Hogan Lovells 2024 Election Impact and Congressional Outlook Report
On 10 January 2024, Regulation (EU) 2023/606 amending Regulation (EU) 2015/760 as regards the requirements pertaining to the investment policies and operating conditions of European long-term investment funds and the scope of eligible investment assets, the portfolio composition and diversification requirements and the borrowing of cash and other fund rules (Revised ELTIF Regulation) entered into force, marking a significant milestone in the European investment landscape.
One of the key implications of this regulation is the expansion of opportunities for German asset management companies. With the Revised ELTIF Regulation now in force, German asset management companies are empowered to incorporate ELTIF products into their range of offerings. This development opens up new avenues for investors, allowing them access to a broader spectrum of investment options.
Regulation (EU) 2015/760 on European long-term investment funds (ELTIF Regulation) first came into force on 9 December 2015. Its main objective was to foster long-term investments and strengthen the European capital market by channelling non-bank capital towards European long-term projects to the benefit of the European economy. Initially, the ELTIF Regulation was designed to streamline the process of raising capital, in particular with regard to specific types of alternative investment such as unlisted companies, debt instruments for which a buyer cannot be easily identified, real assets that require significant initial investment as well as small and medium sized enterprises (SMEs) with capitalisations of up to EUR 500 million that have been admitted to trade on a regulated market. ELTIFs were conceived as a financial instrument to address the lack of late-stage venture capital financing.
In general, the ELTIF Regulation supplemented the provisions set out in Directive 2011/61/EU on Alternative Investment Funds Managers (AIFMD) and therefore provided separate, harmonised regulation for a specific category of alternative investment funds offered to both professional and retail investors. Compared to AIF structures, the ELTIF regime provides certain advantages. In particular, it is a fully harmonised European label for financial products, which allows for EU-wide passport-based marketing to both professional and retail investors. In comparison, AIFs under the AIFMD can only be passported to professional investors and marketing to retail investors is subject to national rules.
Despite the ambitious legislative goals, the commercial success of the ELTIF Regulation has remained rather limited, especially in Germany. According to an Impact Assessment Report (SWD(2021) 342 final) accompanying the proposal for a revised ELTIF Regulation, published by the European Commission on 25 November 2021, only a relatively small number of ELTIFs had been launched by the end of 2021, namely a total of 57 ELTIFs in just four jurisdictions (Luxembourg, Italy, France and Spain) – none in Germany – amounting to only around EUR 2.4 billion in 2021. As of June 2023 the number of authorised ELTIFs had increased to 89. However, the Commission’s originally anticipated success did not materialise.
As part of the Impact Assessment Report, the Commission identified that the attractiveness of ELTIFs could be significantly improved by readjusting the restrictions for fund managers and reducing the obstacles to entry for small investors. In particular, the “one size fits all” approach, whereby the ELTIF Regulation applies the same fund rules to both professional and retail investors, including restrictions on leverage, diversification and portfolio composition requirements, concentration rules and limits on eligible assets and investments, has affected the attractiveness of ELTIF vehicles. The Impact Assessment Report outlined that – among other factors – overly restrictive fund rules, limitations on the scope of eligible assets and investments, regulatory barriers and diverging or difficult to understand national requirements and practices are among the factors limiting the uptake of ELTIFs.
In light of this, the European Commission aimed to address the ELTIF Regulation’s lack of commercial success by revising its content.
The revision of the ELTIF Regulation resulted in the following key enhancements:
On 1 February 2024, the Federal Financial Supervisory Authority (Bundesanstalt für Finanzdienstleistungsaufsicht – BaFin’s ) published FAQs on the Revised ELTIF Regulation to provide clarity on BaFin's regulatory approach. This publication emphasizes the regulation’s significance within the German fund and investment industry. Here are some key points worth noting:
On 23 May 2023, ESMA published a consultation paper on proposed draft RTS under the Revised ELTIF Regulation. The final report was published on 19 December 2023 and sets out the draft RTS which cover the following:
ESMA has submitted the draft RTS to the European Commission for adoption and is now awaiting final approval.
With the Revised ELTIF Regulation, the European legislator has addressed previous criticism and provided the foundation for a more flexible set of rules. For Germany in particular, this offers significant potential. The regulation can be viewed as generally favourable, especially when compared to competing fund types such as the RAIF in Luxembourg. Additionally, retail investors are now – for the first time – being offered a harmonised set of rules across Europe, fundamentally enabling a more flexible range of options than the fund categories of the KAGB. Particularly in light of the “European Passport”, the ELTIF is an attractive new option if the intention is to market the product throughout Europe.
So far, the amendment has been met with a largely positive response in the market. However, it remains to be seen to what extent it will achieve the desired increase in uptake of the ELTIF in the European domestic market.
Authored by Dr. Sarah Wrage and Stefanie Franz.