ARTICLE
19 January 2024

Responsibility Of UCITS Management Companies And AIFMS For Producing PRIIPs Key Information Documents Confirmed

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K&L Gates

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Under the EU PRIIPs Regulation "manufacturers" are required to prepare a key information document (KID) where relevant packaged retail investment products...
European Union Strategy
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Under the EU PRIIPs Regulation "manufacturers" are required to prepare a key information document (KID) where relevant packaged retail investment products (including most funds) are made available to retail investors.

The European Supervisory Agencies have now confirmed in updated Q&As (see Consolidated questions and answers (Q&A) on the PRIIPs Key Information Document (KID) dated 18 December 2023) that for UCITS and AIFs, the PRIIP manufacturer can only be the management company or the alternative investment fund manager (AIFM) of the fund, even where the fund delegates functions to third parties.

Much of the asset management industry had already understood the AIFM or UCITS management company to be the PRIIP manufacturer on the basis of recitals in the PRIIPs Regulation, the provisions of the PRIIPs Delegated Regulation and existing ESMA Q&As on the KIDs. Nonetheless, the clarification is very welcome as a significant number of KIDs continued to be prepared with reference to certain other entities such as promoters, sponsors and investment managers as the PRIIP manufacturers. Relevant KIDs will now need to be updated accordingly.

The noted clarification appears in the Q&As under the heading "Investment funds". Other new Q&As appear under the headings "General topics", "Market risk assessment – Product categories", "Performance Scenarios" and "Multi-option products (MOPs)".

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

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