Catagory:Retail Investor Funds

1
APAC: Managed Accounts and Conflicts—Part 3: Separate Managed Accounts vs. Funds of One
2
Europe: Proposed German Legislation Will Support Investments in Renewable Energy Facilities
3
United States: Staff Provides Legend Alternative for Non-Transparent ETFs Short on Ad Space
4
Australia: Registered scheme and CCIV compliance: Obligation to give notice of members’ rights
5
Europe: ELTIF 2.0 Has Been Published
6
Europe: Is ELTIF 2.0 a More Viable Structure for Long-Term Investment in the EU?
7
Europe: Important Issues Still Open for Debate in EU’s AIFMD and UCITS Reviews
8
Europe: Central Bank of Ireland Confirms Fast Track approval in Relation to New SFDR RTS
9
Europe:  FCA Sets Ambitious Goal to Improve Asset Management Regulation in the UK
10
Europe: FCA Sets 2023 Regulatory Priorities for UK Asset Managers

APAC: Managed Accounts and Conflicts—Part 3: Separate Managed Accounts vs. Funds of One

By Scott Peterman

In our last post, we itemized several incentives motivating many institutional investors to favor management of their investment assets in a separate managed account (SMA) or fund-of-one as opposed to investing those assets in a commingled fund. A key distinction between investing assets in an SMA or fund-of-one that is often overlooked is that the owner/investor in an SMA directly owns those investment assets. This is not true of an investor investing in a fund-of-one. In the latter, the fund owns those assets, not the investor. 

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Europe: Proposed German Legislation Will Support Investments in Renewable Energy Facilities

By Hilger von Livonius

On 12 April 2023, the German Ministry of Justice (Bundesministerium der Justiz) published a legislative proposal which would broaden the eligible assets for German open-ended real estate funds to include certain renewable energy assets. The proposal mentions both facilities for the generation, transport and storage of electricity, gas or heat from renewable energy sources, and charging stations for electric vehicles and bikes. The proposed rules would, for the first time, allow investment in facilities which are on open land  and not directly connected with a building held by the fund. The new rules may also have an impact on non-German real estate funds available to certain German investors.  For example, German pension schemes may require that non-German real estate funds share certain features with similar German funds.

United States: Staff Provides Legend Alternative for Non-Transparent ETFs Short on Ad Space

By Keri E. Riemer

Non-transparent exchange-traded funds (ETFs) that are struggling to fit in digital advertisements the specific risk legend set forth in their exemptive orders (Exemptive Order Risk Legends) may be in luck. On 29 March 2023, the staff (Staff) of the Division of Investment Management of the U.S. Securities and Exchange Commission (SEC) issued a statement (Statement) requesting that non-transparent ETFs use in such ads either (i) the text and formatting of their Exemptive Order Risk Legends; or (ii) the following text and formatting (with bold as shown and without bullets) (the Staff Risk Legend):

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Australia: Registered scheme and CCIV compliance: Obligation to give notice of members’ rights

By Matthew Watts and Rebecca Mangos

As the end of the 2023 financial year fast approaches, responsible entities and CCIV corporate directors should be reminded of their obligation to notify members by 30 June 2023 of their rights to elect and request to receive certain documents in physical or electronic form.

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Europe: ELTIF 2.0 Has Been Published

By Philipp Riedl

On 15 March 2023, amendments to the EU Regulation on the European Long-Term Investment Fund (ELTIF) were published in the Official Journal of the European Union.  They will apply from 10 January 2024.

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Europe: Is ELTIF 2.0 a More Viable Structure for Long-Term Investment in the EU?

By Philipp Riedl

Version 1 of the European Long-Term Investment Fund (ELTIF) has not been a huge success story with only a few relatively small funds launched to date.  However the development of a well-supported fund structure for retail investors to invest in illiquid long-term assets remains a key priority for EU legislators.

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Europe: Important Issues Still Open for Debate in EU’s AIFMD and UCITS Reviews

By Giovanni Campi

On 24 January 2023, the ECON Committee of the EU Parliament adopted its report on proposed amendments to the EU’s main fund rules, AIFMD and the UCITS Directive, ahead of trilogue negotiations with the EU Council and Commission set to begin in March.  When agreed, the revised Directives are expected to come into force in 2025 in light of the 24 months transposition period. Notable proposals include:

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Europe: Central Bank of Ireland Confirms Fast Track approval in Relation to New SFDR RTS

By Áine Ní Riain and Gayle Bowen

On the 17th February 2023, a new Delegated Regulation was published which amends and corrects the existing Sustainable Finance Disclosure Regulation (SFDR) regulatory technical standards with the main changes introducing disclosure requirements for Article 8 and Article 9 funds in respect of fossil gas and nuclear energy related activities to ensure alignment with the EU Taxonomy.  The Delegated Regulation does not provide for a transition period and entered into force on 20 February.

The Central Bank of Ireland in order to accommodate the Delegated Regulation published their Process Clarification which confirms that the Central Bank will facilitate a fast-track filing process for the update of pre-contractual disclosure documents pursuant to the Delegated Regulation.  Compliance with the Delegated Regulation is now a matter of priority for financial market participants and funds sponsors.

For more information on this regulatory update we suggest a read of our full Article or contact one of our authors.

Europe:  FCA Sets Ambitious Goal to Improve Asset Management Regulation in the UK

By Robert Lloyd, Maya Ffrench-Adam and Philip Morgan

On 20 February 2023, the FCA published a discussion paper (DP23/2) on improving the UK asset management regime.  Key themes include:

Alignment with Relevant International Standards 

The FCA does not want to create unnecessary complexity for firms operating in multiple jurisdictions. It aims to develop the regime to interact effectively with international requirements, while promoting the international competitiveness of the UK economy.

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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: 

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