The CSSF reminds all Luxembourg domiciled Alternative Investment Fund Managers (hereafter “AIFM”) and all non-EU AIFM which are marketing Alternative Investment Funds (hereafter “AIF”) under article 42 of the AIFMD to assess their reporting obligations as set out in article 3 (3)(d) of the AIFMD for registered AIFM and in article 24 (1), (2) and (4) AIFMD for authorised AIFM and non-EU AIFM.
In order to fulfil their reporting obligations towards the CSSF the AIFM have to consult - apart from the AIFMD ,which has been transposed into Luxembourg legislation by the Law of 12 July 2013 on alternative investment fund managers - , the following documents:
- Delegated Regulation 231/2013 of the European Commission, available via the CSSF website;
- ESMA’s...
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