AIFs that are newly caught by the extended FC classification will be required to comply with a number of additional obligations under EMIR. This includes the clearing obligation (unless they are considered a “small FC”), margin requirements for uncleared OTC derivatives, trade reporting (as amended by the EMIR  REFIT) and changes to the obligations under certain of the other risk mitigation requirements based on EMIR  classification.
	Subject to the exclusions in respect of AIFs set up exclusively for the purposes of serving one or more employee share purchase plans or AIFs that are SSPEs, non-EU AIFs that are managed by an AIFM authorised or registered under the AIFMD will remain directly caught by EMIR  as FCs and therefore directly subject to the relevant obligations under EMIR.
	With the changes to the FC definition in relation to AIFs in mind, fund managers should reassess any AIFs that they manage in order to verify their categorisation under the new EMIR  REFIT Regulation and be ready, where applicable, to immediately notify ESMA  of their FC or “small FC” categorisation on the day the EMIR  REFIT Regulation enters into force. It is also likely that counterparties to AIFs will be revisiting counterparty status representations from those AIFs to ensure that they remain accurate after the EMIR  REFIT takes effect.
	Where a change in counterparty classification of their AIF counterparty(ies) is likely, entities that are subject to EMIR  should consider the possible new compliance obligations with respect to the AIF(s) and to establish a line of communication with their AIF counterparty(ies) as necessary. Entities should also consider consulting with their legal advisors, as required.
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