Tag:Europe

1
Europe: UK Regulation of Cryptoassets – Another Glimpse but Still None the Wiser
2
Europe: FCA Sets 2023 Regulatory Priorities for UK Asset Managers
3
Europe: UK Regulator Issues New Recommendations to Firms on Consumer Duty Implementation
4
Europe: Asset Managers – Are You Ready for Climate-Related Reporting Under UK TCFD?
5
Europe: Systemically important outsourced service providers, eg cloud services, to be identified and regulated in the UK    
6
Europe: AIFMD II – Proposed Refinements to Loan Originating Fund Proposals
7
Europe: FCA Consults on Permitting Side Pockets for UK Retail Funds Affected by Conflict in Ukraine
8
Europe: FCA Challenge to UK Fund Service Providers    
9
Australia: Russian Sanctions and Fund Managers
10
Europe: Welcome New Clarity on the Phasing in of EU ESG Disclosure Requirements

Europe: UK Regulation of Cryptoassets – Another Glimpse but Still None the Wiser

By Kai Zhang and Philip Morgan

On 1 February, the UK Government published another consultation paper on the proposed regulation of business relating to cryptoassets in the UK. This is to seek views (by 30 April 2023) on the overall approach and policy direction, and includes a call for evidence to gather more pertinent information on decentralised finance. As such, the consultation does not contain details on any specific proposed rules.  For example, the proposed cryptoasset-related regulated activities described in the consultation paper are stated to be illustrative of the sorts of activities the Government intends to regulate, rather than specific proposals. For further information on this consultation please see our fintech blog here.

Europe: FCA Sets 2023 Regulatory Priorities for UK Asset Managers

By Philip Morgan

One of the UK FCA’s favoured ways of regulating is through “Dear CEO” letters, which seek to place a direct onus on CEOs to address FCA priorities.  On 3 February 2023, CEOs of UK asset management firms were the recipients of one such letter.  Much of the content is not surprising (e.g. the emphasis on consumer outcomes) but we highlight here some particularly notable points: 

Read More

Europe: UK Regulator Issues New Recommendations to Firms on Consumer Duty Implementation

By Andrew Massey and Robert Lloyd

With effect from 31 July 2023*, a new Consumer Duty will require firms conducting regulated activities in the UK to act to deliver good outcomes for retail customers. The FCA has conducted a review of the implementation plans of a number of larger firms, and published its findings on 25 January 2023.

Although pertaining to larger firms, the findings – particularly the examples of good practice and areas for improvement – are intended to be “useful” for all firms preparing for the Duty. The underlying concern identified by the FCA is the risk that firms may not be ready in time, or may struggle to embed the Duty effectively throughout their business.

Read More

Europe: Asset Managers – Are You Ready for Climate-Related Reporting Under UK TCFD?

By Maya Ffrench-Adam and Andrew Massey

1 January 2023 marked the latest regulatory milestone in the UK’s phased implementation of the Task Force on Climate-related Financial Disclosures (TCFD) recommendations.

The TCFD – first set up in 2015 by the Financial Stability Board – is an international body that has issued recommendations, targeted at multiple sectors, for disclosing climate-related financial information.

Read More

Europe: Systemically important outsourced service providers, eg cloud services, to be identified and regulated in the UK    

By: Kai Zhang

In an 8 June 2022 policy statement,  the UK Government proposes a specific regime for supervising “critical” service providers to the financial services industry. This is to address concentration risk as many regulated firms rely on a few large service providers whose failure could potentially threaten the stability of, or confidence in, the UK’s financial system.   The Government observes that in 2020 over 65% of UK regulated firms used the same four cloud providers for cloud infrastructure services.

Read More

Europe: AIFMD II – Proposed Refinements to Loan Originating Fund Proposals

By: Philipp Riedl

On 18 May 2022, the Rapporteur submitted to the Committee on Economic and Monetary Affairs (ECON) a report suggesting changes to the EU Commission’s envisaged regulation of loan originating funds under its proposed AIFMD amendments (AIFMD II).  The report includes some proposed relief, notably:

Read More

Europe: FCA Consults on Permitting Side Pockets for UK Retail Funds Affected by Conflict in Ukraine

By: Andrew Massey and Robert Lloyd

On 28 April 2022, the FCA published consultation paper 22/8 on proposals to protect investors in UK authorised funds by allowing authorised fund managers (AFMs) to create side pockets in the form of separate unit classes for funds affected by the conflict in Ukraine.

The proposals are novel for UK authorised funds in at least two respects. Firstly, they would allow side pockets to be created without requiring a shareholder extraordinary resolution or at least 60 days’ prior notice. Secondly, the AFM would be able to suspend dealings in the unit class formed to create the side pocket without having to suspend dealing in the entire fund.

Read More

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:

Read More

Australia: Russian Sanctions and Fund Managers

By: Jim Bulling and Kithmin Ranamukhaarachchi

As Russia’s invasion of Ukraine continues, global economic sanctions have evolved into a complex web of restrictions and prohibitions with limited exceptions. As a result, asset managers have more layers of regulation to navigate in relation to current holdings and future investments in virtually all markets directly or indirectly connected to Russia, Belarus and Ukraine (Region).

Read More

Europe: Welcome New Clarity on the Phasing in of EU ESG Disclosure Requirements

By: Philipp Riedl

Revised guidance from the European Supervisory Authorities (ESAs) contains much-needed information on the extent to which affected firms should be anticipating detailed Regulatory Technical Standards (RTS) that are not expected to be effective until 1 January 2023. The German regulator BaFin issued an accompanying statement on 30 March 2022. The key information is:

Read More

Copyright © 2024, K&L Gates LLP. All Rights Reserved.