Tag: NI 31-103

Independent Evaluation of OBSI

Professor Poonam Puri has been appointed by the board of The Ombudsman for Banking Services and Investments (OBSI) to undertake an independent evaluation of OBSI’s operations. As the evaluation includes input from stakeholders, two requests for comment have been...

Bulletin | Halloween Edition | October 2021

In this bulletin: Investment Fund Burden Reduction Measures – Not a Trick! FSRA Publishes 2022-2023 Statement of Priorities for Comment CSA Proposes Mandatory Climate Change Disclosure In Brief: Ontario’s New Draft Capital Markets Act ▪ Proposed Amendments to...

Bulletin | Autumn Edition | September 2021

In this bulletin: OSC Publishes its 2021 Annual Report – What you Need to Know IIROC Releases Draft Competency Profiles for Directors, Executives, UDPs, CCOs and CFOs Québec Consults on the Complaint Handling Process CPAB Consults on its Disclosure of Audit Firm...

A Trusted Contact Person and a POA

On July 15, 2021, the Canadian Securities Administrators released Notice of Amendments to National Instrument 31-103 Registration Requirements, Exemptions and Ongoing Registrant Obligations (NI 31-103) which contains the final amendments (the Amendments) to NI 31-103...

Bulletin | Heatwave Edition | August 2021

In this bulletin: OSC Finalizes 2021-2022 Statement of Priorities OSC’s CRR Branch Publishes its Annual Report on Registrants CSA Announces Plans to Create a New Self-Regulatory Organization Policies and Procedures Change Required – CSA Finalizes Rules...

How Often Should a Registered Firm Conduct Ongoing Monitoring of Their Clients’ Accounts for the Purposes of Complying with Their Anti-Money Laundering (AML) Requirements?

Answer: While it may be considered industry standard to conduct ongoing monitoring annually, FINTRAC allows registrants to determine the frequency with which a registrant will monitor its clients’ accounts. Accordingly, every firm should have policies and procedures...

Bulletin | Winter’s End Edition | February 2021

In this bulletin: Interview with Richard Roskies regarding Client Focused Reforms and Know-Your-Product Provisions Outside Activities 2.0: Potential Burden Reduction Comes to Reporting of Registrant Information FAQ Corner: Activities 2.0: Potential Burden Reduction...

Bulletin | New Year Edition | January 2021

In this bulletin: Ontario’s Capital Markets Modernization Taskforce Releases Final Report CSA Publishes More FAQ Guidance on the Client-Focused Reforms FINTRAC Updates its Guidance on Conducting AML Risk Assessments  Reviewing Fund Custodian Arrangements FAQ Corner:...

Reviewing Fund Custodian Arrangements

Investment fund managers that have obtained approval from the Ontario Securities Commission to self-trustee pooled funds and/or exemptive relief for fund-on-fund structures may have selected fund custodians that meet the requirements of National Instrument 81-102...