AIFMD: Difference between revisions
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===Application=== | ===Application=== | ||
AIFMD [[Depositary]] requirements are driven by a combination of the domicile of the AIFM and AIF and marketing practices: | AIFMD [[Depositary]] requirements are driven by a combination of the domicile of the AIFM and AIF and marketing practices: | ||
*'''EU AIFM of EU AIF''': Subject to Full [[Depositary]] requirements (Article 21) | *'''EU AIFM of EU AIF''': Subject to Full [[Depositary]] requirements (Article {{aifmdprov|21}}) | ||
*'''EU AIFM of non-EU AIF''': Subject to lighter depositary regime (Article 36) – mandatory in order to market the non EU-AIF marketed to EU investors through [[private placement]]. | *'''EU AIFM of non-EU AIF''': Subject to lighter depositary regime (Article {{aifmdprov|36}}) – mandatory in order to market the non EU-AIF marketed to EU investors through [[private placement]]. | ||
*'''Non-EU AIFM of EU or non-EU AIF''': not subject (at least initially) to any depositary requirements irrespective of whether AIF being marketed to EU investors, except potentially if marketing into certain countries (e.g. Germany, Denmark, France "gold plating"), and any other country specific requirements (e.g. Ireland QIAIF requirements) | *'''Non-EU AIFM of EU or non-EU AIF''': not subject (at least initially) to any depositary requirements irrespective of whether AIF being marketed to EU investors, except potentially if marketing into certain countries (e.g. Germany, Denmark, France "gold plating"), and any other country specific requirements (e.g. Ireland QIAIF requirements) | ||
====Depositary Lite Regime==== | ====Depositary Lite Regime==== | ||
Non-EU [[AIF]]s marketed by an EU [[AIFM]] to EU investors through [[private placement]] are subject to certain depositary requirements (Article 36 [[AIFMD]]) | Non-EU [[AIF]]s marketed by an EU [[AIFM]] to EU investors through [[private placement]] are subject to certain depositary requirements (Article {{aifmdprov|36}} [[AIFMD]]) | ||
* An AIFM must ensure one or more entities are appointed to carry out the following duties of: | * An AIFM must ensure one or more entities are appointed to carry out the following duties of: | ||
**Cash flow monitoring (Article 21 | **Cash flow monitoring (Article {{aifmdprov|21(7)}}); | ||
**Safe keeping of assets, both financial instruments and OTC (Articles 21 | **Safe keeping of assets, both financial instruments and OTC (Articles {{aifmdprov|21(8)(a)}} and {{aifmdprov|21(8)(b)}}; and | ||
**Oversight (Article 21 | **Oversight (Article {{aifmdprov|21(9)}}) | ||
*Unlike Article 21 (which covers the full depositary obligations of an EU AIFM / EU AIF) there is no strict liability for loss of assets for a non-EU AIF, and no requirement to appoint a single depositary - therefore this regime is referred to as "Depositary-Lite" or "Depo-Lite". | *Unlike Article {{aifmdprov|21}} (which covers the full depositary obligations of an EU AIFM / EU AIF) there is no strict liability for loss of assets for a non-EU AIF, and no requirement to appoint a single depositary - therefore this regime is referred to as "Depositary-Lite" or "Depo-Lite". | ||
{{aifmdanatomy}} |
Revision as of 12:56, 29 January 2015
Alternative Investment Fund Managers Directive 2011/61/EU (EUR Lex)
Overview
The Alternative Investment Fund Managers Directive 2011/61/EU ("AIFMD") is a European Union Directive that entered into force on 22 July 2013. The Directive regulates:
- EU fund managers that manage alternative investment funds (essentially hedge funds and private equity funds) ("AIFs") (wherever they are based);
- fund managers (wherever they are based) that manage AIFs established in the EU; and
- fund managers (wherever they are based) that market the units or shares of an AIF in the EU.
Hedge funds and private equity funds and their Investment Managers (AIFMs) have not been subject to the same rules to protect the investing public as mutual (including UCITS) and pension funds and their managers. In general, the lack of financial regulation is seen by some
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to have contributed to the severity of the global financial crisis. The Directive was aimed at redressing this perceived regulatory gap.
Application
AIFMD Depositary requirements are driven by a combination of the domicile of the AIFM and AIF and marketing practices:
- EU AIFM of EU AIF: Subject to Full Depositary requirements (Article 21)
- EU AIFM of non-EU AIF: Subject to lighter depositary regime (Article 36) – mandatory in order to market the non EU-AIF marketed to EU investors through private placement.
- Non-EU AIFM of EU or non-EU AIF: not subject (at least initially) to any depositary requirements irrespective of whether AIF being marketed to EU investors, except potentially if marketing into certain countries (e.g. Germany, Denmark, France "gold plating"), and any other country specific requirements (e.g. Ireland QIAIF requirements)
Depositary Lite Regime
Non-EU AIFs marketed by an EU AIFM to EU investors through private placement are subject to certain depositary requirements (Article 36 AIFMD)
- An AIFM must ensure one or more entities are appointed to carry out the following duties of:
- Unlike Article 21 (which covers the full depositary obligations of an EU AIFM / EU AIF) there is no strict liability for loss of assets for a non-EU AIF, and no requirement to appoint a single depositary - therefore this regime is referred to as "Depositary-Lite" or "Depo-Lite".
AIFMD
This is an article about Alternative Investment Funds Management Directive (2011/61/EU (EUR Lex)) and the AIFMD Implementing Regulation 231/2013 (EUR Lex).
Navigation - directive 2011/61/EU (EUR Lex): 21 | 21(8) | 21(11) | 21(14) | 36 (depo-lite) | 36(1)
Navigation - implementing regulation 231/2013 (EUR Lex): DR76 (objective reason) | DR91 (reporting obligations for prime brokers)
AIFMD Anatomy
Anatomy™: AIFMD | CASS | COBS | Conference calls | Confis | CRR | CSA | EMIR | Equity Derivatives | FOA PCA | FUND | GMRA | GMSLA | ISDA | OSLA | PB | Swapclear | UCITS