Activities of Sander LOONES related to 2015/2189(DEC)
Shadow opinions (1)
OPINION on Discharge 2014: European Insurance and Occupational Pensions Authority (EIOPA)
Amendments (4)
Amendment 7 #
Draft opinion
Paragraph 3
Paragraph 3
3. Points out that EIOPA when carrying out its activities needs to pay particular attention to the issue of proportionality and must strive to achieve outcomes that are unambiguous, coherent and free of superfluous complexity; recalls that the ESAs are responsible for micro- prudential supervision, whereas day-to- day supervision is conducted at national level;
Amendment 12 #
Draft opinion
Paragraph 5
Paragraph 5
5. Acknowledges that the setting-up phase of ESFS has still not been completed and therefore notes that the tasks already entrusted to EIOPA, as well as additional tasks envisaged in on-going legislative work, require an adequate level of staff and budget to allow for satisfactory supervision; suggests that, as EIOPA's workload is increasingly shifting from legislative tasks to supervisory convergence and enforcement, EIOPA's budget and manpower should shift accordingly; emphasises however that any potential increases in EIOPA's means must be explained thoroughly and accompanied by rationalisation measures wherever possible;
Amendment 18 #
Draft opinion
Paragraph 6
Paragraph 6
6. Stresses that given its limited resources, EIOPA must stick strictly to the tasks assigned to it by the Union legislator and must not seek to broaden its mandate beyond those assignments; suggests that using national secondees on short-term contracts could assist permanent staff with legislative workload in times of high demand; stresses that while carrying out its work and in particular when drafting implementing legislation, EIOPA needs to regularly and comprehensively inform the Union legislator about its activities; regrets that EIOPA has in the past not always met that standard;
Amendment 23 #
Draft opinion
Paragraph 7
Paragraph 7