Consultation opens
20/07/2021
Consultation closes
30/09/2021
Policy Statement
25/03/2022
25/03/2022
We are setting out our final policy position on the Packaged Retail and Insurance-based Investment Products (PRIIPs) Regulation to address the areas of the Regulation that pose the most harm to consumers.
We are changing the PRIIPS regulation after analysing the feedback we received to our consultation CP21/23[2]. We are:
o replace the requirements and methodologies for presentation of performance scenarios in the KID with a requirement for narrative information on performance to be provided
o address the potential for some PRIIPs to be assigned an inappropriately low summary risk indicator in the KID
o address concerns about certain applications of the ‘slippage’ methodology when calculating transaction costs
This will directly affect all those manufacturing, selling, or advising on a PRIIP, including but not limited to:
This PS will be of interest to consumers, consumer organisations and trade bodies.
In July 2021, we consulted (in CP21/23[2]) on proposals to address the most serious and persistent concerns identified through our Call for Input and ongoing monitoring of the onshored PRIIPs regulation.
We proposed targeted amendments to the disclosure requirements in our Handbook rules and Guidance, and the RTS.
The Handbook rules and RTS will come into force on 25 March 2022, with a transition period which will end on 31 December 2022, by which date firms must apply the new requirements.
For information regarding our next steps for the PRIIPs Regulation, please see our Regulatory Initiatives Grid[3].
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