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Fund Managers/Operators of Registered Schemes

 
Appropriate AFSL for fund managers and operators of registered schemes?

Appropriate AFSL for fund managers and operators of registered schemes?
All retail fund managers must obtain an AFSL with an authorisation to operate a registered scheme, together with authorisations to provide advice, and deal in the relevant products, for retail and/or wholesale clients.


What is the process for applying for an AFSL – authorisation in operating a registered scheme?

1. Lodgement of the electronic application on-line with ASIC (hard copy and proofs to be lodged within 20 days of finalising on-line application);

2. Establishment of (or conversion to) a public company;

3. Nomination of appropriately experienced and skilled Responsible Officers;

4. Lodgement of the following proofs (together with supporting documentation) with the initial application:

  • A5 Business Description
  • People proof for each nominated Responsible Officer (this comprises the 2 business references, police check, insolvency check and the Statement of Personal Information)
  • B1 Organisational Expertise Table
  • B5 Financial Resources (together with financial statements)

5. Lodgement of some or all of the following statements (‘proofs’) within 10 business days of a specific request by ASIC, together with supporting documentation (evidence, policies & procedure manual, certain disclosure documentation etc):

  • B2 Development Program for Responsible Officers
  • B2 Industry Standards Compliance
  • B3 Compliance Arrangements
  • B3 Outsourcing Statement
  • B3 Conflicts of Interest Arrangements
  • B4 Program for monitoring, supervision and training of Representatives
  • B5 Human Resources Capacity Statement
  • B5 Information Technology Capacity Statement
  • B6 Dispute Resolution System Statement
  • B7 Risk Management System Statement
  • B8 Compensation Capacity Statement
  • B9 Research Statement
  • C1 Operate a custodial or deposit service
  • C1 IDPS Statement
  • C1 Funds under management/custody Statement
  • C1 Product/Service distribution Statement
  • C2 Scheme operating capacity Statement
  • C2 Scheme Property Statement
  • C2 Funds under management details
  • C2 Product Distribution Channel Report
  • C4 Derivatives Statement
  • C5 Foreign Exchange Operating Statement

6. Preparation of requisite documentation, including:

  • Constitution for each scheme (to be lodged with ASIC);
  • Product Disclosure Statement for each scheme (to be lodged with ASIC);
  • Financial Services Guide; and
  • Compliance Plan for each scheme (to be lodged with ASIC).

7. Establishment of Compliance Committee (including formal charter); and

8. Appointment of suitable external custodian.


What can Block Legal & Compliance do for Operators of registered schemes?

1. advise you regarding ASIC requirements and the appropriate authorisations to obtain;

2. project manage or review your AFSL Application or Variation;

3. draft policies and procedures (including comprehensive Compliance Manual) and/or application proofs;

4. liaise with ASIC to finalise your AFSL application or variation;

5. provide training and workshops to staff and Boards regarding the process and applicable legal/regulatory requirements;

6. provide specialised assistance in key areas such as drafting of Risk Management Statements, disclosure documentation, legal documentation etc;

7. review and advice regarding marketing materials and website disclosure;

8. provide implementation advice and guidance once AFSL is obtained; and

9. provide ongoing compliance oversight and reviews, and training, once AFSL has been granted/varied.

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