{"id":818,"date":"2021-01-08T12:08:19","date_gmt":"2021-01-08T12:08:19","guid":{"rendered":"https:\/\/www.effectacompliance.com\/?p=818"},"modified":"2021-01-08T12:08:19","modified_gmt":"2021-01-08T12:08:19","slug":"first-consultation-paper-on-a-new-fca-prudential-regime-for-investment-firms-its-now-time-to-join-the-debate","status":"publish","type":"post","link":"https:\/\/www.effectacompliance.com\/first-consultation-paper-on-a-new-fca-prudential-regime-for-investment-firms-its-now-time-to-join-the-debate\/","title":{"rendered":"First Consultation Paper on a New FCA Prudential Regime for Investment firms \u2013 It\u2019s now time to join the debate!"},"content":{"rendered":"\n

Further to our regulatory insight published in August, the Financial Conduct Authority (\u201cFCA\u201d) in December published CP20\/24 (CP20\/24<\/a>) a consultation paper (\u201cCP\u201d) outlining potential changes to the UK Investment Firm Prudential Regime (\u2018IFPR\u2019). These rules will directly impact investment managers authorised and regulated by the FCA under MiFID and currently fall within the FCA\u2019s BIPRU and IFPRU rules as well as those managers classified as Collective Portfolio Management Investment Firms and advisor \/ arranger exempt-CAD firms. If you fall within any of these categories you need to be aware of the key changes being proposed, as set out below, and the impact it will have on your business.  <\/p>\n\n\n\n

The objectives of the new regime are to streamline and simplify the prudential requirements for solo-regulated FCA authorised investment firms. Introducing the IFPR should mean that there will be a single prudential regime for all FCA investment firms which it is hoped will reduce the barriers to entry and allow for better competition.  Unlike the current regime where there are many different classifications which apply depending on size and type of firm; once implemented these new rules will have only two categories making the regulations much clearer: (1) those firms that meet the criteria to be \u2018small and non-interconnected\u2019, and (2) all other firms.<\/p>\n\n\n\n

Specific changes the IFPR will introduce include the following:<\/p>\n\n\n\n