Page 25 - 期货和衍生品行业监管动态(2023年1月)
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期货和衍生品行业监管动态




                        In March 2022 we published a statement which provided an update on the
                   ‘market share test’ as set out under Article 2 of UK MiFID RTS 20 relating to the

                   ancillary activities exemption from authorisation as a MiFID investment firm for

                   firms trading commodity derivatives, emission allowances and emission allowance

                   derivatives.


                        We said that firms do not need to perform the market share test as part of

                   determining their eligibility to use the ancillary activities exemption for 2022-2023.


                        In Handbook Notice No 99, we also said that a firm could use figures relating to

                   2018, 2019 and 2020 as their numerator for the purposes of its remaining main

                   business test calculations. We also said that firms could use corresponding figures

                   relating to 2019, 2020 and 2021. For the avoidance of doubt, provided data from

                   2018-2020 were used, the data period was the same for both the numerator and
                   denominator.


                        If it could meet the main business test, a firm could continue to rely on the

                   ancillary exemption in 2022, provided it met the other conditions of the exemption as

                   set out in PERG 13 Q44.


                        The Treasury has proposed a Statutory Instrument that will make changes to the

                   ancillary activities test removing the current quantitative aspects of the test. These

                   changes will not take effect until the end of this year.


                        Therefore, we will continue to apply the approach described in Handbook Notice

                   No 99 enabling firms to continue using the ancillary activities exemption for the year

                   ahead (2023-2024) where they were able to rely on the exemption for 2022-2023

                   based on trading relating to the last previous published information (2018 to 2020)

                   and maintain the additional flexibility enabling firms alternatively to have regard to
                   their daily trading activity of the previous 3 years (2020-2022) for the purposes of


                   continuing to rely on the ancillary exemption.

                   https://www.fca.org.uk/news/statements/further-update-ancillary-activities-exemption

                   -commodity-derivatives


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