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Positions

Joint letter to EU Finance Ministers in response to the proposal for an EU Digital Services Tax - November 2018

Dear Minister,

We are writing to seek urgent clarification concerning the possible unintended capture within scope of the Digital Services Tax (DST) of a range of financial markets activities, which would underpin the proper functioning of Europe’s capital markets.

As representatives of Europe’s major financial markets infrastructures and participants, we note that the current scope of the DST proposal incorporates services provided through a “multi-sided digital interface” (Art 3.1b). As currently defined in the context of the DST proposal, such interfaces lie at the core of Europe’s financial markets.

The stated aim of the proposal (in the Recitals to the Proposed Directive and public statements of the Commission) is to respond to a misalignment between the place where the profits of large digital businesses are taxed and the place where value is created. That aim is not served by taxing financial markets, which seems to us a wholly unintended consequence.

While the original proposal recognizes the intent not to capture financial services providers, its legal text only includes a very limited set of exemptions (Recitals 18-21 and Art. 3.4 b & c, 3.5, 3.6) - incorporating MiFID trading venues, systematic internalisers, crowd-funding platforms and data reporting by a trading venue where these are located in the EU.

This falls substantially short of the full range of activities potentially captured and serving Europe’s markets, including but not limited to all trading venues (including spot FX), liquidity providers, data service providers, benchmark administrators, clearing houses and settlement infrastructures as well as those responsible for multilateral systemic risk reduction such as portfolio compression providers, whether or not located in the EU.

We are therefore concerned that the DST would have the effect of imposing a de facto 3% revenue tax on key elements of EU and non-EU infrastructure and service providers serving Europe's capital markets. That will result in disproportionate double-taxation, disregarding the tax contributions already made by the above-mentioned service providers. It will also affect the international competitiveness of EU participants in trading venues, other financial market infrastructure and service providers.

We would therefore strongly urge that you put the point beyond doubt in the Articles of the legal text by confirming that the full spectrum of activities linked to capital markets are excluded from scope – to ensure an efficient financing of the EU economy while avoiding disproportionate inefficiencies to the detriment of capital markets and their users. The important political objectives of the Capital Markets Union initiative should not be impaired via unintended consequences of the DST.

The international role and competitiveness of Europe’s markets depends on the proper treatment and consideration of this issue and we stand ready to provide any further information necessary to help in this regard.

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All other Positions

December 2024

The EU securitisation market remains underdeveloped, limiting investment opportunities in EU financial instrument and constraining banks' ability to manage their balance sheets. The Swiss Finance Council (SFC) therefore supports the European Commission's intention to improve the functioning of the EU securitisation framework. In its response to the European Commissions’ consultation, the SFC emphasizes the need to adjust the prudential treatment and move towards a more principles-based approach to disclosure in order to unlock the potential of securitisation as a powerful financing tool. 

November 2024

The SFC has responded to the European Commission’s targeted consultation on assessing the adequacy of macroprudential policies for non-bank financial intermediation (NBFI).

September 2024

The Swiss Finance Council has a strong interest in the targeted consultation on the effectiveness of the macroprudential framework for the Non-Bank Financial Intermediation (NBFI) sector. Swiss asset managers manufacture both Money Market Funds (MMFs) and Open-Ended Funds (OEFs) within the EU and manage and distribute them both within the EU and on a cross-border basis. Therefore, any changes to the EU macroprudential framework for MMFs and OEFs would have a direct impact on Swiss asset managers. More broadly, given the interconnectedness of EU and Swiss markets, there is need for continued international cooperation on the NBFI agenda.

June 2024

Given that the EU and Swiss economies are closely interconnected, we have a shared interest in ensuring the international competitiveness of the European economy. Our members are therefore deeply committed to the EU’s goal of building an effective and open Capital Markets Union that helps capital flow to EU projects and business that are key for the transition towards a more sustainable and digital economy.

April 2024

The Swiss Finance Council co-signed a response to the EBA’s Consultation on Draft Guidelines on the management of ESG risks under the Capital Requirements Directive (CRD 6)  

April 2024

Swiss Finance Council response to ESMA consultation on draft guidelines on reverse solicitation under MiCA  

January 2024

The Swiss Finance Council has a strong interest in the discussion on shortening the settlement cycle to T+1 across equities, fixed income and ETFs in Europe because Swiss, EU and UK securities markets are closely interconnected and in the post-trade area apply the same principles and technical standards. This is a complex area that will require careful analysis and policy development to assist firms in managing the significant operational challenges that will stem from the transition.

December 2023

The Swiss Finance Council has an interest in the SFDR because our members operate as retail investment product manufacturers, distributors, and advisors, serving EU clients from both within the EU and on a cross-border basis.  

December 2023

The Swiss Finance Council welcomes the public reflection on the future of the EU Capital Markets Union (CMU) project. We believe that a particular focus should be given on measures that can bring more size into the EU capital market in the short and medium term and guide financing of the green transition. 

November 2023

The Swiss Finance Council believe that FIDA has the potential to unlock data sharing between wealth management firms, WealthTech firms and other service providers within the EU. 

September 2023

The Swiss Finance Council has an interest in the EU Retail Investment Strategy because our members operate as both retail investment product manufacturers and distributors, serving EU clients from both within the EU and on a cross-border basis.

Joint association letter on CSDDD and transition plans – September 2023

Swiss Finance Council’s comments on draft ESRS Delegated Act – July 2023

SFC Position on Instant Credit Transfers in Euro : Amending the SEPA Regulation – May 2023

Amendments to the Corporate Sustainability Due Diligence Directive (CSDDD) proposal – November 2022

Open Finance Framework in the EU: For a broad, competitive, attractive and fair approach to data sharingl – October 2022

Feedback on the proposed Corporate Sustainability Due Diligence Directive (CSDDD) – August 2022

Feedback on the proposed Corporate Sustainability Reporting Directive (CSRD) and related Article 8 Taxonomy disclosures - April 2022

CRD VI Commission proposal on Third Country Branches (TCB): Position on market access, booking, liquidity and authorisation requirements (Art 47 and 48 CRD VI) - April 2022

Feedback on the Publication of the European Commission's Draft Capital Requirements Directive VI (CRD VI) - March 2022

Corporate Sustainability Reporting Directive (CSRD) proposal - December 2021

Joint letter on the treatment of incoming third country branches - September 2021

European Commission consultation on the draft EU Taxonomy Article 8 Delegated Act - June 2021

European Commission Consultation on the Renewed Sustainable Finance Strategy - July 2020

Joint letter to Vice-President Dombrovskis: “Investment Firm Regulation – third country firm regime" - November 2018

Public consultation on Fintech: a more competitive and innovative European financial sector - June 2017

Call for evidence: EU regulatory framework for financial services - January 2016

SFC response to European Commission Consultation on the impact of CRR/CRD4 on bank lending

SFC response to European Commission Consultation on EMIR Review

SFC response to European Commission Green Paper on Capital Markets Union

SFC response to IOSCO Consultation on Cross-Border Regulation