2021-10-01
Added · Updated
PIFs and de minimis AIFMs must submit updates to their pre-contractual documents (prospectuses) to comply with the Sustainable Finance Disclosure Regulation (SFDR) via a fast-track filing process. Compliance Officers must confirm in writing by 29 October 2021 whether the entity is implementing necessary business changes, and all required documentation, including board attestations and compliance officer confirmations, must be submitted by 31 December 2021. Submissions made after this deadline are treated as standard changes and may be subject to comments, while non-SFDR changes must be filed separately under the standard authorization procedure.
Circular Triq l-Imdina, Zone 1 Central Business District, Birkirkara CBD 1010 +356 2144 1155 communications@mfsa.mt www.mfsa.mt The Implementation of the Sustainable Finance Disclosure Regulation (“SFDR”) – Notification on the process to be adopted for the submission of updates to the pre-contractual document (prospectus) by PIFs and De Minimis AIFMs Introduction The purpose of this circular is to notify the industry on the process to be adopted with respect to the submission of updates to the pre-contractual document (prospectus) of PIFs and de minimis AIFMs following the publication of the previous circular of 5 August 2021 in relation to the Questions and Answers issued by the EU Commission on 14 July 2021. In particular, this circular outlines the process that will be implemented by the MFSA for the submission of updated offering documentation for PIFs and de minimis AIFMs in line with the requirements of the SFDR. Background The SFDR requires financial market participants and financial advisers to make precontractual and ongoing disclosures to investors regarding the integration of sustainability risks and the impact of adverse sustainability as well as the promotion of ESG characteristics and sustainable investments as applicable. Such obligations apply to all Financial Market Participants and Financial Advisors within the scope of SFDR, even to those that do not offer products that promote ESG characteristics or have sustainable investment objectives. At the time of implementation, there was still uncertainty on a European level whether registered/sub-threshold AIFMs would be captured by the definition of Financial Market Participants. Following discussions which involved various Member States, on 14 July 2021 the European Commission issued a Q&A confirming the applicability of the SFDR to registered/sub-threshold AIFMs as referred to in Article 3(2) of the AIFMD. Applied to the local context, this means that PIFs and de minimis AIFMs fall within the scope of the SFDR by virtue of their inclusion in the scope of Financial Market Participants and are required to provide the required disclosures. 30 September 2021
Circular Triq l-Imdina, Zone 1 Central Business District, Birkirkara CBD 1010 +356 2144 1155 communications@mfsa.mt www.mfsa.mt Way Forward Following the clarification provided by the European Commission, the MFSA shall require PIFs and de minimis AIFMs to submit the updates to their pre-contractual documents (prospectuses) in line with SFDR. In this regard, the MFSA will again put in place a fast-track filing process for the submission of updates to the Offering Documents based on the Level 1 text of the SFDR similar to the one adopted previously. Through this process, PIFs and de minimis AIFMs will be required to ‘self-certify’ their compliance with SFDR and notify the Authority accordingly. The MFSA would like to highlight that it is the responsibility of the above-mentioned Investment Services Licence Holders (“LHs”) to ensure compliance with the SFDR requirements as from 10 March 2021 whilst keeping in mind the high-level principlesbased approach outlined by the European Commission 1. With this in mind, Compliance Officers of the indicated LHs are required to confirm in writing to the Authority whether the respective LH is working on the implementation of the necessary business changes to ensure compliance with the SFDR requirements and clearly state the plans of the entity to implement the required changes. Such confirmation is to reach the Authority by 29 October 2021 on SFDR@mfsa.mt. It is further worth noting that aiming to determine where PIFs and de minimis AIFMs stand in respect of sustainable finance, the MFSA will be issuing a separate formal Request for Information in the form of a questionnaire, similar to the one, published as part of the Circular dated 30 July 2021. Details will be provided under separate cover. Submission of Documentation and Timing LHs are required to submit the following documentation with the Authority:
Circular Triq l-Imdina, Zone 1 Central Business District, Birkirkara CBD 1010 +356 2144 1155 communications@mfsa.mt www.mfsa.mt
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