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Guidance on fund suspensions | FCA In exceptional circumstances, fund managers should consider whether it would be in investors’ best interests to suspend dealing in a fund or range of funds We request that managers of authorised funds contact us in advance of any proposed suspension
The suspensions of redemptions during the COVID 19 crisis – a case for . . . Suspending redemptions can mitigate stress at the fund level, but it impairs investors’ ability to raise liquidity Suspensions stop investor outflows, thereby alleviating the immediate liquidity stress at the fund level They can also mitigate possible spillovers to asset markets via price declines or fire sale dynamics during periods of stress
Considerations for the Management of Operational Risks Associated with . . . As Luxembourg is a global distribution hub special-ising in the cross border distribution and marketing of funds into multiple jurisdictions around the world consideration must also be given to the specific laws and regulations of each non-EU country into which the funds are offered for sale
European Fund Distribution: Key Insights for Asset Managers Two key regulations standardise fund distribution in Europe and make cross-border distribution easier: the UCITS Directive (Undertakings for Collective Investment in Transferable Securities) and the AIFMD Directive (Alternative Investment Fund Managers Directive)
INVESTMENT FUND DISTRIBUTION CHANNELS IN EUROPE Firstly, the pivotal role of banks in fund distribution within the European Union cannot be overstated With their share accounting for 57% of fund assets, they serve as primary advisors to clients seeking to diversify their savings from deposits into investment funds
A summary of Cross border distribution funds (CBDF) The texts of EU’s Directive and Regulation on cross border distribution of investment funds have now been published and provisions will take effect from 2021
Cross-border distribution of investment funds – New CSSF FAQ - Arendt The CSSF provides inter alia the following main clarifications: all Investment Fund Managers (“ IFMs ”) listed in Section 2 of CSSF Circular 22 795 are in scope of Article 4 of the CBDF Regulation and in scope of the ESMA Guidelines;