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The Australian Securities & Investments Commission (ASIC) is proposing to:
ASIC is consulting on the repeal of two ASIC instruments which currently provide conditional relief to FFSPs providing financial services to wholesale clients in Australia and which are due to expire (or ‘sunset’) in September 2018.
Today, ASIC has released Consultation Paper 301: Foreign financial services providers (CP 301) proposing to repeal:
(together, the FFSP Relief); and
The ‘passporting relief’ provides relief to FFSPs who are regulated to provide financial services in certain foreign countries, to 'passport' their existing overseas licence or permission, in order to provide the same financial services in Australia to wholesale clients, subject to certain conditions.
The 'passporting relief’ was previously offered under eight Class Orders (CO 03/1099, CO 03/1100, CO 03/1101, CO 03/1102, CO 03/1103, CO 04/829, CO 04/1313 and CO 16/1109) (Class Orders) before the relief under the Class Orders was extended to September 2018 under Instrument 2016/396. More information is provided in our article of September 2016.
In addition, the 'limited connection' exemption provides relief to FFSPs with a limited connection in Australia and which do not (through a physical presence in Australia) carry on a financial services business in Australia. This exemption is widely used and does not require any application or notification to ASIC.
The relief was previously provided in Class Order [CO 03/824], and was extended to September 2018 by Instrument 2017/182. More information is provided in our article of March 2017.
ASIC is proposing to extend the FFSP relief until 30 September 2019 and then repeal it (with a transitional period of 12 months, to 30 September 2020).
ASIC considers that the FFSP Relief 'no longer strikes the appropriate balance between cross-border investment facilitation, market integrity and investor protection envisaged' by ASIC when the FFSP Relief was introduced. ASIC's explanations for the proposed repeal include that:
ASIC is proposing to implement a modified Australian financial services licensing regime for certain FFSPs to apply for and maintain a modified AFSL (foreign AFSL). The foreign AFSL licensees will be:
ASIC considers that repealing the FFSP Relief and inviting FFSPs to apply for a foreign AFSL provides ASIC with a ‘fuller range of supervisory and enforcement tools to address misconduct by FFSPs’ as FFSPs holding a foreign AFSL would be subject to:
ASIC previously consulted on the FFSP Relief in 2016 in Consultation Paper 268 (CP 268) and summarised its findings following the consultation in Report 519.
Comments and submissions in response to CP 301 are due by 31 July 2018.
The contents of this publication are for reference purposes only and may not be current as at the date of accessing this publication. They do not constitute legal advice and should not be relied upon as such. Specific legal advice about your specific circumstances should always be sought separately before taking any action based on this publication.
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