Content Options:

Content Options

View Options:


You are viewing the version of the document as on 2024-03-12.

PERG 16.1 Introduction

G

Question 1.1: What is the purpose of the questions and answers in this chapter?

The purpose is to consider the scope of regulated activities specifically relating to the Alternative Investment Fund Managers Directive 2011/61/EU ("AIFMD") as it was1 implemented in the UK through the RAO. The AIFMD regime in the United Kingdom is based on the AIFMD and the AIFMD level 2 regulation as well as other UK legislation, including the AIFMD UK regulation.1

Question 1.2: What are the regulated activities specifically relating to AIFMD?

The regulated activities that specifically relate to the AIFMD regime in the United Kingdom1 are:

(1) managing an AIF (see PERG 16.3); and

(2) acting as a depositary of an AIF (see PERG 16.4).

Question 1.3: What are the main 1measures dealing with the scope?

They are the UK provisions which implemented the AIFMD, which include1:

(1) the AIFMD level 2 regulation1

(2) the ESMA document "Guidelines on key concepts of the AIFMD" (ESMA/2013/611); and1

(3) the AIFMD UK regulation which largely implemented the AIFMD in the UK.1

Question 1.4: What is the approach to deciding whether something is covered by the AIFMD?

When defining what an AIF is, the drafters of AIFMD faced a dilemma. If there is a precise and detailed definition there is a risk that some funds that should be regulated would fall outside regulation, given the wide variety of legal forms they can take. However, a broad definition entails a risk that AIFMD is given a much wider scope than intended. The agreed definition of AIF is drafted at a high level of generality and uses words which have a wide meaning. So we have approached PERG 16 by looking at what sorts of entities are clearly meant to be caught and then using that as a guide to identify cases which are not fairly within the definition, to avoid an interpretation that would give an exorbitantly wide scope. In the same way, descriptions of what is excluded should not be read in a way that would take cases out of scope that are fairly within it.

A number of answers in PERG 16 take a broad purposive interpretation and look at economic substance. The definition of AIF is drafted at a high level without much detail and uses broad concepts rather than precise technical or legal ones, meaning that PERG 16 takes a similar approach to interpreting it.

Question 1.5: Are there transitional arrangements?

Yes. Some of the transitional arrangements for implementing the AIFMD may affect the date by which a person who would otherwise be managing an AIF or acting as a depositary of an AIF needs permission to do so. PERG 16 does not deal with these arrangements. Details are in Part 9 of the AIFMD UK Regulation.