We support any development that simplifies the nomenclature of products offered to investors and savers and improves their understanding. It is essential to facilitate the approach and acceptance of the end investor, who is currently sometimes resistant due to the perceived complexity and imprecision of the existing nomenclature, even as companies offering these products struggle to comply with it and risk being…
ANACOFI
Industry association · France · EU Transparency Register 58914202162-85
Counts here are a floor, never a total: they cover the 326 consultation files tracked so far (29,503 submissions, mostly 2025–26), so an organization's real filing history is larger, not smaller.
Who they are
Among the 311 trade unions and professional associations on this site, they rank #91 by legislative files engaged — a count of participation, not a measure of influence.
Declares membership of
- https://www.anacofi.asso.fr/
- ANACOFI IS A MEMBER OF:
- The European Federation of Financial Advisers and Financial Intermediaries (FECIF)
- THE CONVENTION OF INDEPENDANT FINANCIAL ADVISERS (CIFA)
- EUROPEAN CROWDFUNDING NETWORK (ECN)
Self-declared to the EU Transparency Register (snapshot 30 Aug 2026).
- Register category
- Trade unions and professional associations
- Registered as
- ASSOCIATION NATIONALE DES CONSEILLERS FINANCIERS (ANACOFI)
- Head office
- PARIS, France
Self-declared to the EU Transparency Register (snapshot 30 Aug 2026); cost bands are floors, not audited totals. Reused under Commission Decision 2011/833/EU.
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Their record over time
ANACOFI filed 4 positions between 2 Jun 2025 and 20 Feb 2026, across 3 of the 326 legislative files tracked here, attaching a full position paper 4 times.
What they argued
While we have no opinion on the proposed technical simplifications for market operators, we note that, as with MiFID I, some of the proposals could weaken large European players, without it being clear that smaller ones will be placed in a position to grow. This was one of the strategic shortcomings of MiFID I, which MiFID II attempted to rectify without truly succeeding.
While we have no opinion on the proposed technical simplifications for market operators, we note that, as with MiFID I, some of the proposals could weaken large European players, without it being clear that smaller ones will be placed in a position to grow. This was one of the strategic shortcomings of MiFID I, which MiFID II attempted to rectify without truly succeeding.
We welcome the initiative of the European Commission. I discuss the priorities identified and some of the elements of the argument. It cannot be disputed that the fragmentation of actors ‘between the Member States’, i.e. their very ‘national’ dimension is a weak point in the EU’s financial ecosystem, fragmentation in the sense of the ‘multiplicity’ of actors of all sizes is rather a strong point.
Filed in French · English published by the European Commission
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Turns up on the same files
Organizations that also filed on at least two of the same consultations. A shared interest in the same dossiers — not evidence of coordination, and we do not suggest any.
- IDEE ECONOMICHE www.idee-economiche.it · 3 files in common
- French Banking Federation · 3 files in common
- ABI - Italian Banking Association · 3 files in common
- DUFAS · 3 files in common
- INREV · 3 files in common
Showing 5 of 52.
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