{"id":15231,"date":"2024-03-12T10:22:25","date_gmt":"2024-03-12T10:22:25","guid":{"rendered":"https:\/\/iqeq.com\/?p=15231"},"modified":"2024-03-12T10:22:29","modified_gmt":"2024-03-12T10:22:29","slug":"fcas-interim-update-to-the-asset-management-and-alternatives-supervisory-strategy","status":"publish","type":"post","link":"https:\/\/iqeq.com\/insights\/fcas-interim-update-to-the-asset-management-and-alternatives-supervisory-strategy\/","title":{"rendered":"FCA\u2019s interim update to the Asset Management and Alternatives Supervisory Strategy"},"content":{"rendered":"
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By Katrina Cockram, Principal Consultant <\/em><\/p>\n

The Financial Conduct Authority (FCA) recently wrote<\/a> an update to the Asset Management and Alternative sector, outlining areas of regulatory focus for firms.<\/strong><\/p>\n

The letter is an update to sectoral portfolio letters issued previously by the FCA in August 2022<\/a> and February 2023<\/a>, detailing thematic regulatory focus areas the FCA expects various financial services sectors to focus on in the year ahead. Here, we summarise the update.<\/p>\n

Thematic overview<\/h2>\n

A key consideration in the letter was the effectiveness of firms\u2019 governance arrangements. The FCA expects firms to allocate senior accountability for the risks listed below:<\/p>\n