
The Financial Services Authority (FSA) today announced plans to update its Remuneration Code to take on board remuneration rules required by the Capital Requirements Directive (CRD 3) and the Financial Services Act 2010 (FS Act).
The FSA also reports on the implementation of the Code so far, lessons learned from last year's implementation and discusses progress made in achieving international alignment.
The FSA's current Code applies to the largest banks, building societies and broker dealers. However, CRD3 will bring over 2,500 firms within the scope of the Code. These include all banks and building societies, asset managers, hedge fund managers, UCITS investment firms as well as some firms that engage in corporate finance, venture capital, the provision of financial advice and stockbrokers.
The FSA does not intend the final rules to be super-equivalent to the CRD3 requirements unless required to do so by UK legislation.
The existing Code requires that firms apply 'remuneration policies, practices and procedures that are consistent with and promote effective risk management'. Although the Code is broadly consistent with CRD3 provisions and the FS Act, the FSA is required to make some changes to ensure full alignment. In particular, the Code will be strengthened in the following ways:
Whilst it will take time to assess the full impact of the Code in contributing to effective risk management, all firms within scope that have paid bonuses since 1 January 2010 have adhered to the FSA's Code.
Successful implementation has resulted in more demanding standards in a number of areas and has shifted the composition of remuneration structures to forms more consistent with effective risk management.
More generally, the FSA has seen stronger and more independent remuneration committees and greater recognition of the need to consider risk when setting remuneration policies and signing off bonus policies.
Next stepsThe consultation period closes on 8 October 2010. The FSA intends to issue a policy statement in November 2010 with rules effective from 1 January 2011.
The text of the CRD3 was agreed in early July, and its remuneration provisions will come into force on 1 January 2011. This is a tight timetable, and the FSA is urging all firms within its scope to start preparing for its introduction as soon as possible. The FSA has proposed some transitional provisions to give smaller firms some leeway in implementing certain provisions.