5 Amendments of Sven GIEGOLD related to 2016/2186(DEC)
Amendment 9 #
Draft opinion
Paragraph 3
Paragraph 3
3. Believes that the initial budget cuts should not have been implemented by postponing the publication of standards and guidelines or by cutting attendance in BCBS working groups, but by ending financing of non-core related activities; stresses, therefo; is of the opinion that a gradual increase of the means available to the ESAs commensurate with the increasing amount of work which they are legally mandated to deliver as a part of the Banking Union single rulebook is required, that any potential increases in EBA's means must be accompanied by adequate rationalisation measureswhile ensuring an appropriate level of prioritisation and efficiency as regards resource allocation; underlines that more resources should be deployed to control the effective enforcement of EU law and investor protection;
Amendment 15 #
Draft opinion
Paragraph 3 a (new)
Paragraph 3 a (new)
3 a. Believes that the EBA should fully use the leeway provided by its mandate to effectively foster regulatory proportionality.
Amendment 19 #
Draft opinion
Paragraph 3 b (new)
Paragraph 3 b (new)
3 b. Notes with concern that EBA does not exercise all its prerogatives established in its legal framework and in particular when it comes to breaches of EU law, peer reviews, binding mediation and consumer protection; underlines that EBA should make sure that resources are maximised in order to fully fulfil its legal mandate;
Amendment 31 #
Draft opinion
Paragraph 6
Paragraph 6
6. Considers that the minutes of meetings of the Board of Supervisors, which are publicly available, and of the Stakeholder Groups, which are publicly available should be published more swiftly to reduce the current time lag of up to three months between meetings and disclosure of minutes and that they should provide better insight into the discussions held, members’' positions and voting behaviour; believes that outreach to the general public could also be enhanced by web streaming events.; deplores the de facto unequal accessibility of documents and information from internal meetings to different stakeholders, including the European Parliament; welcomes that among the ESAs the EBA provides the most appropriate extent of disclosure of information on meetings of its staff members with stakeholders;
Amendment 35 #
Draft opinion
Paragraph 6 a (new)
Paragraph 6 a (new)
6 a. Is of the opinion that EBA should establish a secure channel for whistle- blowers in the framework of its action plan for the years to come;