MIFIDPRU 8 Disclosure
For the Year Ended 31 December 2024
Introduction
Attestor Limited (“Attestor” or “Firm”) is incorporated in the United Kingdom and is authorised and regulated by the United Kingdom's Financial Conduct Authority(the “FCA”) as an investment management firm under registration number 911816.It provides investment management services to a range of alternative funds but is expressly limited by its FCA permissions to controlling, but not holding, client money and assets, and has no trading book exposure.
The information contained in these disclosures is required per the Financial Conduct Authority (“FCA”) Handbook under MIFIDPRU Chapter 8 and is disclosed publicly on Attestor’s website. Additionally, as a MIFIDPRU investment firm, Attestor is required to conduct an Internal Capital Adequacy and Risk Assessment (“ICARA”) as per MIFIDPRU 7.7-7.9 in the FCA Handbook. Attestor is a subsidiary of Attestor Services Limited (“ASL”), a UK Private Limited Company, however has been approved by the FCA to prepare its ICARA on a non-consolidated basis. It is categorised as a Non-Small and Non-Interconnected Investment Firm (“Non-SNI”).
Per MIFIDPRU 8.1.8. Attestor must provide a level of detail in its qualitative disclosures that is appropriate to its size and internal organization, and to the nature, scope, and complexities of its activities.
The disclosure in this statement relates to the year ended 31st December 2024. These disclosures do not constitute any form of financial statement and must not be relied upon in making any judgement in relation to Attestor.
MIFIDPRU 8.3 – Governance Arrangements
Firm’s Chief Executive Officer (“CEO”) has overall responsibility for the Firm’s risk strategies and policies. The CEO and the Chairman together with the other Executive Directors, the Chief Operating Officer (“COO”) and the General Counsel (“GC”) are the members of the Firm’s Executive Committee which has general oversight of the day-to-day activities of the Firm, including as appropriately delegated within the Firm.
The CEO, Chairman and the other Executive Directors form the Board of Directors (the “Board”). They do not hold any other directorships in organisations that pursue predominantly commercial objectives which conflict with the interests of the Firm and the funds it manages.
The Executive Committee is ultimately responsible for the Firm’s governance arrangements, ensuring effective and prudent management of Attestor and the management of conflicts of interest. The Executive Committee meets regularly and can also address ad-hoc items in the period between meetings as required. It reviews and signs-off on, inter alia, key policy documents (such as the Remuneration Policy), financial statements, and risk assessments (including those relating to capital adequacy as detailed under the “Own Funds Requirement” section below). The Executive Committee is regularly updated by the relevant experts within the Firm by on matters of note and is so provided with the information needed to oversee the business and operations of the Firm.
The Firm’s risk management processes are identified and documented in its ICARA, which, inter alia, memorialises that the Firm has effective systems and controls in place to identify, monitor and manage risks arising in the business. The CEO and the other Executive Directors are responsible for the management of risk within Attestor and their individual responsibilities held under Senior Manager Functions (“SMF”) are clearly defined in their Statements of Responsibility. The COO, GC and the Head of Compliance advise and assist with the implementation and enforcement of Attestor’s risk principles.
The Firm has clearly documented policies and procedures, which are designed to minimise risks to Attestor, and all employees are required to confirm that they have read and understood them on an annual basis. Attestor maintains a Risk and Conflicts Matrix that further details potential risks that the Firm might be subject to and the processes in place to mitigate them.
The CEO with the support of Head of Compliance is responsible for the annual certification of the Senior Managers and Certified Persons under the Senior Managers and Certification Regime as being fit and proper to perform their respective certified activities.
Attestor does not have an explicit policy or targets to promote diversity on the Board. All calculations and awards of remuneration will be conducted in a gender-neutral manner and in compliance with the Firm’s duties under the Equality Act 2010 (as amended).
MIFIDPRU 8.4 – Own Funds
Composition of regulatory own funds
Composition of regulatory own funds | ||
---|---|---|
Item | Amount (GBP Thousands) | |
1 | OWN FUNDS | 29,183,493 |
2 | TIER 1 CAPITAL | 29,183,493 |
3 | COMMON EQUITY TIER 1 CAPITAL | 29,183,493 |
4 | Fully paid up capital instruments | - |
5 | Share premium | 3,516 |
6 | Retained earnings | 29,183,493 |
7 | Accumulated other comprehensive income | - |
8 | Other reserves | - |
9 | Adjustments to CET1 due to prudential filters | - |
10 | Other funds | - |
11 | (-) TOTAL DEDUCTIONS FROM COMMON EQUITY TIER 1 | (2,095) |
19 | CET1: Other capital elements, deductions and adjustments | - |
20 | ADDITIONAL TIER 1 CAPITAL | - |
21 | Fully paid up, directly issued capital instruments | - |
22 | Share premium | - |
23 | (-) TOTAL DEDUCTIONS FROM ADDITIONAL TIER 1 | - |
24 | Additional Tier 1: Other capital elements, deductions, and adjustments | - |
25 | TIER 2 CAPITAL | - |
26 | Fully paid up, directly issued capital instruments | - |
27 | Share Premium | - |
28 | (-) TOTAL DEDUCTIONS FROM TIER 2 | - |
29 | Tier 2: Other capital elements, deductions, and adjustments | - |
Own Funds: reconciliation of regulatory own funds to balance sheet in the audited financial statements | ||
---|---|---|
Balance sheet as in audited financial statements | ||
As at 31 December 2024 Amount (GBP Thousands) | ||
Assets – Breakdown by asset classes according to the balance sheet in the audited financial statements | ||
1 | Tangible assets | 144 |
2 | Debtors: amounts falling due within one year | 43,667 |
3 | Cash at bank | 14,428 |
3 | Total Assets | 58,239 |
Liabilities – Breakdown by liability classes according to the balance sheet in the audited financial statements | ||
1 | Creditors: amounts falling due within one year | 19,628 |
2 | Creditors: amounts falling due after one year | 7,332 |
Total Liabilities | 26,960 | |
1 | Share premium | 3,516 |
2 | Profit and loss account | 27,763 |
Total Shareholders’ Equity | 31,279 |
MIFIDPRU 8.5 – Own Funds Requirement
Sum of the K-AUM requirements | 1,012 |
Sum of the K-COH requirements | 44 |
The Fixed Overhead Requirement | 4,558 |
Attestor assesses the adequacy of its own funds in accordance with the overall financial adequacy rule in MIFIDPRU 7.4.7R on an ongoing basis. Attestor confirms that sufficient own funds and liquid assets are held to ensure Attestor is financially viable throughout the economic cycle and meets its relevant regulatory minimums. Attestor holds sufficient liquid assets to address material potential harm that may result from its ongoing activities, and to conduct an orderly wind-down should such a scenario should arise.
In the event that emergency capital or liquidity is required and Attestor is expected to continue as a going concern, additional capital will be provided by Attestor’s parent company as soon as reasonably practicable to cover the requirement.
The Internal Capital Adequacy and Risk Assessment (“ICARA”) is the primary mechanism by which Attestor assesses its business and operating models, the environment in which it operates, and its internal systems and controls to ensure that Attestor complies with the financial adequacy rule. Attestor undertakes this process, at least annually, and the process is forward looking and an integral part of the management of Attestor.
The ICARA identifies the major sources of risk to Attestor, how Attestor deals with those risks, and details of the stress tests and scenario analyses carried out and the resulting financial resources estimated to be required. Attestor also carries out regular assessments of the types and distribution of financial resources, capital resources, and internal capital, which are documented in the ICARA. If necessary, Attestor would allocate extra capital to the relevant risk, but this has not been deemed necessary to date.
Remuneration
Attestor is subject to the FCA’s AIFM Remuneration Code and MIFIDPRU Remuneration Code (together the “Code"). The purpose of the Code is to ensure that firms have remuneration policies that are consistent with, and promote, effective risk management and do not expose themselves to excessive risk.
Attestor has a Remuneration Policy in place but deems that it is not proportionate for it to have a separate Remuneration Committee.
The Code allows firms to apply the Principle of Proportionality to disapply certain rules. As such, Attestor has disapplied the following rules:
Under AIFM Code:
- SYSC 19B.1.17R Pay-Out Process Rules
Under MIFID Code:
- SYSC 19G.6.19R to 19G.6.21G Shares, instruments and alternative arrangements
- SYSC 19G.6.22R and SYSC 19G.6.23G Retention policy
- SYSC19G.6.24R to SYSC 19G.6.29R Deferral
- SYSC 19G.6.35R(2) Discretionary pension benefits
Remuneration is not solely based upon an employee’s individual investments but on the investment decision making process and contribution to the overall long term profitability and culture of Attestor – including a demonstrated commitment to teamwork, ethical behaviour, and compliance with Attestor’s policies and procedures. The performance of the individual is assessed over the entire year.
Quantitative information
Disclosures required under MIFIDPRU 8.6.8R (4) and (5)(a) and (b) for financial year ended 31 December 2024:
Total Material Risk Taker (“MRT”) employees | 10 |
Total Fixed Remuneration for MRT employees | 3.39m |
Total Variable Remuneration for MRT employees | 179.13m |
Total number of AIFMD Code Staff employees | 13 |
Total Fixed Remuneration for Code Staff employees | 3.95m |
Total Variable Remuneration for Code Staff employees | 189.33m |
Total number of Senior Management Staff | 6 |
Total Fixed Remuneration for Senior Management Staff | 2.65m |
Total Variable Remuneration for Senior Management staff | 175.97m |
"Senior Management" is defined as those natural persons who exercise executive functions in the Firm and who are responsible and accountable to the management body for the day-to-day management of the Firm, including for the implementation of policies concerning the distribution of services and products to clients by it and its staff members.