200 likes | 358 Views
CRITICAL REGULATORY ISSUES FOR INTERNATIONAL FUND MANAGERS AND INVESTMENT ADVISERS SHARIAH COMPLIANT FUNDS AND SOVEREIGN WELATH FUNDS. Jonathan Lawrence Cary J. Meer Clifford J. Alexander 26 January 2009. Shariah Compliant Funds and Sovereign Wealth Funds. Shariah Compliant Funds
E N D
CRITICAL REGULATORY ISSUESFOR INTERNATIONAL FUND MANAGERS AND INVESTMENT ADVISERSSHARIAH COMPLIANT FUNDS AND SOVEREIGN WELATH FUNDS Jonathan Lawrence Cary J. Meer Clifford J. Alexander 26 January 2009
Shariah Compliant Funds and Sovereign Wealth Funds • Shariah Compliant Funds • Al Safi Platform • Sovereign Wealth Funds
Shariah • Divine law as revealed in the Quran and the words and acts of the Prophet Mohammed governing the practical aspects of a Muslim’s life • Shariah Supervisory Board or Committee (3 – 5 scholars) • Investors elect to have fewer rights
Obligations • Return based on actual fund earnings • Share loss and profit • Avoid uncertainty • Avoid speculation akin to gambling
Guaranteed fixed rate of return Earning money solely by passage of time Dealing with traditional banks on an interest basis or for fixed term returns Alcohol, illegal drugs, gambling, pork, adult entertainment, traditional insurance and reinsurance Weapons manufacturing and sales Lack of knowledge or excessive risk Prohibitions
Ijara/Leasing Fund Income Rent
Islamic Equity Funds • Stock selection • Industry Screen • Financial Screen • Non-compliant stocks: temporary, short-term or permanent? • Disclosure concerns
Al Safi Platform • May 2008 Cayman Islands mutual fund • Shariah compliant alternative investments • Multi-class unit trust with multiple sub-trusts • Specific investment objective and strict segregation between sub-trusts
Al Safi Platform • Shariah Adviser (Shariah Capital): advises on each sub-trust’s compliance with Shariah investment guidelines and provides reports • Shariah Supervisory Board: supervises the Trust and each sub-trust’s business, activities and investments
Al Safi Platform • Shariah compliant “short sale” of securities • “Arboon”: down payment; a non-refundable deposit equal to a percentage of securities’ fair market value • Closing date for payment of unpaid portion with right of acceleration
Al Safi Platform Barclays Capital: prime broker and structured product distributor Dubai Multi Commodities Centre Authority (DMCC) seeded $50m each to: Tocqueville Asset Management: Gold Lucas Capital Management: Energy/Oil and Gas Zweig-DiMenna Intl Managers: Natural Resources Black Rock: Global Resources and Mining
Sovereign Wealth Funds • Special purpose investment funds owned by the central government and created for macroeconomic purposes. • SWFs hold, manage, or administer assets to achieve financial objectives, and employ a set of investment strategies, which include investing in foreign financial assets
Sovereign Wealth Funds SWFs are commonly established out of: • balance of payments surpluses; • official foreign currency operations; • proceeds of privatisations; • fiscal surpluses; and/or • receipts resulting from commodity exports
SWFs - Key Elements • Ownership • Investments • Purposes and Objectives
Estimated Worth • SWFs: $3.3 trillion • Hedge funds: $1.9 trillion • Private equity firms: $1.16 trillion
UK Regulation of SWFs • One of the least restrictive regulatory regimes • November 2007: Walker Guidelines for Disclosure and Transparency in Private Equity? • Qatar Investment Authority vehicle Delta Two Limited in bid for Sainsbury’s
US Regulation of SWFs • US Office of Foreign Assets Controls • 2007 Foreign Investment and National Security Act (FINSA) • Review by Committee on Foreign Investment in the United States (CFIUS) • March 2008: US Treasury Principles for SWF Investment with Abu Dhabi and Singapore • April 2008: Withdrawal of proposed Californian ban on pension funds investing in PE firms backed by SWFs
International Regulation of SWFs • June 2008: OECD Declaration on SWFs and Recipient Country Policies • July 2008: European Parliament resolution • October 2008: IMF International Working Group of SWFs Generally Accepted Principles and Practices (GAPP) – the “Santiago Principles”
Issues for Contracting with SWFs • Authority to invest • Willingness to make representations and warranties • Willingness to waive sovereign immunity • Consent to jurisdiction in foreign courts • Regime change
CRITICAL REGULATORY ISSUESFOR INTERNATIONAL FUND MANAGERS AND INVESTMENT ADVISERSSHARIAH COMPLIANT FUNDS AND SOVEREIGN WELATH FUNDS Jonathan Lawrence Cary J. Meer Clifford J. Alexander 26 January 2009