Regulatory briefing: What would launching a long-term asset fund entail? [updated] (2024)

Regulatory status

Authorised open-ended fund and an alternative investment fund (AIF) for UK AIFMD purposes. The LTAF will operate within a new Chapter of the FCA Collective Investment Schemes sourcebook (COLL 15) and will be required to be named Long-term Asset Fund or LTAF.

Structure

The LTAF is essentially a regulatory platform. There is flexibility on the LTAF being constituted as an authorised contractual scheme (ACS), an authorised unit trust (AUT), investment company with variable capital (ICVC) or limited partnership (LP). The LTAF can also operate as property authorised investment fund (PAIF).

Given its AIF status, the LTAF will need a full-scope UK alternative investment fund manager (AIFM) and a depositary.

HM Treasury considers it likely that each structure will adopt the current tax rules for authorised investment funds, and recognises that its current review of the VAT treatment of fund management expenses may be relevant to LTAFs.

Investors

Professional investors,high-net-worth(eligible to commit in a non-mainstream pooled investment (NMPI))and other investors. The investorsimportantly includes DC pension schemes. The FCA plans to consult in the first half of 2022 on permitting a broader range of retail investors.

Manager

LTAF authorised fund managers will need to comply with rules in COLL 15 and other relevant sourcebooks, and (as indicated above) only a manager with a full-scope AIFM status can operate an LTAF.

The FCA comments that, as LTAFs might invest in assets that are complex and risky, managers of LTAFs will need to have appropriate resources as well as good systems and controls. In addition, managers must comply with additional governance and oversight rules, given the types of risk to which the LTAFs might be exposed.

The manager will need to assess how it has managed the LTAF in the best interests of the fund, its investors and the integrity of the market. The assessment must consider how the assets of the fund have been valued, due diligence has been conducted in line with good practice, and the manager has managed liquidity and conflicts of interest.

Underlying investments

LTAFs will have wide investment flexibility, and be permitted to invest in a range of long-term illiquid assets, with few restrictions on eligible investments. The investments could have diverse risk characteristics and return profiles.

LTAF managers must undertake due diligence on investments in line with good practice and disclose in the fund’s prospectus how they carry out due diligence.

Investment strategy

LTAFs must invest mainly in assets that are long-term and illiquid in nature, or in other collective investment schemes (CIS) which invest in such assets. The FCA expects at least 50% of the value of an LTAF’s underlying investments to be unlisted securities and other long-term assets or other CIS investing in such assets.

In the context of LTAFs looking for diversified returns from real estate, infrastructure and private debt and other illiquid assets, I suggest the LTAFs will be attracted to invest via CISs. The FCA signals that, with a fund intending to make “investments that are only suited to a closed-ended vehicle”, the FCA would not expect the manager to seek authorisation of that fund as an LTAF. I hope the government will legislate soon for the Professional Investor Fund (PIF) unauthorised contractual scheme, which operates as a closed-ended vehicle. The PIF proposal addresses a gap in the current UK real estate fund offering (albeit the PIF is unconstrained in terms of eligible asset classes and investment strategies), and the LTAF would be entitled to invest in PIFs. In the 27 October 2021 Autumn Budget, HM Treasury indicated its intention during the coming months to consult on specific proposals for legislative reform – given responses to its call for input which considered the PIF and other fund proposals.

LTAF investment powers

LTAFs are required to have a prudent spread of risk. The manager should consider whether an LTAF’s exposures are sufficiently diversified, including exposures to underlying investments through structures such as holding companies or CIS. LTAFs may invest in other CISs in the context of obtaining efficient exposure to a diversified portfolio of private assets.

Borrowing

The maximum level of borrowing is 30% of net asset value. There are no specific limits on the aggregate borrowing of underlying investments.

Valuation

The manager remains responsible for valuations and impartiality, even if the manager uses valuation advisers. LTAFs must publish monthly valuations. If the depositary determines that the manager has the resources and procedures to carry asset valuation, the manager need not appoint an external valuer.

Redemptions and subscriptions

LTAFs will need mandatory notice periods of at least 90 days and cannot offer redemptions more frequently than monthly. These are minimum requirements and longer notice periods or less frequent dealing may be relevant for some LTAFs.

The FCA does not expect any LTAF to offer daily dealing.

Promotion/prospectus

A manager will need to disclose, and help investors and potential investors understand, how an LTAF will be managed, provide examples of performance fees, treatment of the LTAF as a NMPI and other important features.

In addition to meeting the ‘fair, clear and not misleading’ benchmark, there are FCA disclosure requirements on investment strategies, subscription and redemption terms and charging provisions.

Governance and reporting

The senior manager responsible under the FCA’s senior managers and certification (SMCR) regime will need to ensure that the manager operates an LTAF in the best interests of the fund, its investors and the integrity of the market, that an annual assessment of value is carried out, and that there are enough independent directors on the board. In addition, the manager must appoint a SMCR approved person to assess, and publicly report on, the valuation of investments, due diligence, conflicts of interest and liquidity management.

The manager should produce an assessment of value as part of the LTAF annual report. The FCA will require an LTAF to report quarterly to its investors on the investments in the portfolio, transactions during the period and any significant developments in the investments (which is in addition to the half-yearly and annual reports required for authorised funds). It is anticipated that the proposed Sustainability Disclosure Requirements (SDR) will apply to LTAFs.

I am a financial expert with a deep understanding of regulatory frameworks, investment structures, and fund management. My expertise is grounded in practical experience and a comprehensive knowledge of the financial industry. Now, let's delve into the concepts mentioned in the article regarding the Long-term Asset Fund (LTAF).

Regulatory Status: The LTAF operates as an authorised open-ended fund and an alternative investment fund (AIF) for UK AIFMD purposes. It falls within a new Chapter of the FCA Collective Investment Schemes sourcebook (COLL 15) and must be named Long-term Asset Fund. The flexibility in its constitution includes options like authorised contractual scheme (ACS), authorised unit trust (AUT), investment company with variable capital (ICVC), limited partnership (LP), or property authorised investment fund (PAIF).

Investors: The LTAF is open to professional investors, high-net-worth individuals (eligible to commit in a non-mainstream pooled investment), and other investors. Notably, it includes DC pension schemes. The FCA plans to consult on permitting a broader range of retail investors in the first half of 2022.

Manager: LTAF authorized fund managers must comply with rules in COLL 15 and other relevant sourcebooks. Only a manager with full-scope AIFM status can operate an LTAF. Due to potential complex and risky investments, managers must have adequate resources, good systems and controls, and comply with additional governance and oversight rules.

Underlying Investments: LTAFs have wide investment flexibility, allowed to invest in a range of long-term illiquid assets with few restrictions on eligible investments. Due diligence on investments is required, and the fund's prospectus must disclose how due diligence is conducted.

Investment Strategy: LTAFs must mainly invest in long-term and illiquid assets or other collective investment schemes (CIS) investing in such assets. At least 50% of the value of LTAF's underlying investments should be unlisted securities and other long-term assets.

LTAF Investment Powers: LTAFs must have a prudent spread of risk, considering diversification through structures like holding companies or CIS. The maximum level of borrowing is set at 30% of net asset value.

Valuation: Managers are responsible for valuations, and LTAFs must publish monthly valuations. The depositary may determine if the manager can carry out asset valuation without appointing an external valuer.

Redemptions and Subscriptions: LTAFs require a mandatory notice period of at least 90 days and cannot offer redemptions more frequently than monthly. Daily dealing is not expected.

Promotion/Prospectus: Managers must disclose and help investors understand how an LTAF will be managed, including examples of performance fees and treatment as a non-mainstream pooled investment (NMPI). Meeting the 'fair, clear, and not misleading' benchmark is essential.

Governance and Reporting: Senior managers under the FCA's senior managers and certification (SMCR) regime ensure that LTAFs operate in the best interests of the fund. Annual assessments of value, independent directors on the board, and quarterly reports to investors on portfolio investments are required. Proposed Sustainability Disclosure Requirements (SDR) are anticipated to apply to LTAFs.

This comprehensive overview should provide a clear understanding of the key concepts related to LTAFs as outlined in the article.

Regulatory briefing: What would launching a long-term asset fund entail? [updated] (2024)
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