2022-12-21
The Croatian Financial Services Agency (Hanfa) issued these Guidelines to standardize how investment fund management companies apply the proportionality principle to their remuneration policies. The document establishes a unified framework requiring management companies to conduct documented proportionality tests based on size, organizational structure, and activity complexity, thereby determining whether they are classified as significant or non-significant. Significant companies must fully apply remuneration requirements except for small remuneration pay-out exemptions, while non-significant companies may be exempt from establishing a remuneration committee and can apply pay-out rules proportionally, with exemptions never occurring automatically.
The Croatian Financial Services Agency (hereinafter: Hanfa), pursuant to Article 15, point 4 of the Act on the Croatian Financial Services Agency (Official Gazette nos. 140/05 and 12/12), at the meeting of its Management Board held on 21 December 2022, adopts
According to Article 361 of the Act on Open-Ended Investment Funds with Public Offer (Official Gazette nos. 44/16, 126/19, 110/21 and 76/22, hereinafter: ZOIFJP) and Article 247 of the Act on Alternative Investment Funds (Official Gazette nos. 21/18, 126/19 and 110/21, hereinafter: ZAIF), the Croatian Financial Services Agency (hereinafter: Hanfa) is authorized to inform certain groups of supervised entities and other addressees through various publications (instructions, guidelines, etc.) regarding the explanation or method of application of certain regulations within its competence or related general legal acts. Articles 59 to 61 of ZOIFJP and Articles 61 to 63 of ZAIF regulate the remuneration policy of investment fund management companies (hereinafter: management company), which must consistently reflect and promote effective risk management and prevent the assumption of risks inconsistent with the risk profile, rules and/or prospect of the investment funds managed by the management company. The aforementioned provisions have been transposed into Croatian legislation based on:
These Guidelines are prepared based on relevant statutory regulations, ESMA's UCITS and AIF Guidelines, experience in applying the relevant regulations, and available regulatory practice in EU Member States. In drafting these Guidelines, Hanfa was guided by the following principles:
The applicable statutory regulations, as well as the UCITS and AIF Guidelines, recognize the proportionality principle as relevant to many requirements for management companies, including remuneration policy requirements. Therefore, when fulfilling obligations established by relevant statutory provisions and UCITS and AIF Guidelines, management companies act in accordance with the proportionality principle, meaning that when establishing and implementing remuneration policy they should take into account: a) the size of the management company and the investment funds it manages; b) the internal organization of the management company; and c) the nature, scope and complexity of the activities performed by the management company. These criteria must be considered and applied cumulatively when conducting the proportionality test, after which it is assessed to what extent remuneration policy will be applied to a specific management company.
According to the AIF Guidelines, applying the proportionality principle in exceptional cases and taking into account the circumstances of a specific case may result in an exemption from certain remuneration policy requirements – if it is consistent with the risk profile, the level of risk the management company is willing to take, and the strategy of both the management company and the AIF it manages, within the limits set by the AIF Guidelines itself.² Specifically, the following requirements may be exempted regarding all identified employees or only certain categories within identified employees, provided they are applied proportionally: 3
A management company is required to conduct a proportionality test to determine whether it is significant for the application of UCITS and AIF Guidelines, taking into account the criteria from point 7.2 of the UCITS and AIF Guidelines – its size and the size of investment funds it manages, organizational structure, as well as nature, scope and complexity of activities performed. Based on the analysis of criteria from point 7.2 of UCITS and AIF Guidelines, a management company is required to determine whether it is significant for the application of UCITS and AIF Guidelines, i.e., whether it is more appropriate for it to apply the provisions of UCITS and AIF Guidelines in a more complex manner and to a greater extent (significant management company) or whether it is more appropriate for it to apply the relevant provisions in a simpler manner and to a lesser extent (non-significant management company). If, after conducting the proportionality test, a management company determines and concludes that it is significant, it must fully apply remuneration policy requirements, except for the exemption regarding pay-out process for small remuneration. If, after conducting the proportionality test, a management company determines and concludes that it is not significant, it means that such management company may be exempted from applying remuneration policy requirements concerning the obligation to establish a remuneration committee and pay-out process requirements for small remuneration, while other requirements must be applied proportionally depending on its size and the size of investment funds it manages, organizational structure, as well as nature, scope and complexity of activities performed. Regardless of the results of the proportionality test, Hanfa considers a management company significant if it meets two out of three stated conditions:
A management company is required to comply with the obligation that the ratio between variable and fixed components of an individual employee's total remuneration must be determined such that the amount of the variable component does not exceed the amount of the fixed component of total remuneration. Regardless of the aforementioned provisions on applying the proportionality principle and test, a management company that is significant as well as one that is not significant is not required to apply remuneration policy requirements concerning the pay-out process (Article 60(1)(m), (n) and (o) of ZOIFJP and Article 62(1)(m), (n) and (o) of ZAIF) to employees whose variable remuneration on an annual basis does not exceed:
When a management company delegates to a third party the functions of managing investment fund assets and/or managing investment fund risks, it must ensure that:
Regarding exemptions from applying certain remuneration policy requirements stipulated by these Guidelines, Hanfa considers that a management company is required to conduct necessary assessments of the conducted proportionality test at least every two years. Each such assessment must be documented and justified, and available to Hanfa upon request. These Guidelines are published on Hanfa's website and enter into force on 1 January 2023. With the entry into force of these new Guidelines, the Guidelines on the application of the proportionality principle regarding remuneration policy of investment fund management companies and small remuneration exemption dated 26 April 2018 (Class: 011-02/18-02/01, Reference No.: 326-01-440-18-1) cease to apply. Class: 011-01/22-02/10 Reference No.: 326-01-40-42-22-1 Zagreb, 21 December 2022 CHAIRMAN OF THE MANAGEMENT BOARD dr. sc. Ante Žigman