Evaluation of Late Payments Directive November 2015

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Meeting with MS experts Evaluation of Late Payments Directive November 2015 22 Highbury Grove N5 2EF London, UK Phone: +44 560 3842717 Web: www.vva.it/en/european-public-policy

Agenda page 1 1. Objectives 2. Overview of the research 3. The current state of play 4. Results of the evaluation 5. Questions

Objectives page 2 1. Our brief Assess first results of the implementation of the LPD in the EU-28 across all sectors Focus on Relevance (i.e. Can it work?) Effectiveness (i.e. Does it work?) Efficiency (i.e. Is it worth it?) Coherence & EU added value (i.e. How should it be done & by whom?) 2. Main challenges Direct attribution is very difficult Not much time since implementation Different (national & sectoral) starting points 3. What this study does Establish the état des lieux regarding payment behaviour Understand trends in key variables that the Directive aims to influence Identify drivers and obstacles with respect to improving payment behaviour

Research overview page 3 1. Timing January 2015-November 2015 2. Data collection Desk research Online survey Representative sample of enterprises 2,677 responses Public consultation Open to all interested parties Disseminated via sector organisations 273 responses used to cross-check survey results Interviews 3. Data analysis Public authorities, sector representatives and enterprises 166 interviews all EU MS, cross-sectorial, with focus on food, health & construction Qualitative analysis of interview results Econometric regressions based on survey data Triangulation with interviews and existing literature

Late payments are very widespread page 4 Almost three out of four (78%) companies in Europe have experienced late payments in the last three years Share of survey respondents that experienced late payments in the last three years (%) Source: company survey

they have significant impacts page 5 SMEs are likely to be disproportionately affected by late payment 47% of micro firms identify late payment as a barrier compared with 35% of big firms Late payment can lead to insolvency and job losses 36% of businesses say their survival is threatened by late payment In 2014 total bad debt losses for European businesses were 3.1% of revenues (costing the equivalent of 8 million jobs) Late payment can also negatively affect public procurement and crossborder trade

and they are very difficult to tackle page 6 Drivers of late payment behaviour are multi-faceted including: business culture/norms external economic conditions (e.g. the crisis) power imbalances in the market This makes late payment very hard for policymakers to tackle!

But it has been tried!! page 7 Many national initiatives to change payment behaviour and/or mitigate the impact of late payment: Some examples from our research: National implementation of the LPD (e.g. some MS have gone beyond minimum provisions) Enforcement of the LPD (EC launched 13 infringement cases) Public sector prompt payment codes (e.g. UK, NL, IE) B2B codes (e.g. UK, IE, FR) Sector initiatives (e.g. UK, IE, FR, ES) E-invoicing (e.g. SW) Penalties (e.g. FR) VAT payment policies (e.g. IT, ES) Monitoring & transparency schemes (e.g. FR, ES, IT, PL, DK)

Effectiveness (1/7) page 8 Awareness of the Directive s provisions Awareness is relatively high Almost two thirds of companies are aware of the general rules regulating late payments. 86% of companies know about their right to claim compensation and/or interest Firms that are aware of the late payment related rules are less likely to have experienced a deterioration in average payment delays BUT: SMEs and younger firms are less likely to be aware of the rules regulating late payment

Effectiveness (2/7) page 9 Compensation and interest Usage of the provisions introduced in the Directive is not widespread (60% never exercise their right to claim compensation and/or interest) Reasons for not claiming interest and compensation in the event of a late payment Source: Company survey Lack of efficient remedy procedures In countries with a shorter average payment duration, companies are more likely to always exercise their right Directive more used in countries where late payment is less severe. SMEs are much less likely to exercise their rights under the Directive than larger companies Powerful position of public sector and large companies

Effectiveness (3/7) page 10 Payment duration has decreased in recent years in both PA2B and B2B transactions Average payment duration in the EU 2010-2014 Source: Intrum Justitia, EPI (2014)

Effectiveness (4/7) page 11 BUT significant differences remain across countries Average 2015 payment duration in B2B and PA2B transactions by country Source: Intrum Justitia MS with above average payment duration in PA2B transactions also tend to have above average payment durations in B2B transactions

Effectiveness (5/7) page 12 Payment delays Overall business perception is that payment delays have only slightly improved or remained static Perceived change in average payment delays in the last three years (with other businesses) No clear trend with the majority of Member States having seen little or no change in payment delays Improvement in perception of PA2B delays in some MS could be due to soft measures (e.g. prompt payment codes)

Effectiveness (6/7) page 13 Payment terms 90% apply terms of 60 days or less as required in the Directive In addition, 70% of companies apply payment terms of 30 days or less Average payment terms (in days) applied in B2B transactions Source: Company survey Country and sector are more important drivers of payment terms than any other characteristic

Effectiveness (7/7) page 14 Payment behaviour & practice The main driving factors for payment behaviour are: National business culture Economic conditions Power imbalances in the market These factors fall outside the scope of a legislative measure, whether European or national. This, combined with the recent adoption of the LPD, mean that there is insufficient data to date on the impacts of the Directive on payment practices. For the same reason, it is too early to conclude whether the Directive will reach its wider objectives regarding liquidity improvements or facilitation of cross-border trade. However there is already some evidence that the LPD (together with supporting measures at national level) have begun to change relevant aspects of business culture and brought the issue of late payment to the top of the political agenda

Relevance (1/1) page 15 Late payment remains a very prevalent and important issue for companies across Europe Almost three out of four (78%) companies in Europe have experienced late payments in the last three years Given the multi-faceted nature of the problem, there can be no one size fits all legislative solution LPD only one measure among many in fight against late payment In terms of the Directive itself: Definition of what constitutes grossly unfair is seen as ambiguous with too much scope for interpretation There is also a lack of clarity regarding when the calculation of a payment term starts and concerns regarding recovery procedures which vary across MS

Efficiency (1/1) page 16 Companies consider the Late Payment Directive to be efficient There are no administrative or reporting burdens resulting directly from the Directive Costs for businesses are outside scope of LPD chasing late payers, ADR, court, external debt recovery, etc All costs to public authorities as a result of the Directive are one-off and considered marginal by the authorities themselves There are also no regulatory costs stemming from the transposition of the Directive But potential to deliver significant benefits, estimated at up to EUR 158m for each one-day reduction in payment delays. These estimates: are based on a large number of assumptions need to be interpreted with caution should only be seen as an indication of the order of magnitude of costs related to late payments

Coherence & Complementarity (1/1) page 17 No evidence of contradictions between LPD and other EU relevant actions for combating late payment LPD is coherent other EU initiatives (Lisbon Partnership for Growth and Jobs, the Small Business Act, and the European Economic Recovery Plan) Several EU actions complement the objectives of the Directive Debt recovery (European Enforcement Order, European Payment Order, and European Small Claims Procedure) Awareness raising (Information campaign, Pilot project on the rapid and efficient enforcement of outstanding claims by SMEs operating across borders Voluntary actions by Member Sates (i.e. prompt payment policies) In cross-border transactions, there could be some overlap between the Directive (Article 10) and the European Payment Order Procedure

EU Added Value (1/1) page 18 Significant added value - general consensus among industry and national authorities that LPD: Ensures late payment remains at top of political agenda in Europe Has harmonised practices & levelled the playing field for companies across Single Market Public authorities see added value in monitoring changes in payment duration and further cooperation among MS to exchange best practices None of the stakeholders requested or suggested the repeal of the Directive

Recommendations (1/5) page 19 Recommendations related to the Directive itself 1. Clarifying certain aspects of the Directive. This includes in particular the following: grossly unfair and the calculation of contractual terms These aspects should be clarified either in the revised text of the Directive or alternatively, though the European Commission published guidance how these should be interpreted 2. Assessment of the implementation of Article 10 in all Member States. The procedures available to companies vary across Member States due to different requirements in i.e. eligible sums of claim, need for lawyer, and type of procedure (i.e. online)

Evaluation of Late Payment Directive Recommendations (2/5) 3. Changes to the way the interest rate is claimed Businesses who are aware of the rights introduced by the Directive do not exercise these rights, due to the fear of damaging business relationships Automatic interest on late payment would remove the requirement for the creditor to take the initiative in in exercising their right and provide an additional incentive for the debtor to pay promptly 4. Increasing the minimum 40 EUR compensation fee The EUR 40 compensation fee is seen as not proportional to the sums owed and the costs implied by late payment The minimum fee should be higher to reflect the effort required in chasing and recovering late payment A higher compensation fee could encourage businesses to claim their rights in the short term and contribute to changing payment culture in the long term page 20

Evaluation of Late Payment Directive Recommendations (3/5) page 21 External aspects 5. Raising awareness of the impact of late payment A future awareness campaign should focus on the impact of late payment on businesses, with the aim of making late payment a socially unacceptable practice in all MS 6. Fostering the development and implementation of prompt payment policies in all MS Prompt payment policies/codes in the public and private sectors are an effective way to shorten payment duration The Commission should take active steps to support all MS in developing such schemes as accompanying measures to the LPD: Creating business case Drawing on the experiences of countries that have implemented such schemes Engaging with sectorial associations and MS authorities to promote the implementation of prompt payment schemes.

Evaluation of Late Payment Directive Recommendations (4/5) page 22 7. Facilitating the exchange of best practices though peer review workshops Peer review type workshops involving public authorities and experts from all EU MS could be organised in specific MS which are taking (or intend to take) an active approach to tackling late payment 8. Providing access to effective remedies An effective system of ADR should be provided at the national level Of importance is the European Small Claims Procedure which provides a fast and efficient way of recovering debt, but is not often used by companies

Evaluation of Late Payment Directive Recommendations (5/5) page 23 9. Monitoring progress The Directive is silent regarding how to measure late payment Such harmonised measurement would facilitate the provision of up to date statistical data and it would allow cross-country comparison over time

Evaluation of Late Payment Directive - Discussion and Q&A pag. 24

Contact page 25 CONTACT Pierre Hausemer Managing Director VVA-Europe Ltd 22 Highbury Grove N5 2EF - London UK Phone: +44 560 3842717 Mobile: + 44 (0) 778 996 1636 Web: www.vva.it/en/europeanpublic-policy Email p.hausemer@vva.it