Notatka informacyjna: How to promote, based on education and training, from a lifelong learning perspective, the skills needed for Europe to establish a more just, more cohesive, more sustainable, more digital and more resilient society
Own-initiative opinion postponed to the autumn
The purpose of the own-initiative opinion is to contribute to the further development of the Better Regulation agenda and, as part of it, the Fit-For-Future Platform (the envisaged successor of the REFIT Platform) as foresight is to be integrated in the EU policy-making.
The partial paradigm shift inspired by the Sustainable Development Goals (SDGs) has already impacted economies, businesses and consumers. The time has come to scale up, using the common sustainable practices already being implemented as a basis for taking these sustainable practices to the next level.
Le CESE estime que, pour affronter les défis et les risques découlant de la transformation numérique, la réglementation des fournisseurs de technologies, la protection des consommateurs, l’octroi d’un accès aux services financiers, la résilience opérationnelle et la sécurité des réseaux et des systèmes d’information sont indispensables à la création du marché unique numérique des services financiers. En ce qui concerne les crypto-actifs, le CESE convient les diverses mesures prévues pour adapter la réglementation, qui sont nécessaires pour moderniser les services financiers, sans perdre de vue la protection des consommateurs ni les règles prudentielles.
The EESC welcomes the new action plan on Capital Markets Union (CMU) and approves all of the 16 actions proposed by the Commission, but stresses the importance of prioritising and coordinating the initiatives (with concrete milestones to measure progress), emphasises those that it deems most essential and makes targeted complementary proposals. The EESC argues for two key priorities: 1) to improve the efficiency of the CMU by creating the European Single Access point, by applying a single rule-book and by simplifying withholding tax relief at source procedures and 2) implement proposals aimed at facilitating a shift long-term savings towards long-term investments.
The EESC stresses that ensuring balance in dealing with asylum applications should not have to be the responsibility of individual Member States alone, but should be managed by the EU as a whole. It recognises the importance of the proposals having the legal status of a regulation – as opposed to a Directive. The EESC is pleased that the regulations invoke the principles of solidarity and fair sharing of responsibility, but this burden is not sufficiently balanced. Solidarity needs to be binding, in the form of mandatory relocations.
The EESC welcomes the fact that the Recovery and Resilience Facility regulation confirms the importance of genuine civil society involvement in the development of national plans and advocates for the establishment of binding conditionality for such consultation. To support economic development the EESC considers the full operation of the Single Market as well as fiscal policies and support measures crucial, while calling for the establishment of new fiscal rules that reflect social and economic realities after the pandemic. New instruments to combat tax evasion, undeclared work and the shadow economy are also called for. The EESC also welcomes the inclusion of the green and digital transitions, but regrets the insufficient attention paid to social issues. Efforts to move rapidly towards a green and digital economy must not result in a further increase in poverty and greater social exclusion.