Tag:Americas

1
Europe: FCA Challenge to UK Fund Service Providers    
2
United States: Private Funds and SEC Crypto Regulation
3
United States: To be Continued (or not)
4
Europe: Divergence Between UK and EU Priips Disclosures Set to Add Complexity for Managers    
5
Australia: FFSP Regime Finally Announced – Good News for Offshore Managers
6
Australia: A Proxy Advice Regulation Rollercoaster

Europe: FCA Challenge to UK Fund Service Providers    

By: Andrew Massey and Melissa Vance

Fund managers can expect changes to custodian and other fund service provider practices in response to regulator challenge, and should review their due diligence of service providers.

In a letter on 23 March 2022, the FCA instructed the Chief Executive and Boards of third-party custodians, depositories for authorised and non-authorised funds, and third-party administrators to review key risks identified by the FCA, including the following:

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United States: Private Funds and SEC Crypto Regulation

By: Rob Weiss

Fund sponsors continue to search for ways to get their investors exposure to cryptocurrencies.

For sponsors able to offer registered fund products, exchange-traded products (ETPs) are attractive: available to retail investors, highly liquid, and without a fixed term, ETPs check several boxes for sponsors and investors alike. However, while the SEC has authorized listing of ETPs that trade in bitcoin futures regulated by the CFTC, the SEC has not authorized listing of ETPs that trade directly in spot cryptocurrency. We recently wrote an article on this point, which can be accessed here.

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United States: To be Continued (or not)

By: Yasho Lahiri

Continuation funds exist because closed-end funds are better suited to a perfect world than an imperfect one.

In a perfect world, as a closed-end fund nears the end of its term, the few remaining portfolio companies the fund owns are ready for sale at attractive prices.  The sales happen.  Proceeds from the sales wind their way through the fund waterfall to grateful limited partners and successful sponsors.  The fund is wound up just as its term comes to an end.

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Europe: Divergence Between UK and EU Priips Disclosures Set to Add Complexity for Managers    

By: Andrew Massey

On 25 March 2022, the FCA confirmed new requirements for the key information document (KID) required for package retail and insurance-based investment products (PRIIPs) in the UK: policy statement 22/2.  Investment funds are generally categorised as PRIIPs, although UK UCITS and UK non-UCITS retail schemes are exempted from the PRIIPs KID requirement until 31 December 2026. 

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Australia: FFSP Regime Finally Announced – Good News for Offshore Managers

By: Jim Bulling and Felix Charlesworth

FFSP regime finally announced – good news for offshore managers

On 17 February 2022, the Government introduced the final version of the Foreign Financial Service Provider (FFSP) regulatory regime into Parliament.

The new laws outline three ways in which FFSPs will either be exempt from the requirement to hold an Australian Financial Services Licence (AFSL), or be able to fast track the licencing process. These exemptions will commence on 1 April 2023, to coincide with the expiry of the transitional relief.

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Australia: A Proxy Advice Regulation Rollercoaster

By: Jim Bulling and Phoebe Naylor

Controversial regulations seeking to govern the provision of proxy advice services were introduced by the Government in late December 2021. The Treasury Laws Amendment (Greater Transparency of Proxy Advice) Regulations 2021 (the Regulations) introduced a definition of “proxy advice” and prescribed it as a financial service. In summary, proxy advice was defined as an offer of voting recommendations to specified entities, in relation to the exercise of their voting rights attached to securities or interests.

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