Transforming Cross-Border Fund Distribution in 2026
Regulatory updates from Europe, the UK, Switzerland, and the UAE are set to impact the cross-border fund distribution landscape significantly in 2026.
A recent analysis by Zeidler Group delves into upcoming regulatory and pricing changes across Europe, the UK, Switzerland, and the UAE. These changes are expected to reshape how investment managers operate in these regions.
Investment managers are bracing for a regulatory environment that, while more structured, also includes increased compliance costs. This includes revised supervisory frameworks, mutual recognition agreements, and enhanced fees that demand careful navigation.
UAE’s Capital Markets Authority Restructure
In the UAE, a significant overhaul has occurred with the renaming of the Securities and Commodities Authority to the Capital Markets Authority (CMA), effective January 1, 2026. This transition is accompanied by two federal executive orders that outline the powers and responsibilities of the CMA and govern capital markets broadly.
The new framework introduces stricter regulations on the marketing of foreign funds to UAE investors, necessitating domestic regulatory approval regardless of the marketing’s physical location. This move enhances prudential oversight and regulatory clarity, promising a better-protected investment landscape.
Mutual Recognition in the UK and Switzerland
The UK and Switzerland have adopted a more facilitative approach with the introduction of the Berne Financial Services Agreement (BFSA), effective January 1, 2026. This mutual recognition regime allows licensed firms from each country to offer specific investment services to wholesale and sophisticated clients on a cross-border basis without needing full authorization from the host country.
Eligible firms must hold licenses in their home country and register in the BFSA. UK regulators, including the Prudential Regulation Authority and the Financial Conduct Authority, have released guidance, while Switzerland’s FINMA has provided specific clarifications to help firms navigate the new framework.
New Guidelines in Iceland
Iceland is also witnessing changes with updated guidance on the PRIIPs key information documents (KIDs). These updates provide limited flexibility regarding language requirements. Under specific conditions, a KID in English may be used, provided distributors ensure that investors fully understand the product’s features and risks, alongside adhering to other regulatory obligations.
However, if products are marketed in Iceland or in Icelandic, a corresponding KID in the Icelandic language is mandatory, ensuring that local investors are adequately informed.
Staying Informed on Global Changes
For those looking to navigate the evolving landscape of cross-border fund distribution, keeping updated with regulatory changes is crucial. Discover more about these impactful changes globally by reading the complete analysis here.
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