Thank you very much for the opportunity to present to the committee today and provide input on your deliberations on the Canadian financial sector, protection of investors, and the stability of the Canadian financial system.
I will endeavour to be brief in my comments, so as to leave sufficient time for questions. My colleague, Thomas Johnston, will also be making his own remarks. We will be very happy to answer your questions. To begin, allow me to tell you who we are.
The Investment Counsel Association of Canada represents investment management firms across Canada. We invest the assets of private individuals who are saving for retirement, and we invest the assets for pension plans across Canada.
We have 115 companies that are members of the association. They represent every province and every territory in Canada. Our members are managing total assets of $700 billion for their clients.
As you can imagine, the turmoil in the financial sector during recent months has been a grave concern for our members and their clients. The market collapse has been broader and deeper than many downturns in recent years. With millions of baby boomers within 10 to 20 years of retirement, the urgency of an economic recovery that will restore Canadians' capital and confidence as soon as possible is critical.
We want to interject to applaud the federal government for some of the measures you have taken recently in the federal budget, measures that we believe are important first steps toward strengthening the economy: the stimulus package announced in the budget, with $40 billion in stimulus over the next two years; support for the liquidity measures through various measures, which have been commented on in some of the presentations; and support for the OECD in terms of the GDP spending that has been recommended.
We believe government intervention is important, but we also believe it is critical that the federal government look at ways to restore confidence of Canadians in investing in the capital markets and to encourage saving to ensure that they can meet their retirement goals. Confidence in the markets is key, and confidence in the markets is necessary not only for short- and medium-term credit, but also for encouraging savings and investment in the country.
What can the government do? We are going to focus on about six specific initiatives that we believe could restore confidence in the financial system and help Canadians rebuild some of their lost capital. I want to highlight that we truly believe some of these measures would immediately increase the return that Canadians are seeing in their statements, in their investment portfolios, and in their retirement savings. We will end with a key point that our association has been on record for supporting for many years, which is to move forward as soon as possible with a single securities regulator.
The first recommendation we have is that GST be eliminated on investment management fees.
If there is any lesson Canadians have learned during recent months with the economic turmoil, it is the importance of having good investment advice and selecting advisers who clearly understand their retirement goals, understand and are comfortable with their investment philosophy, and communicate with them in a manner that allows them to understand their financial position. Presently, investment management fees are subject to GST. In provinces with harmonized tax, the amount paid by consumers for investment management services is even higher. If Ontario moves forward with the harmonized tax, investors will pay an additional 8% in investment management services. It is important to note that investment managers are able to reclaim the GST or the harmonized tax, but investors are not.
In this time when individual investors are in more need than ever of professional investment advice and pension plans are turning to investment managers to turn around their portfolios to meet their pension plan commitments, it is critical that the federal government consider this as one way to help Canadians rebuild their lost capital. For this reason, we urge the government to consider the elimination of GST on investment management fees. This would restore some capital to individual Canadians and their pension plans and would also encourage some Canadians to seek advice in pursuing their retirement goals.
The second recommendation we wanted to make is with regard to a former Bill C-10. I don't mean the recent budget bill, but Bill C-10 from the last government. It will be reintroduced in the House in the near future, and this committee will be reviewing it. Our association made a presentation to this committee in 2006 and subsequently, in part of our pre-budget submission, in 2007.
The heart of this bill looked at closing off some offshore tax havens through changes to rules on non-resident trusts and foreign investment entity rules. Had the bill passed without amendment, pension plans and retirement savings would have been subject to tax, so over a trillion dollars in pension money would have been subject to tax.
This bill is not before the House right now, but we wanted to comment on this matter because it will likely be introduced in this session of Parliament.
Working with the Senate banking committee, the Department of Finance did issue a comfort letter that provided some exemption for pension plans. It is our hope that when this bill is reintroduced and this committee is reviewing it, you will see those exemptions for pensions such that pension plans will not be subject to any tax, in the event that they invest in anything internationally deemed to be a trust. We are confident that the Department of Finance is working on this initiative but want you to be aware that this is something that will likely be coming in the next legislature. If the amendment is not introduced, Canadians who have already been hit with losses in their retirement savings are going to be subject to tax.
The third point is that our association has always been in support of reduced barriers to trade, both interprovincially and internationally. The former government removed the 30% foreign content limit on RSPs, which we saw as a very positive development. This helps Canadians investing and their investment managers to diversify their portfolios and look at things both within Canada and abroad.
However, there is still a significant barrier that exists for Canadians wanting to invest internationally. Investments on certain foreign stock exchanges are not qualified for investment within RSPs and other tax-deferred savings plans. Even though the government has removed the foreign content limit, there is still a very limited number—about 35 to 40—of foreign exchanges that are allowed for RSP purposes. There are a number of very well respected, established foreign stock exchanges that are not presently available for RSP investment. The list is simply out of date and requires updating to reflect the fact that we are part of a global economy and that a part of diversification of investments is looking internationally and locally. That list needs to be updated.
Our fourth recommendation is this. The federal government and the provincial governments have been looking at modernizing some of the pension rules, which we very much support. The federal government recently released a pension paper entitled “Strengthening the Legislative and Regulatory Framework For Private Pension Plans Subject to the PBSA”. One key recommendation we made as part of our submission is the loosening of the pension rules, again in keeping with encouraging international investment and removing international barriers to investment. Right now there are very restrictive rules limiting the investment pension plans can make in specific companies and portfolios. We are simply asking that these rules be less restrictive and rely on a prudent person to allow investment managers—