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DC Field | Value | Language |
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dc.contributor.author | Buttigieg, Christopher P. | - |
dc.contributor.author | Xerri, Matthew | - |
dc.contributor.author | Morganti, Margaux | - |
dc.contributor.author | Brunelli Zimmermann, Beatriz | - |
dc.date.accessioned | 2023-10-31T14:09:16Z | - |
dc.date.available | 2023-10-31T14:09:16Z | - |
dc.date.issued | 2023 | - |
dc.identifier.citation | Buttigieg, C.P., Xerri, M., Morganti, M., & Brunelli Zimmermann, B. (2023). A comparative analysis of the EU ESRB and the US FSOC. Journal of Business Law, 7, 578-603. | en_GB |
dc.identifier.uri | https://www.um.edu.mt/library/oar/handle/123456789/114883 | - |
dc.description.abstract | In the aftermath of the global financial crisis (GFC), there was enough political will towards the creation of a stronger institutional set up for dealing with systemic risk via macroprudential supervision. In the United States (US) this political will was translated into the creation of the Financial Stability Oversight Council (FSOC), whilst in the European Union (EU) the European Systemic Risk Board (ESRB) was created. This paper argues that at the time of its inception, the FSOC could be considered a more robust institution compared to the ESRB, as it had hard law powers due to the fact that it could designate Nonbank Financial Companies (NFC) as Systemically Important Financial Institutions (SIFI); whereas the ESRB has largely an advisory role directly through warning and recommendations and indirectly via the comply or explain mechanism and the name and shame approach. However, following changes to both institutions in 2019, the FSOC’s ability to promote financial stability and to mitigate systemic risk was undermined by federal political influence through the 2019 revised interpretative guidance. On the other hand, the ESRB’s amendments were minor and did not impact the Board’s ability to promote financial stability in the Union. This suggests that the FSOC is a highly politicised institution, fact which has the ability to undermine its efficacy and American financial stability. | en_GB |
dc.language.iso | en | en_GB |
dc.publisher | Thomson Reuters and Contributors | en_GB |
dc.rights | info:eu-repo/semantics/restrictedAccess | en_GB |
dc.subject | European Systemic Risk Board (Organization) | en_GB |
dc.subject | Macroeconomics | en_GB |
dc.subject | Comparative law | en_GB |
dc.subject | United States -- Economic policy | en_GB |
dc.subject | United States. Financial Stability Oversight Council | en_GB |
dc.title | A comparative analysis of the EU ESRB and the US FSOC | en_GB |
dc.type | article | en_GB |
dc.rights.holder | The copyright of this work belongs to the author(s)/publisher. The rights of this work are as defined by the appropriate Copyright Legislation or as modified by any successive legislation. Users may access this work and can make use of the information contained in accordance with the Copyright Legislation provided that the author must be properly acknowledged. Further distribution or reproduction in any format is prohibited without the prior permission of the copyright holder. | en_GB |
dc.description.reviewed | peer-reviewed | en_GB |
dc.publication.title | Journal of Business Law | en_GB |
Appears in Collections: | Scholarly Works - FacEMABF |
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