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The Swiss Bankers Association welcomes a revision of the Stock Exchange Act article governing international administrative assistance and also calls for a rapid revision of the relevant article of the Swiss Penal Code dealing with insider trading
Basel, 5 April 2004 - The Swiss Bankers Association (SBA) supports the Swiss Finance Ministry's proposed revision of the article in the Stock Exchange Act governing international administrative assistance in cases of insider trading as such activity damages the integrity and reputation of Switzerland as a financial centre. The SBA also calls for a rapid revision of the relevant article (Art. 161) in the Swiss Penal Code dealing with insider trading.

The Swiss Bankers Association supports the Swiss Finance Ministry's proposed revision of the article in the Stock Exchange Act governing international administrative assistance. The proposed revised version of Article 38 of the Act clamps down on the abuse of the Swiss securities market for insider trading by making it easier for the Swiss Federal Banking Commission to extend administrative assistance to its foreign counterparts. Current Swiss law, as interpreted by the Federal Supreme Court, places considerable restrictions on the degree of administrative assistance the Federal Banking Commission can offer to foreign regulators in cases of insider trading. These restrictions risk damaging Switzerland's reputation as a financial centre and could lead to a risk of sanctions for internationally-active Swiss banks. The SBA therefore believes there is an urgent need for swift and concrete action.

The Finance Ministry's proposal represents a balanced solution to the problem as it pragmatically joins the interest of customers for legal rights on the one hand with the need for effective market supervision on the other. The problem and the need for a solution are inherently limited to securities market supervision. The SBA welcomes the fact that the proposed revised article continues to explicitly guarantee legal rights for those involved.

The SBA also takes the opportunity to call once again for swift action in connection with the forthcoming revision of the relevant article (Art. 161) of the Penal Code governing insider trading. Article 161 as it stands at present conforms neither to our conception of the law nor to current market practice as in our view it contains too narrow a definition of "insider trading". A swift and effective revision could be achieved by deleting Paragraph 3 of the article containing the restrictive definition.

PDF SBA's consultative paper (in German only)

Contacts

Thomas Sutter James Nason
Head of Communications Switzerland Head of International Communications
Swiss Bankers Association,
Basel
Swiss Bankers Association,
Basel
Tel. +41 61 295 92 06 Tel. +41 61 295 92 15
Fax +41 61 272 53 82 Fax +41 61 272 53 82
www.swissbanking.org www.swissbanking.org

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