Implications of the Markets in Financial Instruments Directive (“MIFID”) Richard Thompson.

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Presentation transcript:

Implications of the Markets in Financial Instruments Directive (“MIFID”) Richard Thompson

1 Discussion Topics What is MIFID? Does it apply to Hedge Fund Managers? What’s changing for Hedge Fund Managers?

2 What is MIFID? EU Markets in Financial Instruments Directive Intended to establish consistent standards across EU for: –regulatory authorisations –regulation of markets –conduct of business Full implementation in UK from 1 November 2007 Does it apply to Hedge Fund Managers? –yes

3 What is changing for Hedge Fund Managers? Conflicts of Interest Rules Compliance Arrangements Risk Management Record Keeping Requirements PA Dealing Rules Client Classification/Client Agreements Best Execution Rules

4 Conflict of Interest Rules Under MIFID firms must: –identify conflicts between the firm (NB: including directors, managers, employees and tied agents) and its clients or between one client and another; and –maintain and operate effective arrangements to prevent conflicts from adversely affecting clients’ interests Firms must establish and maintain an effective conflicts policy and procedures Firms should disclose to their clients a general description of the conflicts policy Procedures should include (but not be limited to): –use of Chinese Walls –separation of conflicting business lines – removing links between remuneration of individuals involved in conflicting activities –NB: disclosure regarded as a last resort rather than primary tool of conflicts management Maintain and update a record of actual and potential conflicts

5 Compliance Arrangements MIFID sets out 3 primary responsibilities for the Compliance function: –put in place policies and procedures to ensure compliance with regulations –monitor compliance with such policies and procedures –advise the firm in complying with regulations MIFID also requires that the Compliance function operates “independently“ The requirements for independence are that: –the Compliance function must have the necessary authority, resources, expertise and access to relevant information –a compliance officer is appointed –individuals should not be involved in performing activities they monitor –the method of remunerating staff should not compromise their objectivity The FSA in its CP 06/9 stated that the requirement for independence will not apply if it is disproportionate given the nature, scale and complexity of the firm’s business. NB: the firm will still have to show the Compliance function is “effective“

6 Risk Management In addition, firms are required to establish, implement and maintain adequate Risk Management policies and procedures Policies and procedures should identify risks relating to the firm’s activities, processes and systems e.g. credit risk, market risk, liquidity risk Firms must have a separate Risk Control function where proportionate depending on the nature, scale and complexity of its business Risk Control function to be responsible for monitoring the firm’s risk management policies and procedures and should be independent as far as possible from operational areas, depending on the nature, scale and complexity of the business

7 Record Keeping Requirements MIFID imposes a 5 year record keeping requirement 5 year records of all services and transactions undertaken Mismatch with current FSA 3 or 6 year requirements FSA to clarify in due course

8 PA Dealing Rules MIFID will require an appropriate policy governing personal dealing by “relevant persons“ “Relevant persons“ include the firm’s directors, partners and employees but also any person providing services to the firm as a contractor or consultant who has access to confidential information e.g. IT contractors; compliance consultants. Implementation? Enforcement? Catches personal PA trades, trades for the account of certain relatives and also trades for the account of a person where the “relevant person“ has a direct or material interest in the outcome of the trade Firm’s PA dealing policy must ensure that: –the firm is notified of PA trades by “relevant persons“ –the firm keeps a record of all PA trades

9 Client Classification/Client Agreements Client classifications will change under MIFID MIFID requires firms to classify their clients as Retail Clients, Professional Clients or Eligible Counterparties Hedge Funds will be classed as Professional Clients Some adjustments to Client Agreements are expected to be necessary Certain other aspects of MIFID may also require changes to be made e.g. Best Execution requirements The FSA may also make some changes to its requirements for Client Agreements, again necessitating changes. NB: Q4 COB Consultation

10 Best Execution Rules (1) MIFID requires firms to take reasonable steps to obtain the best possible result for their clients when executing orders This includes orders in all financial instruments whether on exchange or OTC Firms will need to assess and provide best execution based on a number of factors including price, cost, speed, likelihood of execution and settlement, size, nature and any other relevant consideration Hedge Fund managers may rely on third parties to deliver best execution but must have taken reasonable steps to select entities most likely to deliver the best possible result and must monitor the execution quality

11 Best Execution Rules (2) Application to swaps/similar unclear Firms should establish and implement an order execution policy including information on trading venues, selection procedures etc. Firms should provide information to clients on their order execution policy and obtain the client’s consent to it. Written consent required if orders may be executed outside a regulated market

12 What should you do now? Some food for thought already FSA to consult on Implementation of Conduct of Business Rules in Q4 This is the trigger to start real preparatory work