of application.
Next Steps
With its entry into force, the FSR will move into its crucial implementation phase and start to apply in six months, as of 12 July 2023. As of this date, the Commission will be able to launch ex-officio investigations. The notification obligation for companies will be effective as of 12 October 2023.
In the coming weeks, the Commission will present a draft Implementing Regulation which will clarify the applicable rules and procedures, including the notification forms for concentrations and public procurement procedures, the calculation of time limits, access to file procedures and confidentiality of information. Stakeholders will then have 4-weeks to provide feedback on these draft documents before the implementing rules are finalised and adopted by mid-2023.
Compliments of the European Commission.
The post Foreign Subsidies Regulation: rules to ensure fair and open EU markets enter into force first appeared on European American Chamber of Commerce New York [EACCNY] | Your Partner for Transatlantic Business Resources.