CAISSE DES DEPOTS

CDC

Caisse des Dépôts is a French public financial institution that invests in housing, territorial development, business financing, and ecological transition.

Lobbying Activity

Meeting with Pascal Canfin (Member of the European Parliament) and Cleantech for Europe

5 Dec 2025 · ECF

Meeting with Alicia Homs Ginel (Member of the European Parliament)

16 Oct 2025 · HOUS Draft Report position

Meeting with Nora Mebarek (Member of the European Parliament)

14 Oct 2025 · Financement du logement social

Caisse des Dépôts calls for distinct voluntary nature credit rules

30 Sept 2025
Message — The group demands a clear distinction between mandatory regulatory frameworks and voluntary financial instruments. They argue that the framework must combine simplicity for users with high integrity and robust calculation methodologies.12
Why — Standardized credits and clear asset classification would help the group attract more private investment for environmental projects.34
Impact — Local ecosystems may suffer if the EU applies rigid carbon-style permanence standards to dynamic biodiversity environments.5

Meeting with Pascal Canfin (Member of the European Parliament, Shadow rapporteur)

30 Sept 2025 · Omnibus I

Meeting with Pascal Canfin (Member of the European Parliament, Shadow rapporteur)

22 Sept 2025 · Omnibus I

Caisse des Dépôts urges better capital treatment for promotional banks

5 Sept 2025
Message — The group requests that national promotional banks receive a zero percent risk weighting for bonds. They also want to align equity investment definitions with banking regulations.123
Why — Lower risk weightings would encourage insurers to invest in their long-term programs.4
Impact — Policyholders face higher risks if these banks fail without formal state guarantees.5

Meeting with François-Xavier Bellamy (Member of the European Parliament, Rapporteur)

23 Jul 2025 · Financement de la défense

Meeting with Jan Ceyssens (Cabinet of Commissioner Jessika Roswall) and TotalEnergies SE and

22 Jul 2025 · EU environmental policies

Meeting with Anne Fort (Cabinet of Commissioner Andrius Kubilius)

7 Jul 2025 · The discussion was an exchange of views around CDC’s approach to defence financing, remaining obstacles to finance the sector across the Union, and ways forward through instruments already proposed by the Commission, especially EDIP

Meeting with Polyvios Eliofotou (Cabinet of Commissioner Costas Kadis)

2 Jul 2025 · Review of financial opportunities around the European Ocean Pact

Caisse des Dépôts supports binding sustainability categories for products

28 May 2025
Message — They support far-reaching changes to establish product categories reflecting various sustainability objectives. The group recommends full harmonization between different regulations to increase legal clarity. Unclassified products should carry a disclaimer to prevent greenwashing and protect investors.123
Why — Harmonized rules would reduce legal risks and protect the group's reputation.45
Impact — Non-sustainable funds would lose market appeal due to mandatory warnings about their status.67

Meeting with Annalisa Corrado (Member of the European Parliament) and Invest Europe

13 May 2025 · Investment for a sustainable and competitive EU

Meeting with Julie Rechagneux (Member of the European Parliament, Shadow rapporteur for opinion) and Bpifrance

28 Apr 2025 · Discussion autour du règlement de simplification InvestEU

Meeting with Philippe Chantraine (Head of Unit Mobility and Transport)

15 Apr 2025 · Exchange of view on investments in transport

Caisse des Dépôts urges simplified EU green reporting rules

26 Mar 2025
Message — The group requests fewer reporting templates and performance indicators for credit institutions. They recommend making certain expenditure metrics voluntary to reduce administrative complexity. Additionally, they advocate for including waste-to-energy projects within the green classification system.123
Why — These changes would lower administrative expenses and streamline compliance for their banking subsidiaries.4
Impact — Environmental organizations lose the granular data required to verify the ecological safety of investments.5

Meeting with Valérie Hayer (Member of the European Parliament)

27 Jan 2025 · Investissements et budget européen

Meeting with Gilles Boyer (Member of the European Parliament, Shadow rapporteur)

16 Jan 2025 · CMDI

Meeting with Christophe Grudler (Member of the European Parliament)

27 Nov 2024 · Echanges autour des actualités européennes du groupe

Meeting with Aurore Lalucq (Member of the European Parliament) and Bpifrance and La Banque Postale

27 Nov 2024 · Retail Investment Strategy (RIS), FIDA, Invest EU

Meeting with Gilles Boyer (Member of the European Parliament, Shadow rapporteur)

26 Nov 2024 · CMDI + CMU

Meeting with Thomas Pellerin-Carlin (Member of the European Parliament)

10 Jul 2024 · Investment policies

Meeting with Stephanie Riso (Director-General Budget)

13 Feb 2024 · STEP et dispositifs de « blending » dans le budget UE

Response to Reporting reduction package - amendments to the ESA, ESRB and InvestEU Regulations

22 Dec 2023

Caisse des Dépôts Group, including its subsidiaries such as Bpifrance and La Banque Postale, supports the ambition of the European Commission to facilitate the exchange of information provided by financial institutions between the authorities responsible for supervising the financial sector, and rationalise reporting obligations under InvestEU. Please find attached, Caisse des Dépôts Group input.
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Caisse des D p ts urges EU to cut reporting red tape

1 Dec 2023
Message — The group requests that the EU rely on already assessed internal procedures. They also advocate for reduced data entries and higher environmental compliance thresholds.12
Why — This would lower internal costs and accelerate the deployment of EU-funded programs.34
Impact — Environmental groups lose oversight if green compliance thresholds are raised for smaller projects.5

Caisse des Dépôts calls for mandatory EU climate reporting

7 Jul 2023
Message — The organization requests mandatory climate disclosure indicators and transparent materiality assessments. They advocate for mandatory biodiversity reporting to align with international frameworks and requirements.12
Why — Uniform reporting would simplify data collection for the group's own mandatory regulatory disclosures.3
Impact — Investors lose the transparency needed to evaluate risks and impacts of their investments.4

Meeting with Christophe Grudler (Member of the European Parliament, Shadow rapporteur)

3 Jul 2023 · NZIA

Meeting with Aliénor Margerit (Cabinet of Commissioner Paolo Gentiloni)

20 Jun 2023 · CDC results for 2022

Meeting with Olivier Guersent (Director-General Competition)

7 Jun 2023 · State aid policy, including Green Deal GBER amendment

Response to Interim Evaluation of the InvestEU Programme

10 May 2023

Acting on behalf of the general interest and being dedicated to market failures contexts, Caisse des dépôts et consignations (CDC) is conceiving its partnership with the European Commission in the framework of the investment instruments and advisory programs, as a commitment over time, which has started several years ago and has been developed and strengthened these latest years. These programs serve public policies that are deployed as close as possible to the territories, where, in France, the intervention of Caisse des Dépôts is highly expected. It finances and advises structuring projects, which may however be of small size, mobilizing its own instruments, and linking them as much as possible with the EU ones, for greater customization and effectiveness. For this reason, CDC is ready to invest the necessary time and effort to make InvestEU a success for both parties. Following the call for evidence issued by the European Commission, CDC is pleased to provide with four preliminary informations and feedbacks in view to the midterm evaluation of the InvestEU program scheduled In 2024, in accordance with the regulation (UE) 2021/523: 1/ Need to ensure a long-term partnership 2/ Remuneration of the guarantee for equity products 3/ Suggested simplifications 4/ InvestEU Advisory Hub
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Caisse des Dépôts urges practical thresholds for EU taxonomy rules

3 May 2023
Message — The group requests a 1,000 square meter minimum surface threshold for building criteria to ensure operational feasibility. They also propose including postal and courier activities as enabling factors for the circular economy. Finally, they suggest increasing mandatory turnover contributions from hotels located in protected areas to better reflect environmental impacts.1234
Why — These changes would reduce operational costs and allow their postal subsidiaries to benefit from green financing.56
Impact — Large hotel groups would face significantly higher mandatory spending on biodiversity restoration projects.7

Meeting with Aliénor Margerit (Cabinet of Commissioner Paolo Gentiloni)

20 Feb 2023 · General discussion on economic situation and war in Ukraine (with Julia Lemke)

Meeting with Dominique Riquet (Member of the European Parliament)

7 Feb 2023 · Investissements de long terme

Meeting with Antoine Colombani (Cabinet of Executive Vice-President Frans Timmermans) and TotalEnergies SE and

25 Oct 2022 · Green Deal state of play

Response to Environmental, social and governance (ESG) ratings and sustainability risks in credit ratings

3 Jun 2022

The Caisse des Dépôts Group is the French long-term investor dedicated to the general interest, major financing actor of sustainability in France with a long-standing commitment to responsible investment. CDC and its subsidiaries both use and are covered by ESG rating in particular because CDC Group financing policy is firstly driven by the integration of ESG factors and long-term commitment. Indeed, the creation of value by an entity is not limited to its financial aspect but is also and foremost intangible and societal. ESG rating -including the consideration of sustainability risks in credit ratings- is therefore key to ensure financing and investment decisions are sufficiently informed. While existing ESG rating agencies allow to continuously encourage a better integration of ESG factors in the group’s strategy, CDC Group identifies several shortcomings and loopholes in the current ESG rating market and believes that an action at EU level would be beneficial, in particular to : - Contribute to increase the transparency on data sourcing and methodologies used by ESG rating providers (i.e: inform companies prior to a change on the rules followed by a rating provider). - Provide common definitions of quantitative and qualitative KPIs, in particular to better consider the business performance, and the relevant perimeter to be assessed between the group and the subsidiary levels. - Contribute to increase the transparency on the certification of the data communicated to rating agencies, in particular regarding its validation by a third party, or the controls made by the data provider. - Allow the possibility for entities that provide ESG data to include a “right of reply” in their report. - Prevent conflicts of interests by providing rules on the separation of departments. - Implement and/or facilitate automated processes of data collection, in particular when the companies’ data is already public. The paper attached further explains these points.
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Meeting with Thierry Breton (Commissioner) and

25 Mar 2022 · Investissement dans les priorités européennes : dépendance énergétique, défense et PME.

Meeting with Marc Lemaitre (Director-General Regional and Urban Policy)

25 Mar 2022 · Investissement de long terme au service des transitions écologique, digitale et sociale des territoires

Meeting with Julia Lemke (Cabinet of Commissioner Paolo Gentiloni)

18 Mar 2022 · Discussion on CDC engagement with EU policy objectives.

Meeting with Antoine Colombani (Cabinet of Executive Vice-President Frans Timmermans) and KfW Bankengruppe

1 Oct 2021 · Green investment

Response to EU Standard for Green Bond

27 Sept 2021

The Caisse des Depots Group is a National Promotional Institution (NPI), and main financing actor of sustainability in France, as well as a long-term institutional investor with a long-standing commitment to responsible investment. As such, Caisse des Depots Group issues sustainable (ESG) obligations since 2017. These obligations are consistent with the United Nations' Sustainable Development Goals and finance projects contributing to a just transition to carbon neutrality, to the development of human capital and the fight against societal inequalities. The Caisse des Depots Group much supports the proposal of regulation on European green bonds of the Commission, especially the creation of a voluntary European standard, 100% aligned with the EU Taxonomy in order to prevent greenwashing, as it will be a crucial tool to ensure financing is directed towards the European green transition while streamlining the definition of green obligations on the market. In order to ensure a smooth implementation of such a standard, it would like to highlight the following points: - To ensure and favor the financing of long-term green projects, the proposal of regulation should allow the grandfathering until maturity of the bonds and complete allocation of proceeds. - Delay for the publication of the allocation report should be extended to account for operational processes, while maintaining clear milestone for stakeholders. Along these lines, a project-by-project disclosure of allocated amounts should not be required to take into account confidentiality and competition issues. - There is a need to clarify the possibility to convert the existing green bonds on the market to European green bonds, especially during the period of time following the entry into force of the Regulation. - The regulation should specify the definition of sovereign issuers, in order to avoid confusion on markets. - the regulation could clarify how could the standard be extended to cover green projects in sustainable bonds. - To make the green bond market fly, this regulation proposal should explore the possibility to provide capital relief to investors and issuers of green bonds. Moreover, redirecting financial flows beyond green, and towards long-term and sustainable projects (III) is an important aspect, which could be tackled via the creation at a later stage, of a European social bond standard to ensure the implementation of a just transition, and the financing of projects with high social added value. These points are further precised in the paper attached.
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Response to Revision of Non-Financial Reporting Directive

14 Jul 2021

Caisse des Depots Group much supports the proposal of directive of the Commission related to corporate sustainable reporting and considers it a crucial tool to ensure financing is directed towards the European green transition, as well as to provide the necessary data for a better integration of ESG criteria into investment decision making processes. As a National Promotional Institution (NPI), and main financing actor of sustainability in France as well as a long-term institutional investor with a long-standing commitment to responsible investment, we highly support the improved quality of corporate sustainable reporting information and its standardization. The Group will also support the work of the European Financial Reporting Advisory Group (EFRAG) for elaborating a European reporting sustainable standard and promoting it at international level.
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Response to Debt equity bias reduction allowance (DEBRA)

12 Jul 2021

As a promoter of long-term investment, Caisse des Dépôts (CDC) welcomes the Commission's initiative to promote the development of equity investment. Nevertheless, CDC group considers that some of the proposed measures may be counterproductive and would not ultimately generate new investments. They would merely lead to a change in the current financing structure of companies. From the perspective of the CDC group, long-term investment definition should not be limited to equity financing and can also be achieved through medium-to-long term debt. Regarding the first approach considered by the Commission, a disallowing of the deductibility of interest payments would have important consequences on the financing of the economy in general, particularly in a context of recovery. Within CDC, most sustainable infrastructure can be financed under a project finance scheme, involving the establishment of a Special Purpose Vehicle. In order to minimize the cost of financing and align it with the project's revenues (unitary charges of a Public-private partnership or a concession, regulated tariff in renewable energies, rents for a real estate asset…) this vehicle relies on the leverage effect of long-term debt. These companies fall under the SME category and therefore would be impacted by the first option outlined in the impact assessment. Though Caisse des Dépôts group shares the European Commission’s concerns regarding tax evasion, we consider that the negative impacts on economy induced by the first option would outbalance the potential impacts related to tax evasion. In particular, Special Purpose Vehicles are not designed to prevent taxation, but for the purpose of making infrastructure projects viable and thus creating jobs and socio-economic added value. From CDC group’s perspective, the second option i.e maintaining the current tax regime for debt and creating incentives for equity financing through the tax deduction of notional interest, would be a more appropriate measure. Regarding the second approach proposed by the Commission, CDC considers that the deduction of notional interest on all equity capital of companies would not necessarily introduce an incentive to invest in equity. Applied to the capital of companies (equity + debt), this measure would only result in a levelling down and would pose practical application problems. CDC therefore recommends, for this approach, the application of the third option i.e. the deduction of notional interest on new equity capital of companies. This is the only measure who would effectively encourage new investments in equity.
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Response to Commission Delegated Regulation on taxonomy-alignment of undertakings reporting non-financial information

2 Jun 2021

Caisse des Depots Group much supports the creation of the Taxonomy and deems it as a powerful tool to foster the European green transition. As a National Promotional Institution (NPI), we think our role in sustainable finance goes beyond our own sustainability towards accompanying our ecosystem, therefore we have a deep interest into the effective deployment of the EU Taxonomy. In this regard, our feedback relates notably to alternatives for inclusion of undertakings that are not subject to an obligation to publish non-financial information as well as consideration of the local public sector. It is developed in the paper attached.
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Response to Instant Payments

7 Apr 2021

Feedback on the European Commission (EC) ’s Roadmap (Inception Impact Assessment) on Instant Payments in the EU This feedback emanates from the Group Caisse des Dépôts which already answered to the European Commission ‘s consultation on a retail payments strategy for the EU. A. Context, problem definition and subsidiary check Caisse des Dépôts Group supports the EC’ overall objective “to foster pan-European market initiatives based on instant payments, which would ensure that anyone holding a payment account in the EU could be able to receive and send an instant credit transfer from and to any other payment account in the EU.” Caisse des Dépôts Group also shares the Commission’s concern regarding the absence of a pan-European payment solution, thus forcing PSPs and eventually end-users to turn to foreign-based international players, who benefit from a dominant market position (ICS, mobile payments). In our view, the European Payments Initiative (EPI) is regarded as the most ambitious and promising initiative to achieve the Single market for payments. Caisse des Dépôts Group is not in favour of a mandate for SCT Inst adherence. However, should a mandate being decided, there would be a need for a reasonable deadline (e.g., a 2-year timeline for the euro area) and proportionality (e.g., special arrangements for “niche” players, a “receiving” only obligation to be confirmed). B. Objectives and policy options There is only a potential need for limited, targeted, and proportionate legislative initiatives to ensure a regulatory level playing field among all payment instruments in similar use cases or to remove regulatory obstacles for instant payments. Fair access to “infrastructure” (e.g., NFC controller in mobile devices) and technology neutrality in any EC actions are key to foster the deployment and take-up of instant payments solutions. Given the substantial investment and operational costs required by the development, deployment and running of instant payment solutions, their economic sustainability for all actors involved needs to be enabled by the European Commission. Public authorities’ support for the industry’s efforts to prevent and fight against fraud would be welcomed, as security is key for end-users’ trust in payment solutions. C. Preliminary assessment of expected impacts CDC Group shares the Commission’s views on the benefits of IPs for the EU market and citizens. In France, IPs could be coupled with additional services such as RTP (provided they are competitive) in order to replace dated and less secure payment means such as cheques, which would benefit both PSPs and end-users. D. Evidence base, data collection and better regulation instruments The Caisse des Dépôts Group will take part to the subsequent consultation launched on March 31st.
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Response to Revision of the Energy Performance of Buildings Directive 2010/31/EU

22 Mar 2021

The Caisse des Dépôts Group (CDC), as the French climate public long-term investor strongly involved in the renovation of buildings while being the first social landlord in France, supports the revision of the Energy Performance of Buildings Directive. It would like to emphasize several ideas relating to 1/ the level of revision of the Energy Performance of Buildings Directive (EPBD) and 2/ the implementation of incentives. 1/ Level of revision of DEPB - CDC supports a revision of the EPBD that takes into account existing enhancements at national levels. Indeed, the possible introduction of mandatory minimum energy performance standards for different types of buildings at European level, should not impede or halt the application of national legislation. In the case of France, the decree n° 2019-771 of 23 July, 2019 already extends the obligations of reduction of energy consumption of buildings to any building providing tertiary activity, which surface is larger than 1 000 m². Therefore, a significant part of public buildings is covered by the reduction of energy consumption. - CDC supports the enhancement of regulation applying to grid system operators (i.e : ENEDIS, GRDF). It can be a useful means to : • ensure precision and accuracy of data on actual energy consumption of buildings; • increase the speed of access to data on actual energy consumption. Moreover, in order to answer the inability of landlords to collect data on individual housing units (due to the application of Regulation (EU) 2016/679 on General Data Protection), a platform could be created at the level of grid operators to centralize data on actual energy consumption (gas and electricity). This data would be made accessible to the owners. 2/ Incentives - CDC supports the combination of technical assistance tools with financing. To enable local authorities to launch renovation of public buildings, one solution is to combine financing with technical assistance to smooth the process of renovation (i.e: articulation of European financing instruments with national tools such as CDC financial engineering assistance). - CDC supports the simplification of use of European funds dedicated to the thermal renovation of buildings. CDC would like to underline the importance to consider requirements in terms of energy performance at action level, and not at operation level. This is particularly relevant regarding the use of the European Development Regional Fund (ERDF). ERDF is managed by Regions in France, however, the instruction of ERDF grants is made at operation level. Instructions could be made at territorial level, to allow for a global renovation matching the property portfolio of a social landlord. - CDC promotes the use of blending in the sector of thermal renovation of buldings. When it comes to European financing, CDC suggests the implementation of a dedicated EU blending facility. Such instrument would present several benefits : • by its ripple effect, blending makes it possible to finance viable projects which cannot be set up without a contribution in subsidy; • blending facilities can rely on national public investors such as CDC for the identification of projects, their analysis and part of their equity/debt financing. - On private housing, CDC promotes a universal, inclusive and simplified process of thermal renovation. In its report published on 17th of March 2021, CDC recalls the importance of suppressing existing impediments to thermal renovation of private housing, to include the highest number of actors in the renovation process, and to foster the massification of energy renovation projects. Three levers of action are identified: o Implement a global and compulsory assistance dedicated to households managed by a single referent; o Simplify the process of renovation by relying on tools such as a single platform, or a single shared file; o Provide financing allowing to better reach low-income households (i.e: advances).
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Response to Climate change mitigation and adaptation taxonomy

18 Dec 2020

Caisse des Depots Group much welcomes the creation of the Taxonomy and deems it as a powerful tool to foster the European green transition. Our feedback is summarised below and further developped in the paper attached. - General remarks : o The challenges to integrate the complexity of the Taxonomy remain huge with difficulties as regards the foreseen timeline of application. A gradual implementation would help increase market implementation and reorient private funds more quickly into sustainable activities o We welcome the proportionate based approach as proposed by ESMA : creation of proxies based on an EU methodology for entities below the NFRD scope o The evolving nature of the technical criteria should not hinder long-term financing tools (loans and bonds): a grandfathering clause should be foreseen o A high number of the technical criteria refer to EU directives (around 20 Directives for the real estate activities sector). Guidance (a correspondence table) as regards their transposition into national law would facilitate their appropriation by all actors in the EU and ensure their harmonious application o The DNSH criteria are mostly relevant but too diverse. As they work as safeguards, they should be simplified to maximum one indicator/criterium so as not to increase too far the reporting burden and keep the taxonomy usable for all actors - Climate change adaptation : o Although a flexible framework adapted to the current state of knowledge is necessary, higher clarity on the terms used and on the available means to check compliance with the criteria is required o Guidance on implementation should be foreseen o There are open questions on reporting - Sectoral remarks : - Real estate activities and professional services related to energy performance of buildings: o It should be allowed to rely on national regulatory calculations rather than EPC (lack of comparability across Member States, inconsistent with the turnover KPI in France, different application depending on the asset (residential/non-residential) o The eligibility thresholds of EPC class A for the « acquisition » and « ownership » activities (if built before 31/12/2020) are too ambitious (2.4% of EPC-A on average in the EU) and should be lowered to 15% best in class (national regulatory calculations) or EPC A and B in France o The applicable definitions should cover:  acquisition for renovation / management of assets for a third party / holding of high-performance buildings ("Acquisition" activity)  Construction for detention ("Construction" Activity) - Transport (6.3 Urban, suburban and road passenger transport) - the TEG approach (50 gCO2e/pkm until 2025) better serves the context of public transportation : o Zero-emission collective vehicles requirement is inconsistent with the Clean Vehicles Directive o The modal shift best serves mitigation of GHGs in transportation o Zero-emission vehicles can be more polluting than low carbon alternatives (life cycle approach) o Zero-emission collective vehicles are currently not suitable for long-distance transport (low-density areas) o The UITP methodology is available to calculate the 50gCO2 per passenger/pkm criterion. - Agriculture and Forestry: o Criterion 3 (Additionality) should be deleted when the project takes place in a country with a stringent regulation system as it would be impossible to prove otherwise o Criterion 2 (Climate benefit analysis): the 20-year period is not appropriate for activity “1.7” Frequency of verification should not be shorter than 10 years as in the TEG report. - Activities which should be covered by the EU Taxonomy : o mitigation : engineering activities and related technical consultancy dedicated to climate mitigation / acquisition and ownership of infrastructures o adaptation : strategic sectors (hospitals, social infrastructures) / weather-sensitive sectors (eg : tourism and outdoor leisure activities) / enabling technologies / adaptation loans
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Meeting with Thierry Breton (Commissioner) and

27 Oct 2020 · Exchange on COVID measures, recovery plan and InvestEU

Meeting with Thierry Breton (Commissioner) and

20 Apr 2020 · Follow-up call on the crisis’ impact on the built environment sector

Meeting with Florentine Hopmeier (Cabinet of Vice-President Jyrki Katainen)

20 Sept 2018 · Cooperation with National Promotional Banks

Meeting with Jyrki Katainen (Vice-President) and KfW Bankengruppe and Cassa Depositi e Prestiti s.p.a.

28 Jun 2018 · The role of NPBs in the next MFF

Meeting with Alessandro Carano (Cabinet of Commissioner Violeta Bulc)

8 Nov 2017 · next MFF when it comes to financial instruments and the possible role for NPBIs

Meeting with Florentine Hopmeier (Cabinet of Vice-President Jyrki Katainen)

7 Sept 2017 · Investment Plan and role of National Promotional Banks

Meeting with Roberto Viola (Director-General Communications Networks, Content and Technology)

12 Jun 2017 · Cybersecurity

Meeting with Jean-Claude Juncker (President) and

20 Mar 2017 · Meeting with Mr Pierre-René LEMAS on implementation of the Juncker Plan

Meeting with Olivier Guersent (Director-General Financial Stability, Financial Services and Capital Markets Union)

20 Mar 2017 · Le rôle joué par l’investissement de long terme comme élément de réponse à la crise; l’état d’avancement des travaux sur l’Union des marchés de capitaux;le renforcement de l’Union bancaire.

Meeting with Günther Oettinger (Commissioner) and KfW Bankengruppe and Cassa Depositi e Prestiti s.p.a.

12 Dec 2016 · Broadband Fund Announcement

Meeting with Olivier Guersent (Director-General Financial Stability, Financial Services and Capital Markets Union)

6 Dec 2016 · Commentaire de la position CDC sur le Plan Juncker, Les négociations du cadre financier post-2020,Les enjeux liés à la révision CRD/CRR, / Le traitement de l’immobilier dans le cadre prudentiel de l’assurance,Prise en compte des enjeux environnementaux par les banques, assurances et institutions financières

Meeting with Roberto Viola (Director-General Communications Networks, Content and Technology)

27 Sept 2016 · Digital Single Market

Meeting with Olivier Guersent (Director-General Financial Stability, Financial Services and Capital Markets Union)

17 Feb 2016 · CMU, Titrisation « simple, transparence et de qualité, Fonds européens d’investissement à long terme,

Meeting with Jean-Claude Juncker (President)

17 Sept 2015 · Meeting with Mr Pierre-René Lemas on the European Fund for Strategic Investments and the activities of national promotional banks

Meeting with Robert Madelin (Director-General Communications Networks, Content and Technology)

12 May 2015 · ESIF, EFIS and DSM