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For broker-dealers using the Alternative Method, such as all the CSE Brokers, there was an "early warning" requirement if their "aggregate debit items" became more than 20 times the amount of their net capital (i.e., if net capital did not at least equal 5% of aggregate debit items).
The report included nine recommendations, one of which was that "Delivery versus payment (DvP) should be the method for settling all securities transactions with systems in place by 1992." In December 1990, the Committee on Payment and Settlement Systems (CPSS), consisting of representatives from the major central banks, initiated further study ...
Examples include legal requirements, where the moneys can only be lawfully used for a specific purpose, or a restriction imposed by the donor or provider. These donor/provider restrictions are usually communicated in writing and may be found in the terms of an agreement, government grant, will or gift.
At a spill meeting all directors current at the time the remuneration report was considered are required to stand for re-election. [61] Independent non-executive director setting of compensation is widely practised. [62] An independent remuneration committee is an attempt to have pay packages set at arms' length from the directors who are ...
Nasdaq's rules say that an independent director must not be an officer or employee of the company or its subsidiaries or any other individual having a relationship that, in the opinion of the company's board of directors, would interfere with the exercise of independent judgment in carrying out the responsibilities of a director. [4]
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The reporting requirements of Directive 2011/61/EU apply to all AIFMs who manage or market alternative funds within the EU. [26] To fulfill the reporting requirements, AIFMs must file an Annex IV report within 30 days of the end of the applicable reporting period, which is determined by the amount of an AIFM's assets under management.
• being paid for directly by the end user (i.e., the investor) rather than by the alternative investment fund or its manager (due to the conflict of interest created if the fund or its manager is the “client”) or bundled as part of a wider service (for example as is the case with a fund of funds).