Template:Nutshell AIFMD 36(1): Difference between revisions

From The Jolly Contrarian
Jump to navigation Jump to search
(Created page with "{{aifmdprov|36(1)}}. Member States may allow an authorised EU AIFM to market {{aifmdprov|non-EU AIF}}s to professional investors, in their t...")
 
No edit summary
 
Line 1: Line 1:
{{aifmdprov|36(1)}}. Member States may allow an authorised EU [[AIFM]] to market {{aifmdprov|non-EU AIF}}s to [[Professional investor fund|professional investors]], in their territory only as long as: <br>
{{aifmdprov|36(1)}}. Member States may allow an authorised EU [[AIFM]] to market {{aifmdprov|non-EU AIF}}s to [[Professional investor fund|professional investors]], in their territory only as long as: <br>
:(a) '''A light depositary''': the [[AIFM]] complies with all of AIFMD except for having a {{aifmdprov|depositary}} — though the AIFM must appoint someone to:
:(a) '''Depositary-lite''': the [[AIFM]] complies with all of {{tag|AIFMD}} except for having a {{aifmdprov|depositary}} — though it must appoint someone to perform the following depositary functions:
::(i) '''Cashflows''': monitor cashflows (art. {{aifmdprov|21(7)}}),
::(i) '''Cashflows''': monitor cashflows (art. {{aifmdprov|21(7)}}),
::(ii) '''Custody''': hold assets in custody (art. {{aifmdprov|21(8)}}), and  
::(ii) '''Custody''': hold assets in custody (art. {{aifmdprov|21(8)}}), and  

Latest revision as of 17:39, 17 December 2018

36(1). Member States may allow an authorised EU AIFM to market non-EU AIFs to professional investors, in their territory only as long as:

(a) Depositary-lite: the AIFM complies with all of AIFMD except for having a depositary — though it must appoint someone to perform the following depositary functions:
(i) Cashflows: monitor cashflows (art. 21(7)),
(ii) Custody: hold assets in custody (art. 21(8)), and
(iii) Subscriptions and redemptions: issue and cancel units and calculate NAV (art. 21(9))
and the AIFM may not do this itself. It must tell the regulator who it has appointed.
(b) Regulatory cooperation: there must be suitable arrangements between regulators in the AIFM’s member state and the AIF's home regulator to exchange information and cooperate to monitor systemic risks;
(c) No dodgy money-laundering types: the AIF’s home jurisdiction is not listed as a Non-Cooperative Country and Territory by FATF.