On 20 December 2021, the Central Bank of Ireland ("Central Bank") issued the 44th edition of its AIFMD Q&A1 and the 36th edition of its UCITS Q&A2 (together the "Q&As").

Among the updates included in the AIFMD Q&A is a new Q&A on the use of non-discretionary investment advisors.  This clarifies the Central Bank's expectations on arrangements for a Qualifying Investor AIF ("QIAIF") involving a non-discretionary investor advisor ("Advisor"), where the Advisor receives a higher proportion of fees than other service providers to the QIAIF.

This is of particular interest to any firm managing (or considering the establishment) of a QIAIF with a private equity strategy or otherwise investing in physical assets which do not qualify as financial instruments, and which will rely on the services of Advisors. 

The Q&As also detail the Central Bank's expectations on compliance with ESMA's guidelines3 on performance fees in UCITS and certain alternative investment funds ("ESMA Guidelines"). 

Expectations on Advisors

Delegation to an Advisor is permitted provided that the following prospectus disclosures and appropriate processes and procedures for oversight of delegated activities are in place:

  • Identification of the Advisor and Services:  The Advisor's identity and the services provided should be comprehensively disclosed in the QIAIF prospectus.  These services may include the identification and origination of investment proposals, due diligence and other operational activities relating to the assets or proposed investments of the QIAIF.
  • Fees:  The Central Bank acknowledges that an Advisor's fees may be disproportionality greater than those paid to other service providers.  The methodology for accrual and payment of such fees must be disclosed in the prospectus.  Where such fees are payable directly from the QIAIF's assets, the maximum fee and the potential to pay out-of-pocket expenses on normal commercial terms of each such service provider must be disclosed.  Where a single figure is disclosed covering all fees payable out of the QIAIF's assets, the prospectus must, where relevant, disclose that the Advisor will receive a fee greater than that typically paid to a non-discretionary investment advisor.  In order to provide context for this fee, this disclosure should cross-reference details of the services the Advisor is providing to the QIAIF. 
  • Oversight:  The role of the alternative investment fund manager with respect to its ongoing oversight and review of Advisor services must be detailed in the QIAIF prospectus, including the discharge of functions under AIFMD Level 2 general principles on delegation.

Performance Fee Clarifications

The new Q&As also update the ESMA Guidelines, confirming that where there has been a global underperformance of a fund which reflects the performance of different delegated portfolio managers, performance fees should not be paid to the underperforming portfolio managers.

Welcome Clarity

The clarification on the use of Advisors is a very positive development and should facilitate the growth of Ireland as a domicile for private markets / closed-ended funds, particularly when considered in combination with the recently upgraded Irish investment limited partnership ("ILP") regime.  For further information on the ILP, see: The Irish Investment Limited Partnership - A Guide for Asset Managers4.

While the Central Bank has reserved the right to carry out additional supervisory initiatives and request information to demonstrate that a service is truly advisory in nature, QIAIFs using sub-advisors which fall within the foregoing parameters may now proceed without filing a Central Bank pre-submission application.

Footnotes

1 https://www.centralbank.ie/docs/defaultsource/regulation/industry-marketsectors/funds/aifs/guidance/qa/aifmd-qa-44th-edition.pdf

2 https://www.centralbank.ie/docs/defaultsource/regulation/industry-marketsectors/funds/ucits/guidance/ucits-qa-36th-edition.pdf

3 https://www.esma.europa.eu/sites/default/files/library/esma34-39-992_guidelines_on_performance_fees_en.pdf

4 https://maples.com/-/media/files/pdfs/articles-andchapters/the-irish-investment-limited-partnership--a-guide-forasset-managers-may-2021.pdf

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.