Pursuant to Decree no. 2014-485 dated May 14, 2014, conditions
for cross-border marketing of Alternative Investment Funds
("AIFs") is clarified, whether on the basis of the
passport or not (in the latter case pursuant to Article 42 of the
Alternative Investment Fund Managers Directive).
In a number of instances, the marketing of AIFs was subject to the AIFM complying with rules applicable to French asset managers, whether arising from the AIFMD or French law. This criterion was extremely broad and has been narrowed to compliance with the provisions set out in the AIFMD only.
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.