Centre for Economic Policy Research
particular conflict of interest is substantially weakened. Putting the remedy into
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particular conflict of interest is substantially weakened. Putting the remedy into practice would be likely to reduce the overall information in the market place, thus doing more harm than good. This perspective provides a framework with which to examine the five generic approaches to remedying conflicts of interest: 1. market discipline; 2. mandatory disclosure for increased transparency; 3. supervisory oversight; 4. separation by function; 5. socialization of information. The first approach, market discipline, is the least intrusive, avoids overreaction and can hit where it hurts most through pecuniary penalties. Also market forces Overview and Conclusions 77 can promote new institutional means to contain conflicts of interest, for example, by generating organizational structures to reduce conflicts of interest. We observed this development when security affiliates took pre-eminence over in-house bond departments in universal banks in the United States in the 1920s. Market-based solutions may not always work, however, if the market is not able to obtain sufficient information to punish firms that are exploiting conflicts of interest. Thus, to make the market work in constraining conflicts of interest, the second approach to induce increased transparency may be needed. Mandatory disclosure of information that reveals whether a conflict of interest exists may help the market to discipline financial firms that exploit conflicts of interest or enable investors to judge how much weight to place on the information the firm supplies. Although regulating for transparency may be intrusive, it should be seen as a complement to market solutions because it can help the market control conflicts of interest. Mandatory disclosure is not without its problems, both because financial firms may hide relevant information and because disclosure may reveal so much proprietary information that a financial institution’s incentives to generate valuable information would be compromised. The problems of mandatory disclosure suggest that the third, somewhat more intrusive approach, supervisory oversight, may be needed to constrain conflicts of interest. Supervisors can observe proprietary information about conflicts of interest without revealing it to a financial firm’s competitors and can take actions to prevent financial firms from exploiting conflicts of interest. Where the market cannot get sufficient information to constrain conflicts of interest because there is no satisfactory way of inducing information disclosure by market discipline or supervisory oversight, the incentives to exploit conflicts of interest may be reduced or eliminated by an even more intrusive approach: regulations enforcing separation of functions. Separation by function has the goal of ensuring that ‘agents’ are not placed in the position of responding to multiple ‘principals’ so that conflicts of interest are reduced. Moving from less stringent separation of functions (different in-house departments with firewalls between them) to more stringent separation (different activities in separately capitalized affiliates or prohibition of the combination of activities in any organizational form), reduces conflicts of interest. More stringent separation of functions reduces synergies of information collection, however, thereby preventing financial firms from taking advantage of economies of scope in information production. The most radical response to conflicts of information generated by asymmetric information is to socialize the provision or the funding source of the relevant information. The argument for this approach is that information is a public good and so it might need to be publicly supplied. Of course, the problem with this approach is that a government agency or publicly funded entity may not have the same strong incentives as private financial institutions to produce high quality information, thus reducing the flow of information to financial markets. Furthermore, there is a compensation problem in government agencies because, as a practical matter, they may not be able to pay market wages to attract the best analysts. In evaluating remedies it is also important to remember that there are many types of agents in the financial system who provide information to the market, ranging from those with the least access to proprietary information to those with the most. Analysts have the least access, and rating agencies have more. Auditors probably have the most privileged access along with government regulators charged with supervisory oversight. This gradient of access to proprietor informa- tion should reflect the ability of agents to discover the true financial condition 78 Conflicts of Interest in the Financial Services Industry and performance of the firms that they observe. Agents’ ability to discover this information will also be determined by their compensation and the other incentives provided to them. Although these agents provide some overlapping information, one is not a substitute for another. This lack of substitution is not solely because they provide different types of information or signals to the public. These agents are all subject to various pressures and conflicts of interest that may diminish their ability to perform their task of discovery. Analysts may be well compensated and have substantial research resources at their disposal, but they may be too favourable to the firms for which their bank is lead underwriter and they have the least access to proprietary information. Rating agencies are more insulated from conflicts of interest and have better access to proprietary informa- tion; but enjoying an oligopoly, their research effort may be reduced. Auditors enjoy superior access to proprietary information and operate in a competitive industry, but the value of their opinions may be reduced by conflicts between audit and non-audit activities, pressure from management, and a litigation-risk induced focus on rules rather than principles. Finally, regulators/supervisors may have the best access to proprietary information, yet their capacity to monitor is limited by the resources they have been allocated and political pressures for forbearance. To ensure that the capital markets are adequately served, it is necessary to have multiple agents who work to reduce the information asymmetries. One may become less useful at one point in time, but maintaining the quality of informa- tion delivered by these different agents engaged in overlapping work is more likely to provide sufficient monitoring of companies. The remedies we find appropriate are intended to increase the effectiveness of all four types of agents. Our review of the evidence on conflicts of interest suggests that the market is often able to constrain conflicts of interest to a considerable degree, even though at first glance they seem to be severe. Furthermore, we think that it is dangerous to prevent exploitation of synergies in information production because this could substantially reduce the amount of information available in financial markets, thereby reducing the efficiency of these markets in chanelling funds to those with productive investment opportunities. We may be showing our biases as economists, but we believe that, when it can be made to work, the market is the most effective and desirable way of disciplining conflicts. So the first focus of solutions to remedy conflicts of interest should be on strengthening market discipline. Only when we are convinced that market discipline cannot constrain serious conflicts of interest that reduce information flows, do we recommend non-market solutions. We also should note that market solutions work in the long run; non-market solutions work in the short run, but they can hinder or prevent the emergence of more efficient market solutions in the long run. Download 1.95 Mb. 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