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Equity Issues 24.04.17 - FCA Mission 2017

Published: 24 Apr 2017

Welcome to EQUITY ISSUES, a short note on a relevant issue in the private equity and venture capital industry.

If you would like to discuss any of the points we raise below, please contact me or one of our other lawyers. 

Claire Cummings

020 7585 1406

claire.cummings@cummingslaw.com

www.cummingslaw.com

________________________________________

EQUITY ISSUES

FCA Mission 2017

The FCA has published its 2017 mission statement entitled ‘Our Mission 2017; How we regulate Financial Services’ (the “Mission”). The purpose of the Mission is to give firms and consumers greater clarity as to how the FCA prioritises its interventions in financial markets and sets out a framework for the way in which the FCA takes strategic decisions, the reasoning behind such decisions and the tools which the FCA employs to take the decisions.

Background

The Mission builds on the consultation launched by the FCA in October 2016 on its future mission and the feedback received to the consultation. In the consultation, the FCA sought views on:

1. whether there is a need for a more specific Handbook review to clarify the rules;

2. its plans to review the use of private warnings on the basis of its desire to be more transparent; and

3. its use of data science to see how it can more effectively sift through the large amounts of data that it receives to identify firms with a greater risk of regulatory breach which can then be used for targeted monitoring of firms. The FCA’s next focus in this area is financial crime and on detecting insider trading and market manipulation.

The consultation closed on 26 January 2017 and the Mission builds on the FCA’s analysis of this consultation.

The Mission

According to Andrew Bailey, Chief Executive of the FCA, much of what the Mission describes is current practice within the FCA, although other aspects will be given greater emphasis and focus in the future.  In its Feedback Statement accompanying the Mission, the FCA notes that it has received, among other things:

1. feedback that it can be difficult to navigate and interpret the FCA Handbook and that this creates uncertainty. The FCA is committed to reviewing the Handbook to make its requirements clearer. This review will take place once the Handbook has been adjusted to reflect the UK’s exit from the EU; and

2. mixed views about the use of private warnings. Some respondents were in support of their continued use; others expressed caution or proposed improvements, including clearer communication and the publication of anonymised examples. The FCA has considered this feedback carefully in light of its commitment to exercise its functions as transparently as possible. It intends to consult on this subject, as part of a review of the Enforcement Guide and the Decisions Procedure and Penalties manual.

The FCA’s Business Plan 2017/18 and Sector Views

The FCA has also published its annual Business Plan, which gives details of the specific areas of work which the FCA has prioritised for the period ahead in all the sectors it regulates. The Business Plan sets out the FCA’s view and strategy for each, as well as highlighting the cross-sector issues which the FCA has identified.

It has also published its Sector Views, which describe the Sectors the FCA regulates, its priorities and the major issues and developments it sees within those sectors. This is the first time that the previously private Sector Views have been published. In relation to equity and debt markets, the FCA notes again that improvements need to be made in certain areas, including the IPO share allocation process and availability of information during the IPO process.

Next Steps

The FCA states that it will follow the Mission with more detailed explanations as to how it carries out its main activities – authorising and supervising firms, taking enforcement action, encouraging competition and influencing market design – and how the Mission affects those activities.

This document is for general guidance only. It does not contain definitive advice.

Cummings

Tel: + 44 20 7585 1406

Mob: + 44 7734 057 327

www.cummingslaw.com

24 April 2017

Firm: Addleshaw Goddard
Country:

Practice Area: Trade & Customs

  • 42 Brook Street
    London
    W1K 5DB





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