FCA’s Guidance on the anti-greenwashing rule (GC233)
Last updated on 06 Feb 2024
Download INREV’s position paper on the FCA’s Guidance on the anti-greenwashing rule
Last updated on 06 Feb 2024
Download INREV’s position paper on the FCA’s Guidance on the anti-greenwashing rule
Last updated on 31 Jan 2024
Chris Ormond, from Goodwin, Emily Harmsworth, from Linklaters and Aidan McConville, from Addleshaw Goddard, share important insights on the UK Limited Partnership reform and its impact on the industry.
Last updated on 25 Jan 2024
On 23 January, INREV filed a response to the FCA consultation on Guidance on the anti-greenwashing rule welcoming the views expressed by the FCA aiming to protect investors from misleading information
Last updated on 14 Jan 2024
On 21 December, INREV filed its response to a Commission’s call for evidence on real estate statistics arguing that the regulation would fill a significant gap in the availability of statistical information on commercial real estate and would ultimately lead to more informed analysis and recommendations.
Last updated on 14 Jan 2024
On 5 January, INREV and other industry associations filed a response to the consultation paper 19/23 on the review of Solvency II in UK focused on the matching adjustment reform. Download the response to learn more.
Last updated on 12 Jan 2024
Read INREV’s latest snapshot on AIFMD II to find out how new provisions apply to non-listed real estate investment.
Last updated on 01 Feb 2024
Download INREV’s latest SDR snapshot to learn how the new rules apply to UK asset managers, distributors, retail investors and institutional investors.
Last updated on 06 Feb 2024
Download INREV’s position paper on the European Commission’s initiative on Commercial real estate statistics.
Last updated on 14 Jan 2024
Read INREV’s recent position paper on the Commission’s targeted consultation on the implementation of the Sustainable Finance Disclosures Regulation (SFDR).
Last updated on 11 Dec 2023
On 6 December, INREV filed a response to Commission consultation on SFDR arguing for fund labels that reflect the investment strategy of the product rather than existing concepts used in Articles 8 and 9, which we believe would better accommodate transition strategies.