The Reserved Alternative Investment Fund (RAIF) - The best of two worlds?



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The Reserved Alternative Investment Fund (RAIF) - The best of two worlds?

What is a RAIF? a Luxembourg alternative investment fund ( AIF ) managed by an external authorised Alternative Investment Fund Manager ( AIFM ) subject to AIFMD requirements but not itself subject to CSSF (product) supervision RAIF December 2015 1

Why should I use a RAIF? A SIF without CSSF supervision Quick time to market Only indirectly supervised by its AIFM An additional vehicle in the Luxembourg toolbox High flexibility Benefit from investment funds features other unregulated AIFs don t have, e.g. multiple compartments, tax treatment, variable capital RAIF December 2015 2

Why still use a SIF/SICAR? Investor comfort / investor requirements CSSF supervision and control SIF label Recognition in other countries Other RAIF December 2015 3

How does a RAIF fit into the Luxembourg toolbox? Supervision UCITS III eligible assets traditional assets + certain alternative asset classes venture capital/ private equity UCITS Part I UCI Part II SIF all asset classes SICAR most asset classes (with restrictions) all asset classes * securitisation vehicle sec* sec* LP LP RAIF Structuring Flexibility RAIF December 2015 4

Key features. RAIF December 2015 5

Key features. RAIF SIF-AIF SICAR-AIF Which legal forms may be adopted? > contractual form: common fund (fonds commun de placement FCP) > partnerships: common limited partnership (société en commandite simple SCS or CLP); special limited partnership (société en commandite spéciale SCSp or SLP); partnership limited by shares (société en commandite par actions SCA) > corporate entities: public limited company (société anonyme SA), private limited company (société à responsabilité limitée - S.à r.l.), cooperative organised as a public limited company (société coopérative organisée comme une SA SCOSA) > contractual form: NA > partnerships: common limited partnership (société en commandite simple SCS or CLP); special limited partnership (société en commandite spéciale SCSp or SLP), partnership limited by shares (société en commandite par actions SCA) > corporate entities: public limited company (société anonyme SA), private limited company (société à responsabilité limitée - S.à r.l.), cooperative organised as a public limited company (société coopérative organisée comme une SA SCOSA) RAIF December 2015 6

Key features. RAIF SIF-AIF SICAR-AIF Umbrella form available? YES What management structure may be adopted? Management bodies: Board of directors, manager(s) or general partner dependent on corporate form No nationality/residency requirement for directors Promoter/Investment advisor: NA Promoter/Investment advisor: No formal approval by the CSSF of the initiator/promoter but often informal inquiry about initiator RAIF December 2015 7

Key features. RAIF SIF-AIF SICAR-AIF What types of securities may be issued? Depending on the legal form which has been chosen (shares, units, interests) Redemption: Redemptions only if and as provided in the management regulations/articles of incorporation (at investor and/or company request) Capital calls / Distributions: Capital calls from and distributions to investors are subject solely to the rules provided in the constitutive documents No limitation on issue price RAIF December 2015 8

Key features. RAIF SIF-AIF SICAR-AIF Permissible asset classes: No restriction on asset class* What investment policy may be adopted? Permissible asset classes: Investment in risk capital, by direct or indirect investment in undertakings to be launched, developed or listed Broad concept of risk capital Risk spreading: Risk diversification required No minimum spread but responsibility of management body Unless the RAIF restricts its investment policy in its constitutive documents to investments in risk capital: then no risk spreading required (like SICAR) Risk spreading: Risk diversification required In principle, no more than 30% of the assets or commitments to subscribe securities of the same type issued by the same issuer (Cf. CSSF Circular 07/309) Risk spreading: No risk diversification required RAIF December 2015 * Subject to potential adjustments in the future, e.g. for SIFs 9

Key features. RAIF SIF-AIF SICAR-AIF Who qualifies as an eligible investor? well-informed investors only: > institutional investors > professional investors > any other investors (i) which elect to be treated as well-informed investors and (ii) invest at least 125,000 or (iii) have a recommendation from a credit institution or any other professional of the financial sector or a management company Such conditions are not applicable to the management team RAIF December 2015 10

Key features. RAIF SIF-AIF SICAR-AIF What are the capital requirements? Corporate minimum requirements: Depending on the legal form which has been chosen Minimum net assets of 1.25 million after 12 months from launch Fixed/variable capital: May opt for variable share capital Form of contribution: Contribution in kind and/or in cash permissible Capital commitments may be contractually agreed RAIF December 2015 11

Governance requirements. RAIF December 2015 12

Governance requirements. RAIF SIF-AIF SICAR-AIF By which entities can RAIF/SIF/SICAR be managed? Management company required? Yes, for FCP only NA AIFM requirement: Yes external authorised AIFM required (except for supra national institutions*) Yes internal (where the legal form of the SIF/SICAR fund permits an internal management) or external authorised/registered AIFM (depending on the AuM it manages) Location of the AIFM: > In Luxembourg > In the EU > Outside the EU** *e.g. ECB, EIF, IMF ** subject to the application of article 66 of the AIFMD RAIF December 2015 13

Governance requirements. RAIF SIF-AIF SICAR-AIF What service providers are required? Depositary: Luxembourg depositary bank or Luxembourg branch of a depositary bank registered in the EU Luxembourg presence: Registered office and central administration in Luxembourg Auditor: Independent approved Luxembourg auditor What are the transparency requirements? Offering document: Yes Specific warning to investors regarding the absence of CSSF supervision Offering document: Yes Reports? Annual reports to investors (subject to AIFMD requirements) No report to CSSF Monthly reporting to CSSF Semi-annual reporting to CSSF* RAIF December 2015 * Monthly as from 30 June 2016, Cf. Circular 15/627 14

Supervision. RAIF December 2015 15

Supervision. RAIF SIF-AIF SICAR-AIF Is there any supervision? No CSSF supervision AIFM supervision Depositary supervision Auditor supervision Official List: Launch without regulatory approval process No registration on an official list held by the CSSF RAIF to be registered within 10 days as from its creation on a specific list held by the Register of Commerce* Mere AIFM notification to the CSSF (Circular 15/612), onward information to ESMA Publication in the Mémorial* Constitutional documents: Constitutional documents required (no CSSF approval) Notary deed: depending on the chosen corporate form The constitution of a RAIF shall be subject to a formal ex-post declaration before notary CSSF supervision AIFM supervision Depositary supervision Auditor supervision Official List: CSSF instruction and prior approval Registration on an official list held by the CSSF Constitutional documents: Approval of the constitutional documents (prospectus and articles/manregs) and service agreements by the CSSF Notary deed: depending on the chosen corporate form Changes to constitutional documents without regulatory approval Changes to constitutional documents subject to CSSF approval RAIF December 2015 16 * To be further detailed in a Grand Ducal Regulation

Tax regime. RAIF December 2015 17

Tax regime. RAIF SIF-AIF SICAR-AIF What is the level of taxation? Capital duty: Fixed capital duty of 75 upon incorporation and subsequent articles changes Corporate Tax: Not subject to corporate income tax (SIF tax regime) Exception: If investing only in risk capital, full liability to corporate income tax but exclusion from taxable profits of any income (dividends, capital gains, ) realised on securities or funds drawn for investment (within 12 months) (SICAR tax regime) Corporate Tax: Not subject to corporate income tax Corporate Tax: Save for SCS (tax transparent), full liability to corporate income tax Exclusion from taxable profits of any income (dividends, capital gains, ) realised on securities or funds drawn for investment (within 12 months) Subscription Tax: Subject to yearly subscription tax of 1bp on net asset value but 0 bp if investment in (i) another fund subject to subscription tax or (ii) in a money market or (iii) microfinance fund or (iv) pension fund pooling vehicle (SIF tax regime) Exception: If investing only in risk capital, no subscription tax (SICAR tax regime) Subscription Tax: Subject to yearly subscription tax of 1bp on net asset value but 0 bp if investment in (i) another fund subject to subscription tax or (ii) in a money market or (iii) microfinance fund or (iv) pension fund pooling vehicle Subscription tax: No RAIF December 2015 18

Tax regime. RAIF SIF-AIF SICAR-AIF What is the level of taxation? NWT: Not subject to NWT (SIF tax regime) Exception: If investing only in risk capital, NWT exempt save the flat minimum NWT liability (as from 1 January 2016 Draft Bill n 6891) (SICAR tax regime) DTT: If subject to SIF tax regime, in principle no double tax treaties elibility (subject to a few exceptions) If subject to SICAR tax regime, in principle double tax treaties eligibility NWT: Not subject to NWT VAT: VAT exemption on management services WHT: No withholding tax on distributions DTT: In principle no double tax treaties elibility (subject to a few exceptions) NWT: NWT exempt save the flat minimum NWT liability (as from 1 January 2016 Draft Bill n 6891) DTT: In principle double tax treaties eligibility RAIF December 2015 19

Your IMG Contacts. Freddy Brausch Managing Partner Tel: +352 2608 8239 freddy.brausch@linklaters.com Hermann Beythan Partner Tel: +352 2608 8372 hermann.beythan@linklaters.com Emmanuel-Frédéric Henrion Partner Tel: +352 2608 8279 ehenrion@linklaters.com Francine Keiser Of Counsel Tel: +352 2608 8372 francine.keiser@linklaters.com Josiane Schroeder Counsel Tel: +352 2608 8275 josiane.schroeder@linklaters.com Rodrigo Delcourt Counsel Tel: +352 2608 8293 rodrigo.delcourt@linklaters.com Silke Bernard-Alps Counsel Tel: +352 2608 8223 silke.bernard-alps@linklaters.com Emmanuel Avice Managing Associate Tel: +352 2608 8283 emmanuel.avice@linklaters.com Benoit Delzelle Managing Associate Tel: +352 2608 8372 benoit.delzelle@linklaters.com Christian Hertz Managing Associate Tel: +352 2608 8372 christian.hertz@linklaters.com Claire Prospert Managing Associate Tel: +352 2608 8339 claire.prospert@linklaters.com RAIF December 2015 20

Linklaters LLP 35 Avenue John F. Kennedy P.O. Box 1107 L-1011 Luxembourg Tel: +352 26 08 1 Fax: +352 26 08 88 88 www.linklaters.com Linklaters LLP is a limited liability partnership registered in England and Wales with registered number OC326345. It is a law firm authorised and regulated by the Solicitors Regulation Authority. The term partner in relation to Linklaters LLP is used to refer to a member of Linklaters LLP or an employee or consultant of Linklaters LLP or any of its affiliated firms or entities with equivalent standing and qualifications. A list of the names of the members of Linklaters LLP and of the non-members who are designated as partners and their professional qualifications is open to inspection at its registered office, One Silk Street, London EC2Y 8HQ, England or on www.linklaters.com. This document contains confidential and proprietary information. It is provided on condition that its contents are kept confidential and are not disclosed to any third party without the prior written consent of Linklaters. Please refer to www.linklaters.com/regulation for important information on our regulatory position. Disclaimer: This brochure is intending to provide an overview of the main features of a Reserved Alternative Investment Fund ( RAIF ) compared to a Specialised Investment Fund ( SIF ) and an Investment Company in Risk Capital ( SICAR ). It is not intended to be comprehensive nor does it constitute any legal advice.