2025 Archives - BRP https://brpsa.com/Media/2025/ a Member of aosphere Group Wed, 07 Jan 2026 10:58:59 +0000 en-GB hourly 1 https://brpsa.com/wp-content/uploads/2025/08/cropped-BRP-logo-2025-32x32.png 2025 Archives - BRP https://brpsa.com/Media/2025/ 32 32 Assignment of receivables by a contractor – News https://brpsa.com/assignment-of-receivables-by-a-contractor-news/ Mon, 22 Dec 2025 14:08:43 +0000 https://brpsa.com/?p=280843 BRP SA News 44/2025 Vous trouvez ci-dessous le lien qui vous permettra d’accéder à notre News 44/2025 concernant le cas d’une cession de créance par un entrepreneur. Nous nous réjouissons […]

The post Assignment of receivables by a contractor – News appeared first on BRP.

]]>
BRP SA News 44/2025

Vous trouvez ci-dessous le lien qui vous permettra d’accéder à notre News 44/2025 concernant le cas d’une cession de créance par un entrepreneur.

Nous nous réjouissons de l’accueil que vous réserverez à cette communication et restons à votre entière disposition pour tout renseignement complémentaire.

Genève, le 22 décembre 2025

News Fr ; News En


Untenstehend finden Sie den Link, der Sie zu unseren News 44/2025 beitreffend dei Fall einen Generalzession durch einen Bauhanwerker.

Wir hoffen, dass diese Informationen auf Ihr Interesse stossen und wünschen Ihnen eine gute Lektüre. Selbstverständlich stehen wir Ihnen jederzeit für weitere Informationen zur Verfügung.

Mit freundlichen Grüssen,

Genf, 22. Dezember 2025


News De ; News En





The post Assignment of receivables by a contractor – News appeared first on BRP.

]]>
New Caledonia – CM PB https://brpsa.com/new-caledonia-cm-pb-2/ Mon, 22 Dec 2025 08:43:51 +0000 https://brpsa.com/?p=280833 Country Manual Private Banking New Caledonia out of Bank’s Country of Establishment (Def, RS, BT & RT) Source of changes Answers Law / Regulation No New Position of the Authorities […]

The post New Caledonia – CM PB appeared first on BRP.

]]>
Country Manual Private Banking

New Caledonia

out of Bank’s Country of Establishment (Def, RS, BT & RT)

Source of changesAnswers
Law / RegulationNo
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationNo

Regulatory Template, Regulatory Summary and Behaviour Template

Material changes

The documents have been reviewed, and we can confirm that there have been no relevant regulatory developments implying material changes since the last update of this Country Manual.

Non-material changes

To reflect the strict approach of the authorities with regard to reverse solicitation, in particular for contacts taking place on the New Caledonian territory, investment-related prospecting activities with Qualified prospects are now a grey zone.

In the Behaviour Template, the condition “on an occasional basis” has been added to socialising activities in New Caledonia, to bear in mind that any kind of activity taking place on the New Caledonian territory could be considered a relevant element in application of the “bundle of indicators” method. Thus, even for simple socialising activities, it is recommended to avoid a too regular presence New Caledonia.

Further non-material developments and amendments have been made throughout all the documents.

BT Short Comparison

This document allows users to quickly identify the modifications made compared to the previous version of the PB Manual (BT Short Comparison). The BT Short Comparison can be found on BRP’s platform (mybrponline) in the Search tab by entering in the Document Field “CM PB BT SHORT COMP” and “NEW CALEDONIA” in the Target Country Field.

The BT Short Comparison should be read as follows:

The first column contains a short description of the activity in question. The second column contains the answers of the previous version of the Country Manual (online until the day of the alert). The third column contains the new answers of the most recent version of the Country Manual. Only the modified answers are displayed (in color). If the answers in the new version are unchanged compared to the previous version, they are shaded in grey.

For more information, please contact us: info@brpsa.com

Geneva, December 22nd 2025

The post New Caledonia – CM PB appeared first on BRP.

]]>
Updates Several Jurisdictions – CM EAM https://brpsa.com/updates-several-jurisdictions-cm-eam-13/ Mon, 22 Dec 2025 08:10:38 +0000 https://brpsa.com/?p=280828 Country Manual Independent Portfolio Manager/Advisor (EAM) Several Jurisdictions – Update December I 2025 We would like to inform you that BRP has updated various country manuals external asset managers during […]

The post Updates Several Jurisdictions – CM EAM appeared first on BRP.

]]>
Country Manual Independent Portfolio Manager/Advisor (EAM)

Several Jurisdictions Update December I 2025

We would like to inform you that BRP has updated various country manuals external asset managers during this month:

Material changes

Norway

No Material changes

Armenia

Bermuda

Georgia

Sweden

Alerts

The full & detailed description of the Country Manuals updates is available on the BRP Platform (www.mybrponline.com). To access the relevant Alert, please connect to the BRP Platform and follow the below instructions.

For more information, please contact us: info@brpsa.com

Best regards,

The post Updates Several Jurisdictions – CM EAM appeared first on BRP.

]]>
Italy – CM RT https://brpsa.com/italy-cm-rt/ Fri, 19 Dec 2025 08:11:54 +0000 https://brpsa.com/?p=280824 Country Manual Retail Banking Update Italy BRP has updated its Country Manuals Retail Banking for Italy out of Bank’s Country of establishment (DEF, RS, BT & RT) SOURCE OF CHANGES […]

The post Italy – CM RT appeared first on BRP.

]]>
Country Manual Retail Banking Update

Italy

BRP has updated its Country Manuals Retail Banking for

Italy

out of Bank’s Country of establishment (DEF, RS, BT & RT)

SOURCE OF CHANGESANSWERS
  Law/Regulation  No
  New Position of the Authorities  Yes
  Evolution of Expert’s interpretationYes

Definitions & Concepts, Regulatory Summary and Behaviour Template

Material changes

The Country Manual has been reviewed to ensure that the content of all documents remains accurate and in line with the evolving interpretation of the current legal and regulatory framework.

Two elements relating to credits should be highlighted:

Update on Disbursement in Italy for Credit Types Structured as Mutui

Following a detailed review of Italian civil law, recent case law (Corte di Cassazione, decision no. 19047 of 11 July 2025), and the distinction between mutui and apertura di credito, we have updated the guidance on the possibility of disbursing certain credit types in Italy. For credit types legally structured as mutui — including consumer credit or mortgage credit — disbursement in Italy could, in principle, trigger the application of Italian law and local licensing requirements for the foreign Credit Institution. Based on this clarification, the answer in the Manual regarding the permissibility of disbursement in Italy has been modified from Grey zone (for consumer credits and mortgage credits) to Grey zone/NO, reflecting that such disbursement is not generally permitted without considering potential licensing obligations.

Increased accuracy in highlighting the risk of consumer protection rules being applied

For mortgage credits secured by immovable property located in Italy, the answers in case both RM and the non-qualified prospect (i.e. consumer) are in Credit Institution’s country were modified from YES to Grey zone/YES to highlight the risk of local consumer protection rules being applied. This potential risk was also added to remote interactions on prospect’s initiative when related to consumer credits and mortgage consumer credits.

Non-material changes

Some comments and content have been slightly reworded (without introducing material changes), and additional references to applicable law/regulation have been made in order to provide more clarity and to reflect the regulatory situation/current interpretation of the regulatory framework more accurately.

Implications for business relations with third parties

Clarification has been added regarding finders and business introducers. Specifically, with respect to banking services, finders or business introducers acting on behalf of banks to offer loans to clients are considered credit brokers (‘mediatori creditizi’), with all the implications that this entails, particularly with regard to licensing requirements and the impact of cooperating with such intermediaries for a foreign bank.

Regulatory Summary

This document has now a more user-friendly layout and reflects the changes contained in the RT.

For more information, please contact us: info@brpsa.com

Geneva, December 19th 2025

The post Italy – CM RT appeared first on BRP.

]]>
Mozambique – NEW CM P https://brpsa.com/mozambique-new-cm-p/ Fri, 19 Dec 2025 08:09:34 +0000 https://brpsa.com/?p=280806 New BRP Country Manual Products Mozambique BRP has published its latest Country Manuals Products for Mozambique out of service provider’s country of establishment (DEF, RO & BT) For more information, […]

The post Mozambique – NEW CM P appeared first on BRP.

]]>
New BRP Country Manual Products

Mozambique

BRP has published its latest Country Manuals Products for

Mozambique

out of service provider’s country of establishment (DEF, RO & BT)

For more information, please contact us: info@brpsa.com

Geneva, December 19th, 2025

The post Mozambique – NEW CM P appeared first on BRP.

]]>
Germany – CM RT https://brpsa.com/germany-cm-rt/ Fri, 19 Dec 2025 08:04:28 +0000 https://brpsa.com/?p=280818 Country Manual Retail Banking Update Germany BRP has updated its Country Manuals Retail Banking for Germany out of Bank’s Country of establishment (DEF, RS, BT & RT) SOURCE OF CHANGES […]

The post Germany – CM RT appeared first on BRP.

]]>
Country Manual Retail Banking Update

Germany

BRP has updated its Country Manuals Retail Banking for

Germany

out of Bank’s Country of establishment (DEF, RS, BT & RT)

SOURCE OF CHANGESANSWERS
  Law/Regulation  No
  New Position of the Authorities  No
  Evolution of Expert’s interpretationNo

Definitions & Concepts, Regulatory Summary and Behaviour Template

Material changes

The Country Manual has been reviewed to ensure that the content of all the documents remains accurate and up to date. We can confirm that generally, there have not been any relevant legal or regulatory changes in Germany since the last update.

Non-material changes

Some comments and content have been slightly reworded (without introducing material changes) to reflect the regulatory situation/current interpretation of the regulatory framework more accurately. In addition, the section on consumer protection rules have further been thoroughly reviewed and, where appropriated amended.

Regulatory Summary

This document has now a more user-friendly layout and reflects the changes contained in the RT.

For more information, please contact us: info@brpsa.com

Geneva, December 19th 2025

The post Germany – CM RT appeared first on BRP.

]]>
Current Status of CRD VI Implementation – Alert Germany https://brpsa.com/current-status-of-crd-vi-implementation-alert-germany/ Thu, 18 Dec 2025 14:29:44 +0000 https://brpsa.com/?p=280814 BRP Alert Germany 4/2025 Discover our new Alert Germany. Contact us info@brpsa.com to obtain access to our Alerts or for any other enquiries regarding Alert Germany 4/2025 concerning the Current […]

The post Current Status of CRD VI Implementation – Alert Germany appeared first on BRP.

]]>
BRP Alert Germany 4/2025

BRP Cross-border Alert 2025

Discover our new Alert Germany.

Contact us info@brpsa.com to obtain access to our Alerts or for any other enquiries regarding Alert Germany 4/2025 concerning the Current Status of CRD VI Implementation in Germany.

Geneva, December 18th 2025

The post Current Status of CRD VI Implementation – Alert Germany appeared first on BRP.

]]>
Dubai IFC – CM CO https://brpsa.com/dubai-ifc-cm-co/ Thu, 18 Dec 2025 08:47:00 +0000 https://brpsa.com/?p=280810 Country Manual Cryptos Overview Update Dubai IFC BRP has updated its Country Manuals Cryptos Overview for Dubai IFC out of Crypto-Asset service provider’s country of establishment (DEF, RS & RT) […]

The post Dubai IFC – CM CO appeared first on BRP.

]]>
Country Manual Cryptos Overview Update

Dubai IFC

BRP has updated its Country Manuals Cryptos Overview for

Dubai IFC

out of Crypto-Asset service provider’s country of establishment (DEF, RS & RT)

SOURCE OF CHANGESANSWERS
  Law/Regulation  Yes
  New Position of the Authorities  No
  Evolution of Expert’s interpretation  No

Definitions & Concepts, Regulatory Summary and Behaviour Template

Regulatory changes

The Cryptos Overview has been reviewed to ensure that the content of all the documents remain accurate and up to date.

On 15 December 2025, the Dubai Financial Services Authority (DFSA) published amendments to its policy statement on FiatCrypto Tokens and its Supervisory Guidelines on the assessment of Crypto Tokens. The amendments enter into force on 12 January 2026.

Under the previous regime, firms could provide financial services within or from the DIFC only in connection with Recognised Crypto Tokens (i.e. tokens formally approved by the DFSA and listed on its website), subject to limited exceptions such as certain custody services.

Under the revised framework, the DFSA has removed the general recognition requirement for Crypto Tokens. Firms engaging in activities involving a Crypto Token (other than a Fiat Crypto Token) must now conduct and document their own suitability assessment for the relevant token in relation to the specific activity. A transitional period applies whereby previously recognised Crypto Tokens (other than Fiat Crypto Tokens) will continue to be deemed suitable for three months following the entry into force of the new rules.

Fiat Crypto Tokens remain subject to a centralised DFSA suitability assessment. The DFSA has published both the assessment criteria and a list of Fiat Crypto Tokens currently considered suitable for use in the DIFC, namely Circle Euro Coin (EURC), Circle USD Coin (USDC) and Ripple USD (RLUSD).

Material changes

There are no material changes that affect the answers in the Cryptos Overview Behaviour Template.

Non-material changes

Some comments and content have been reworded in the CM, without introducing substantive changes to reflect the regulatory situation/current interpretation of the regulatory framework more accurately.

For more information, please contact us: info@brpsa.com

Geneva, December 18th 2025

The post Dubai IFC – CM CO appeared first on BRP.

]]>
Argentina – CM C https://brpsa.com/argentina-cm-c-2/ Thu, 18 Dec 2025 07:59:23 +0000 https://brpsa.com/?p=280802 Country Manual Credits Argentina – Update 2025 out of Credit Institution’s Country of Establishment (Def, BT & Def) Source of changes Answers Law / Regulation Yes New Position of the […]

The post Argentina – CM C appeared first on BRP.

]]>
Country Manual Credits

Argentina – Update 2025

out of Credit Institution’s Country of Establishment (Def, BT & Def)

Source of changesAnswers
Law / RegulationYes
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationNo

Regulatory Template, Behaviour Template and Definitions and Concepts

Material changes

We have reviewed the documents following consultations with our local counsel in order to update the section on Foreign Exchange Controls. This update reflects the recent significant overhaul of the country’s foreign exchange (FX) framework, which introduces a more flexible FX regime, as outlined in the Alert Argentina 1/2025 published on May 13, 2025.

Concisely, currency restrictions on individuals residing in Argentina have been lifted. Our manual highlights the relevant changes also for legal entities and unfolds the implications for FX activities such as buying securities and receiving loans abroad.

In addition, the Central Bank has resolved to exempt individuals from the obligation to report external assets under the framework of the External Assets and Liabilities Survey (as established by Communiqué “A” 6401). This means that individuals will no longer be required to report their foreign assets to the BCRA, and will only have to report them to the Argentine Tax Authority (ARCA).

Non-material changes

Some comments and content have been slightly reworded (without introducing material changes) to reflect the regulatory situation/current interpretation of the regulatory framework more accurately.

Moreover, in addition to more comprehensive information on consumer protection rules, the manual includes information on the validity of the credit agreement in cases of breach of licensing requirements and breach of borrower-protection laws, without any material changes to the content of the respective sections.

 For more information, please contact us: info@brpsa.com

Geneva, December 18th 2025

The post Argentina – CM C appeared first on BRP.

]]>
AMF adapts Complex Products Doctrine for crypto-linked financial instruments – Alert France https://brpsa.com/amf-adapts-complex-products-doctrine-for-crypto-linked-financial-instruments-alert-france/ Thu, 18 Dec 2025 07:47:13 +0000 https://brpsa.com/?p=280799 BRP Alert France 6/2025 Discover our new Alert France. Contact us info@brpsa.com to obtain access to our Alerts or for any other enquiries regarding Alert France 6/2025 concerning the adaptation […]

The post AMF adapts Complex Products Doctrine for crypto-linked financial instruments – Alert France appeared first on BRP.

]]>
BRP Alert France 6/2025

BRP Cross-border Alert 2025

Discover our new Alert France.

Contact us info@brpsa.com to obtain access to our Alerts or for any other enquiries regarding Alert France 6/2025 concerning the adaptation by the AMF of the Complex Products Doctrine for crypto-linked financial instruments.

Geneva, December 18th 2025

The post AMF adapts Complex Products Doctrine for crypto-linked financial instruments – Alert France appeared first on BRP.

]]>
Cameroon – NEW CM P https://brpsa.com/cameroon-new-cm-p/ Wed, 17 Dec 2025 09:38:45 +0000 https://brpsa.com/?p=280794 New BRP Country Manual Products Cameroon BRP has published its latest Country Manuals Products for Cameroon out of service provider’s country of establishment (DEF, RO & BT) For more information, […]

The post Cameroon – NEW CM P appeared first on BRP.

]]>
New BRP Country Manual Products

Cameroon

BRP has published its latest Country Manuals Products for

Cameroon

out of service provider’s country of establishment (DEF, RO & BT)

For more information, please contact us: info@brpsa.com

Geneva, December 17th, 2025

The post Cameroon – NEW CM P appeared first on BRP.

]]>
Asset confiscation and money laundering – News https://brpsa.com/asset-confiscation-and-money-laundering-news/ Wed, 17 Dec 2025 09:07:01 +0000 https://brpsa.com/?p=280791 BRP SA News 43/2025 Vous trouvez ci-dessous le lien qui vous permettra d’accéder à notre News 43/2025concernant la prescription de l’infraction dans un cas de blanchiment d’argent et de la […]

The post Asset confiscation and money laundering – News appeared first on BRP.

]]>
BRP SA News 43/2025

Vous trouvez ci-dessous le lien qui vous permettra d’accéder à notre News 43/2025concernant la prescription de l’infraction dans un cas de blanchiment d’argent et de la confiscation.

Nous nous réjouissons de l’accueil que vous réserverez à cette communication et restons à votre entière disposition pour tout renseignement complémentaire.

Genève, le 17 décembre 2025

News Fr ; News En


Untenstehend finden Sie den Link, der Sie zu unseren News 43/2025 beitreffend dei Einziehung und Geldwäscherei: Verjährungsfristen.

Wir hoffen, dass diese Informationen auf Ihr Interesse stossen und wünschen Ihnen eine gute Lektüre. Selbstverständlich stehen wir Ihnen jederzeit für weitere Informationen zur Verfügung.

Mit freundlichen Grüssen,

Genf, 17. Dezember 2025


News De ; News En





The post Asset confiscation and money laundering – News appeared first on BRP.

]]>
MROS Negative typologies – Alert https://brpsa.com/mros-negative-typologies-alert/ Tue, 16 Dec 2025 15:39:14 +0000 https://brpsa.com/?p=280788 BRP Regulatory Alert 27/2025 Chère Cliente, Cher Client, Vous trouvez ci-dessous le lien qui vous permettra d’accéder à notre Alerte réglementaire 27/2025 sur la typologies négatives du MROS. Nous nous […]

The post MROS Negative typologies – Alert appeared first on BRP.

]]>
BRP Regulatory Alert 27/2025
BRP Regulatory Alert 2025



Chère Cliente, Cher Client,

Vous trouvez ci-dessous le lien qui vous permettra d’accéder à notre Alerte réglementaire 27/2025 sur la typologies négatives du MROS.

Nous nous réjouissons de l’accueil que vous réserverez à cette communication et restons à votre entière disposition pour tout renseignement complémentaire.

Avec nos meilleures salutations,

Genève, 16 décembre 2025


News Fr ; News En


Sehr geehrte Kundinnen und Kunden

Untenstehend finden Sie den Link, der Sie zu unseren News Regulierung 27/2025 über dei Negativtypologien der MROS führt.

Wir hoffen, dass diese Informationen auf Ihr Interesse stossen und wünschen Ihnen eine gute Lektüre. Selbstverständlich stehen wir Ihnen jederzeit für weitere Informationen zur Verfügung.

Mit freundlichen Grüssen,

Genf, 16. Dezember 2025

News De ; News En


The post MROS Negative typologies – Alert appeared first on BRP.

]]>
Update on the Law Introducing a Capital Gains Tax on Financial Assets – Alert Belgium https://brpsa.com/update-on-the-law-introducing-a-capital-gains-tax-on-financial-assets-alert-belgium/ Tue, 16 Dec 2025 14:49:46 +0000 https://brpsa.com/?p=280784 BRP Alert Belgium 2/2025 Discover our new Alert Belgium. Contact us info@brpsa.com to obtain access to our Alerts or for any other enquiries regarding Alert Belgium 2/2025 concerning the Update […]

The post Update on the Law Introducing a Capital Gains Tax on Financial Assets – Alert Belgium appeared first on BRP.

]]>
BRP Alert Belgium 2/2025

BRP Cross-border Alert 2025

Discover our new Alert Belgium.

Contact us info@brpsa.com to obtain access to our Alerts or for any other enquiries regarding Alert Belgium 2/2025 concerning the Update on the Law Introducing a Capital Gains Tax on Financial Assets.

Geneva, December 16th 2025

The post Update on the Law Introducing a Capital Gains Tax on Financial Assets – Alert Belgium appeared first on BRP.

]]>
ASIC extends transitional relief for Foreign Financial Service Providers – Alert Australia https://brpsa.com/extension-by-asic-of-the-transitional-relief-for-foreign-financial-service-providers-alert-australia/ Tue, 16 Dec 2025 09:51:52 +0000 https://brpsa.com/?p=280772 BRP Alert Australia 1/2025 Discover our new Alert Australia. Contact us info@brpsa.com to obtain access to our Alerts or for any other enquiries regarding Alert Australia 1/2025 concerning the extension […]

The post ASIC extends transitional relief for Foreign Financial Service Providers – Alert Australia appeared first on BRP.

]]>
BRP Alert Australia 1/2025

BRP Cross-border Alert 2025

Discover our new Alert Australia.

Contact us info@brpsa.com to obtain access to our Alerts or for any other enquiries regarding Alert Australia 1/2025 concerning the extension by ASIC of the transitional relief for Foreign Financial Service Providers.

Geneva, December 15th 2025

The post ASIC extends transitional relief for Foreign Financial Service Providers – Alert Australia appeared first on BRP.

]]>
Abu Dhabi Global Market – NEW CM CO https://brpsa.com/abu-dhabi-global-market-new-cm-co/ Tue, 16 Dec 2025 09:12:26 +0000 https://brpsa.com/?p=280778 New BRP Country Manual Cryptos Overview Abu Dhabi Global Market BRP has published its latest Country Manuals Cryptos Overview for Abu Dhabi Global Market out of Crypto-Asset service provider’s country […]

The post Abu Dhabi Global Market – NEW CM CO appeared first on BRP.

]]>
New BRP Country Manual Cryptos Overview

Abu Dhabi Global Market

BRP has published its latest Country Manuals Cryptos Overview for

Abu Dhabi Global Market

out of Crypto-Asset service provider’s country of establishment (DEF, RS & RT)

For more information, please contact us: info@brpsa.com

Geneva, December 16th, 2025

The post Abu Dhabi Global Market – NEW CM CO appeared first on BRP.

]]>
Hong Kong Taxonomy for Sustainable Finance – Sustainable Finance Alert https://brpsa.com/hong-kong-taxonomy-for-sustainable-finance-sustainable-finance-alert-2/ Fri, 12 Dec 2025 09:04:44 +0000 https://brpsa.com/?p=280763 BRP Alert Sustainable Finance Alert 5/2025 Discover the release of the Alert Sustainable Finance 5 regarding the China Corporate Sustainability Disclosure Standards (CSDS). Please note that you can find every Sustainable Finance Alert […]

The post Hong Kong Taxonomy for Sustainable Finance – Sustainable Finance Alert appeared first on BRP.

]]>
BRP Alert Sustainable Finance Alert 5/2025

Sustainable Finance Alert 2025

Discover the release of the Alert Sustainable Finance 5 regarding the China Corporate Sustainability Disclosure Standards (CSDS).

Please note that you can find every Sustainable Finance Alert on our Platform (mybrponline) with the “ESG/Crypto” tab

Do not hesitate to contact us should you have any further queries. info@brpsa.com

Geneva, December 12th, 2025

The post Hong Kong Taxonomy for Sustainable Finance – Sustainable Finance Alert appeared first on BRP.

]]>
Sri Lanka – CM PB https://brpsa.com/sri-lanka-cm-pb-2/ Fri, 12 Dec 2025 09:00:29 +0000 https://brpsa.com/?p=280759 Country Manual Private Banking Sri Lanka out of Bank’s Country of Establishment (Def, RS, BT & RT) Source of changes Answers Law / Regulation No New Position of the Authorities […]

The post Sri Lanka – CM PB appeared first on BRP.

]]>
Country Manual Private Banking

Sri Lanka

out of Bank’s Country of Establishment (Def, RS, BT & RT)

Source of changesAnswers
Law / RegulationNo
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationNo

Regulatory Template, Regulatory Summary and Behaviour Template

Material changes

We have reviewed the documents following consultations with our local counsel. We can confirm that there have been no relevant regulatory changes since the last publication of this Country Manual.

Non-material changes

Some comments and content have been slightly reworded (without introducing material changes) to reflect the regulatory situation/current interpretation of the regulatory framework more accurately.

BT Short Comparison

This document allows users to quickly identify the modifications made compared to the previous version of the PB Manual (BT Short Comparison). The BT Short Comparison can be found on BRP’s platform (mybrponline) in the Search tab by entering in the Document Field “CM PB BT SHORT COMP” and “SRI LANKA” in the Target Country Field.

The BT Short Comparison should be read as follows:

The first column contains a short description of the activity in question. The second column contains the answers of the previous version of the Country Manual (online until the day of the alert). The third column contains the new answers of the most recent version of the Country Manual. Only the modified answers are displayed (in color). If the answers in the new version are unchanged compared to the previous version, they are shaded in grey.

For more information, please contact us: info@brpsa.com

Geneva, December 12th, 2025

The post Sri Lanka – CM PB appeared first on BRP.

]]>
Belgium out of EEA – CM P https://brpsa.com/belgium-out-of-eea-cm-p/ Thu, 11 Dec 2025 14:55:25 +0000 https://brpsa.com/?p=280751 Country Manual Products Belgium out of EEA out of Bank’s Country of Establishment (Def, RS, BT & RT) Source of changes Answers Law / Regulation No New Position of the […]

The post Belgium out of EEA – CM P appeared first on BRP.

]]>
Country Manual Products

Belgium out of EEA

out of Bank’s Country of Establishment (Def, RS, BT & RT)

Source of changesAnswers
Law / RegulationNo
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationYes

Definitions and Concepts, Regulatory Overview and Behaviour Template

Material changes

The Country Manual has been reviewed to ensure that the content of all the documents remains accurate and up to date. The changes/modifications are as follows:

Activities carried out solely on the basis of documented, specific reverse solicitation — i.e., where the Retail Investor contacts the service provider without any prior marketing — fall into a “Grey zone”, and must be interpreted strictly and conservatively (see below).

Under the “gold-plating” rules, EU Member States may extend certain requirements beyond the harmonised framework of EU directives when transposing them into national law. However, “local distribution rules” generally do not need to be taken into account where an investor approaches or visits the foreign (unlicensed) service provider on the investor’s own initiative and outside the target country (at source). In such cases, the country-specific restrictions mentioned above are no longer reflected in the Country Manuals Products Behaviour Template (CM P BT) for offshore scenarios (at source).

On this occasion, we would like to remind you of the FSMA rules governing the distribution of certain derivatives — specifically Contracts for Difference (CFDs), Binary Options, and Rolling Spot FX contracts — to Retail Investors in Belgium. The FSMA has imposed a permanent ban on the marketing, distribution, or sale of these products to Retail Investors in or into Belgium, subject only to very limited exceptions.

To ensure that the CM P Regulatory Overview (CM P RO) accurately reflects the applicable Belgian framework:

 

Active marketing or distribution of Binary Options, CFDs (including OTC CFDs), and Rolling Spot FX contracts to Retail Investors in or into Belgium — whether onshore (at target) or via remote means of communication into Belgium (remote) — is answered with “NO”.

Non-material changes

Some comments and content have been slightly reworded in the CM P, without introducing substantive changes to reflect the regulatory situation/current interpretation of the regulatory framework more accurately.

It has further been highlighted that the FSMA interprets the concept of reverse solicitation very restrictively, a cautious approach is recommended.

 

For more information, please contact us: info@brpsa.com

Geneva, December 11th, 2025

The post Belgium out of EEA – CM P appeared first on BRP.

]]>
United Arab Emirates – CM CO https://brpsa.com/united-arab-emirates-cm-co/ Thu, 11 Dec 2025 10:26:10 +0000 https://brpsa.com/?p=280746 Country Manual Cryptos Overview Update United Arab Emirates BRP has updated its Country Manuals Cryptos Overview for United Arab Emirates out of Crypto-Asset service provider’s country of establishment (DEF, RS […]

The post United Arab Emirates – CM CO appeared first on BRP.

]]>
Country Manual Cryptos Overview Update

United Arab Emirates

BRP has updated its Country Manuals Cryptos Overview for

United Arab Emirates

out of Crypto-Asset service provider’s country of establishment (DEF, RS & RT)

SOURCE OF CHANGESANSWERS
  Law/Regulation  No
  New Position of the Authorities  No
  Evolution of Expert’s interpretation  Yes

Definitions & Concepts, Regulatory Summary and Behaviour Template

The Country Manual Cryptos Overview has been reviewed to ensure that the content of all the documents remain accurate and up to date.

A new law regulating banking activities in the UAE was issued on 8 September 2025. Federal Decree-Law No. (6) of 2025 regarding the Central Bank, Regulation of Financial Institutions and Activities, and Insurance Business (the “New Banking Law”) became effective on 16 September 2025. The said law repeals and replaces the old Banking Law, Decretal Federal Law No. 14 of 2018 regarding the Central Bank and Organization of Financial Institutions and Activities (the “Law of 2018”). 

The New Banking Law consolidates prudential and conduct supervision of banks and other financial institutions under the CBUAE and expands the CBUAE’s regulatory perimeter to capture technology service providers that facilitate financial services. The inclusion of providing payment services using virtual assets as a licensable activity follows the adoption of the Payment Token Services Regulation in June 2024 (the PTS Regulation), which sets out the revised regulatory framework for the provision of ‘payment token services’ in the UAE. 

Existing regulations, decisions, standards, guidelines and circulars issued under the Central Bank Law remain in force until expressly replaced.

Material changes

In line with the regulatory changes outlined above, the Country Manual has been reviewed to ensure that the content of all the documents remains accurate and up to date.

Non-material changes

Some comments and content have been slightly reworded in the CM, without introducing substantive changes to reflect the regulatory situation/current interpretation of the regulatory framework more accurately.

For more information, please contact us: info@brpsa.com

Geneva, December 11th 2025

The post United Arab Emirates – CM CO appeared first on BRP.

]]>
SIX – Sustainability Report – Alert https://brpsa.com/six-sustainability-report-alert/ Thu, 11 Dec 2025 09:55:35 +0000 https://brpsa.com/?p=280740 BRP Regulatory Alert 26/2025 Chère Cliente, Cher Client, Vous trouvez ci-dessous le lien qui vous permettra d’accéder à notre Alerte réglementaire 26/2025 sur la suspension provisoire du rapport de développement […]

The post SIX – Sustainability Report – Alert appeared first on BRP.

]]>
BRP Regulatory Alert 26/2025
BRP Regulatory Alert 2025



Chère Cliente, Cher Client,

Vous trouvez ci-dessous le lien qui vous permettra d’accéder à notre Alerte réglementaire 26/2025 sur la suspension provisoire du rapport de développement durable de la SIX Exchange Regulation.

Nous nous réjouissons de l’accueil que vous réserverez à cette communication et restons à votre entière disposition pour tout renseignement complémentaire.

Avec nos meilleures salutations,

Genève, 11 décembre 2025


News Fr ; News En


Sehr geehrte Kundinnen und Kunden

Untenstehend finden Sie den Link, der Sie zu unseren News Regulierung 26/2025 über dei vorläufige Aussetzung der Nachhaltigkeitsberichterstattung der SIX Exchange Regulation führt.

Wir hoffen, dass diese Informationen auf Ihr Interesse stossen und wünschen Ihnen eine gute Lektüre. Selbstverständlich stehen wir Ihnen jederzeit für weitere Informationen zur Verfügung.

Mit freundlichen Grüssen,

Genf, 11. Dezember 2025

News De ; News En


The post SIX – Sustainability Report – Alert appeared first on BRP.

]]>
Hong Kong Taxonomy for Sustainable Finance – Sustainable Finance Alert https://brpsa.com/hong-kong-taxonomy-for-sustainable-finance-sustainable-finance-alert/ Thu, 11 Dec 2025 07:54:14 +0000 https://brpsa.com/?p=280717 BRP Alert Sustainable Finance Alert 4/2025 Discover the release of the Alert Sustainable Finance 4 regarding the Hong Kong Taxonomy for Sustainable Finance. Please note that you can find every Sustainable Finance Alert […]

The post Hong Kong Taxonomy for Sustainable Finance – Sustainable Finance Alert appeared first on BRP.

]]>
BRP Alert Sustainable Finance Alert 4/2025

Sustainable Finance Alert 2025

Discover the release of the Alert Sustainable Finance 4 regarding the Hong Kong Taxonomy for Sustainable Finance.

Please note that you can find every Sustainable Finance Alert on our Platform (mybrponline) with the “ESG/Crypto” tab

Do not hesitate to contact us should you have any further queries. info@brpsa.com

Geneva, December 9th, 2025

The post Hong Kong Taxonomy for Sustainable Finance – Sustainable Finance Alert appeared first on BRP.

]]>
Réunion – CM PB https://brpsa.com/reunion-cm-pb/ Wed, 10 Dec 2025 12:00:21 +0000 https://brpsa.com/?p=280735 Country Manual Private Banking Réunion out of Bank’s Country of Establishment (Def, RS, BT & RT) Source of changes Answers Law / Regulation No New Position of the Authorities No […]

The post Réunion – CM PB appeared first on BRP.

]]>
Country Manual Private Banking

Réunion

out of Bank’s Country of Establishment (Def, RS, BT & RT)

Source of changesAnswers
Law / RegulationNo
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationNo

Regulatory Template, Regulatory Summary and Behaviour Template

Material changes

The documents have been reviewed, and we can confirm that there have been no relevant regulatory developments implying material changes since the last update of this Country Manual.

Non-material changes

With regard to reverse solicitation, the Regulatory Summary now states that the French authorities (also overseeing Réunion) comply with ESMA’s reverse solicitation guidelines in connection with MiCA regulation. The aim is to bear in mind that, also with regard to reverse solicitation in relation to investment services, the AMF may take into consideration ESMA’s MiCA guidelines, which provide for a narrow interpretation of the concept of reverse solicitation.

To reflect the strict approach of the French authorities with regard to reverse solicitation, in particular for contacts taking place on the French territory, including Réunion, investment-related prospecting activities with Qualified prospects are now a grey zone.

In the Behaviour Template, the condition “on an occasional basis” has been added to socialising activities in Réunion, to remind that any kind of activity taking place on the Reunionese territory could be considered a relevant element in application of the “bundle of indicators” method. Thus, even for simple socialising activities, it is recommended to avoid a too regular presence in Réunion.

Further non-material developments and amendments have been made throughout all the documents.

BT Short Comparison

This document allows users to quickly identify the modifications made compared to the previous version of the PB Manual (BT Short Comparison). The BT Short Comparison can be found on BRP’s platform (mybrponline) in the Search tab by entering in the Document Field “CM PB BT SHORT COMP” and “RÉUNION” in the Target Country Field.

The BT Short Comparison should be read as follows:

The first column contains a short description of the activity in question. The second column contains the answers of the previous version of the Country Manual (online until the day of the alert). The third column contains the new answers of the most recent version of the Country Manual. Only the modified answers are displayed (in color). If the answers in the new version are unchanged compared to the previous version, they are shaded in grey.

For more information, please contact us: info@brpsa.com

Geneva, December 10th, 2025

The post Réunion – CM PB appeared first on BRP.

]]>
Dubai IFC – NEW CM CO https://brpsa.com/dubai-ifc-new-cm-co/ Tue, 09 Dec 2025 13:23:32 +0000 https://brpsa.com/?p=280729 New BRP Country Manual Cryptos Overview Dubai IFC BRP has published its latest Country Manuals Cryptos Overview for Dubai IFC out of Crypto-Asset service provider’s country of establishment (DEF, RS […]

The post Dubai IFC – NEW CM CO appeared first on BRP.

]]>
New BRP Country Manual Cryptos Overview

Dubai IFC

BRP has published its latest Country Manuals Cryptos Overview for

Dubai IFC

out of Crypto-Asset service provider’s country of establishment (DEF, RS & RT)

For more information, please contact us: info@brpsa.com

Geneva, December 9th, 2025

The post Dubai IFC – NEW CM CO appeared first on BRP.

]]>
Mayotte – CM PB https://brpsa.com/mayotte-cm-pb-2/ Tue, 09 Dec 2025 13:08:17 +0000 https://brpsa.com/?p=280720 Country Manual Private Banking Mayotte out of Bank’s Country of Establishment (Def, RS, BT & RT) Source of changes Answers Law / Regulation No New Position of the Authorities No […]

The post Mayotte – CM PB appeared first on BRP.

]]>
Country Manual Private Banking

Mayotte

out of Bank’s Country of Establishment (Def, RS, BT & RT)

Source of changesAnswers
Law / RegulationNo
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationNo

Regulatory Template, Regulatory Summary and Behaviour Template

Material changes

The documents have been reviewed, and we can confirm that there have been no relevant regulatory developments implying material changes since the last update of this Country Manual.

Non-material changes

With regard to reverse solicitation, the Regulatory Summary now states that the French authorities (also overseeing Mayotte) comply with ESMA’s reverse solicitation guidelines in connection with MiCA regulation. The aim is to bear in mind that, also with regard to reverse solicitation in relation to investment services, the AMF may take into consideration ESMA’s MiCA guidelines, which provide for a narrow interpretation of the concept of reverse solicitation.

To reflect the strict approach of the French authorities with regard to reverse solicitation, in particular for contacts taking place on the French territory, including Mayotte, investment-related prospecting activities with Qualified prospects are now a grey zone.

In the Behaviour Template, the condition “on an occasional basis” has been added to socialising activities in Mayotte, to remind that any kind of activity taking place on Mayotte’s territory could be considered a relevant element in application of the “bundle of indicators” method. Thus, even for simple socialising activities, it is recommended to avoid a too regular presence in Mayotte. Further non

BT Short Comparison

This document allows users to quickly identify the modifications made compared to the previous version of the PB Manual (BT Short Comparison). The BT Short Comparison can be found on BRP’s platform (mybrponline) in the Search tab by entering in the Document Field “CM PB BT SHORT COMP” and “MAYOTTE” in the Target Country Field.

The BT Short Comparison should be read as follows:

The first column contains a short description of the activity in question. The second column contains the answers of the previous version of the Country Manual (online until the day of the alert). The third column contains the new answers of the most recent version of the Country Manual. Only the modified answers are displayed (in color). If the answers in the new version are unchanged compared to the previous version, they are shaded in grey.

For more information, please contact us: info@brpsa.com

Geneva, December 9th, 2025

The post Mayotte – CM PB appeared first on BRP.

]]>
Dubai IFC – CM PB https://brpsa.com/difc-cm-pb/ Mon, 08 Dec 2025 13:42:16 +0000 https://brpsa.com/?p=280713 Country Manual Private Banking Dubai IFC out of Bank’s Country of Establishment (Def, RS, BT & RT) Source of changes Answers Law / Regulation Yes New Position of the Authorities […]

The post Dubai IFC – CM PB appeared first on BRP.

]]>
Country Manual Private Banking

Dubai IFC

out of Bank’s Country of Establishment (Def, RS, BT & RT)

Source of changesAnswers
Law / RegulationYes
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationYes

Regulatory Template, Regulatory Summary and Behaviour Template

Material changes

The DIFC Regulatory Law No.1 of 2004 was amended during 2005 to enhance the powers and efficiency of the Dubai Financial Services Authority (DFSA), in particular with respect to financial crime and recovery/resolution of failing firms. The changes do not materially affect the PB Manual.

There have been some changes to DIFC rules since the last update of this manual. The DFSA routinely amends its Rulebook.

Operating a Representative Office – With regard to occasional promotional visits to the DIFC, note that over-reliance on promotional exemptions by a foreign bank on a prolonged basis during such visits may be deemed by the DFSA to be operating a representative office which would itself require a DFSA licence. The DFSA now considers that in the context of financial promotions made onsite, “a regular basis” would be anything more than occasional and “a prolonged period” would usually be anything more than five consecutive days. Previously it was three days. This provides more flexibility than before in avoiding the requirement to have a local representative office.

Changes To Answers And Comments

With regard to various changes introduced as a result of changes in interpretation:

There is a new comment included for promotion and negotiation activities – “In compliance with financial promotion rules”. This is to emphasise that where a foreign bank is relying on an exemption to the DFIC Financial Promotions Prohibition it must take reasonable care to ensure that any financial promotion it makes in the DIFC:

is clear, fair and not misleading;

includes the credit institution’s name, address and regulatory status;

if it is intended only for deemed Professional Clients, it is not sent or directed to any person who appears on reasonable grounds not to be such a Professional Client, and contains a clear statement that only a person meeting the criteria for deemed Professional Clients should act upon it; and

follows certain guidelines in the event it is targeted at non-qualified clients or contains any information or representation relating to past performance.

Changes in detail by activity type:

Prospecting and Negotiation Activity on Bank’s initiative

For active and passive onsite socialising the comment on an occasional basis has been added.

The answers for Presenting the Bank in General Terms by remote means are now Grey zone/YES as opposed to YES – there should be no promotion of services or products for non-qualified clients and promotion to deemed professional clients is permitted in compliance with financial promotion rules.

The answers for Providing the Bank’s Annual Report and Press Reviews by remote means is now Grey zone/YES there should be no promotion of services or products for non-qualified clients (previous answer was NO) and promotion to deemed professional clients is permitted in compliance with financial promotion rules.

For Providing Marketing Brochures, Presenting Banking Services, Providing Documentation on Banking Services, Presenting Investment Services and Providing Documentation on Investment Services in respect of Qualified Clients the additional comment “In compliance with financial promotion rules” has been added.

For active negotiation activities with Qualified Clients the additional comment “In compliance with financial promotion rules” has been added.

Prospecting and Negotiation Activity on Client’s initiative

For Presenting the Bank in General Terms, Providing the Bank’s Annual Report and Press Reviews, Providing Marketing Brochures, Presenting Banking Services, Providing Documentation on Banking Services, Presenting Investment Services and Providing Documentation on Investment Services in respect of both Non-qualified and Qualified Clients the comment “In compliance with financial promotion rules” has been added. This is to reflect the use of financial promotion exemptions for reverse solicitation or deemed professional clients as appropriate. Use of an exemption requires compliance with DFSA rules as discussed above. Answers that were previously YES for such activities by remote means are now Grey zone/YES.

For passive negotiation activities with Non-qualified and Qualified Clients the additional comment “In compliance with financial promotion rules” has been added.

For passive collection of relevant supporting documentation onsite the answers are now Grey zone/Yes – on an occasional basis – rather than YES.

Activity related to Cards

For activity on the Bank’s initiative relating to offering a debit or credit card and collecting or receiving a signed debit or credit card agreement the comment “In compliance with financial promotion rules” has been added where the answer is Grey zone/YES.

For actively providing a debit card the comment no promotion of financial services has been added for qualified clients.

For passively offering a debit card or a credit card the answers for Qualified and Non-qualified clients are now Grey zone/YES with the comment “In compliance with financial promotion rules”. The same comment has been added for passive collection/receipt of a signed debit card agreement.

For passively providing a debit or credit card the comment no promotion of financial services has been added for non-qualified and qualified clients.

Lombard Credit

For activity on the Bank’s initiative relating to offering Lombard credit and collecting or receiving a signed Lombard credit agreement the comment “In compliance with financial promotion rules” has been added where the answer is Grey zone/YES for qualified clients. The comment “Provided the account was opened in compliance with cross-border rules has been deleted.

For passively offering Lombard credit onsite and by remote means the answers are  Grey zone/YES with the comment “In compliance with financial promotion rules”. The same comment has been added for passive collection/receipt of a signed Lombard credit agreement.

Advisory Activity

For active and passive remote provision of Generic Recommendation Lists, Personalised Recommendation Lists and Ongoing Advice based on an Investment Advisory Agreement the comment “only toward a limited number of prospects/clients” has been added. This reflects the view that the DFSA would not be concerned by isolated and sporadic cases of financial services provided via remote means of communication into the DIFC, but rather by the mass, systematic provision of financial services to a large number of DIFC clients into the DIFC.

Sanctions

There is now wording in the Sanctions Section to that emphasise Article 65 of the DIFC Regulatory Law addresses the unenforceability of agreements made in breach of the financial services prohibition. If a person enters into an agreement while conducting a financial service in violation of the Financial Services Prohibition or as a result of a prohibited financial promotion, the agreement is unenforceable.

Non-material changes

Some content has been amended and/or slightly reworded (without introducing material changes) to reflect the regulatory situation/current interpretation of the regulatory framework more accurately.

BT Short Comparison

This document allows users to quickly identify the modifications made compared to the previous version of the PB Manual (BT Short Comparison). The BT Short Comparison can be found on BRP’s platform (mybrponline) in the Search tab by entering in the Document Field “CM PB BT SHORT COMP” and “DIFC” in the Target Country Field.

The BT Short Comparison should be read as follows:

The first column contains a short description of the activity in question. The second column contains the answers of the previous version of the Country Manual (online until the day of the alert). The third column contains the new answers of the most recent version of the Country Manual. Only the modified answers are displayed (in colour). If the answers in the new version are unchanged compared to the previous version, they are shaded in grey.

For more information, please contact us: info@brpsa.com

Geneva, December 8th, 2025

The post Dubai IFC – CM PB appeared first on BRP.

]]>
Germany – CM C https://brpsa.com/germany-cm-c/ Fri, 05 Dec 2025 07:26:51 +0000 https://brpsa.com/?p=280707 Country Manual Credits Germany – Update 2025 out of Credit Institution’s Country of Establishment (Def, BT & Def) Source of changes Answers Law / Regulation No New Position of the […]

The post Germany – CM C appeared first on BRP.

]]>
Country Manual Credits

Germany – Update 2025

out of Credit Institution’s Country of Establishment (Def, BT & Def)

Source of changesAnswers
Law / RegulationNo
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationYes

Regulatory Template, Behaviour Template and Definitions and Concepts

Material changes

The Country Manual has been reviewed to ensure that the content of all the documents remains accurate and up to date. We can confirm that generally, there have not been any relevant legal or regulatory changes in Hungary since the last update.

Given the inherent threats for the Credit Institution of a leverage effect of Lombard credit (margin financing) agreement where the client’s/prospect’s portfolio serves as collateral, the answer for solicitation and negotiation of Lombard credit services have been changed to Grey zone for all activites onsite and on a remote basis to Germany. This is to reflect the increased risk level for the Credit Institution that local consumer protection rules may apply to a Lombard credit agreement with a prospect or client in Germany, even when the Credit Institution acts upon the client’s or prospect’s request. The potential legal risks for the Credit Institution under German consumer protection law manifest in particular in the case that the mandatory information requirements are not fully complied with.

The section on consumer protection rules have further been thoroughly reviewed and, where appropriated amended.

Non-material changes

The section on consumer protection rules have further been thoroughly reviewed and, where appropriated amended.

 For more information, please contact us: info@brpsa.com

Geneva, December 5th 2025

The post Germany – CM C appeared first on BRP.

]]>
Bermuda – CM PB https://brpsa.com/bermuda-cm-pb-2/ Thu, 04 Dec 2025 09:53:02 +0000 https://brpsa.com/?p=280702 Country Manual Private Banking Bermuda out of Bank’s Country of Establishment (Def, RS, BT & RT) Source of changes Answers Law / Regulation No New Position of the Authorities No […]

The post Bermuda – CM PB appeared first on BRP.

]]>
Country Manual Private Banking

Bermuda

out of Bank’s Country of Establishment (Def, RS, BT & RT)

Source of changesAnswers
Law / RegulationNo
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationNo

Regulatory Template, Regulatory Summary and Behaviour Template

Material changes

We have reviewed the documents following consultations with our local counsel. We can confirm that there have been no relevant regulatory changes since the last publication of this Country Manual.

Non-material changes

Some comments and content have been slightly reworded (without introducing material changes) to reflect the regulatory situation/current interpretation of the regulatory framework more accurately.

BT Short Comparison

This document allows users to quickly identify the modifications made compared to the previous version of the PB Manual (BT Short Comparison). The BT Short Comparison can be found on BRP’s platform (mybrponline) in the Search tab by entering in the Document Field “CM PB BT SHORT COMP” and “BERMUDA” in the Target Country Field.

The BT Short Comparison should be read as follows:

The first column contains a short description of the activity in question. The second column contains the answers of the previous version of the Country Manual (online until the day of the alert). The third column contains the new answers of the most recent version of the Country Manual. Only the modified answers are displayed (in color). If the answers in the new version are unchanged compared to the previous version, they are shaded in grey.

For more information, please contact us: info@brpsa.com

Geneva, December 4th, 2025

The post Bermuda – CM PB appeared first on BRP.

]]>
Switzerland – CM P https://brpsa.com/switzerland-cm-p/ Wed, 03 Dec 2025 07:13:09 +0000 https://brpsa.com/?p=280695 Country Manual Products Switzerland out of Bank’s Country of Establishment (Def, RS, BT & RT) Source of changes Answers Law / Regulation No New Position of the Authorities No Evolution […]

The post Switzerland – CM P appeared first on BRP.

]]>
Country Manual Products

Switzerland

out of Bank’s Country of Establishment (Def, RS, BT & RT)

Source of changesAnswers
Law / RegulationNo
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationNo

Definitions and Concepts, Regulatory Overview and Behaviour Template

Material changes

There are no material changes that affect the answers in the Country Manual Products Behaviour Template (CM P BT).

Non-material changes

Some comments and content have been reworded in the CM to reflect the regulatory situation/current interpretation of the regulatory framework more accurately.

 

For more information, please contact us: info@brpsa.com

Geneva, December 3rd, 2025

The post Switzerland – CM P appeared first on BRP.

]]>
Kuwait – CM P https://brpsa.com/kuwait-cm-p/ Tue, 02 Dec 2025 05:26:42 +0000 https://brpsa.com/?p=280687 Country Manual Products Kuwait out of Bank’s Country of Establishment (Def, RS, BT & RT) Source of changes Answers Law / Regulation No New Position of the Authorities No Evolution […]

The post Kuwait – CM P appeared first on BRP.

]]>
Country Manual Products

Kuwait

out of Bank’s Country of Establishment (Def, RS, BT & RT)

Source of changesAnswers
Law / RegulationNo
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationYes

Definitions and Concepts, Regulatory Overview and Behaviour Template

Material changes

The Country Manual has been reviewed to ensure that the content of all the documents remains accurate and up to date. The changes/modifications are as follows:

In alignment with the Country Manual Private Banking (CM PB), it is highlighted that any provision of execution-only services by foreign (unlicensed) service providers on a cross-border basis into Kuwait (remote) may be accepted without triggering licensing requirements. As the account is opened abroad and the assets held abroad, the acceptance and execution of brokerage orders should not, in principle, constitute a financial activity performed within Kuwait. The Country Manual Products Behaviour Template (CM P BT) therefore now provides the answer “Grey zone/YES – No formal rules. Unofficial tolerated practice”.

Non-material changes

Some comments and content have been slightly reworded in the CM P, without introducing substantive changes to reflect the regulatory situation/current interpretation of the regulatory framework more accurately.

 

For more information, please contact us: info@brpsa.com

Geneva, December 2nd, 2025

The post Kuwait – CM P appeared first on BRP.

]]>
FINMA risk monitoring 2025 – Alert https://brpsa.com/finma-risk-monitoring-2025-alert/ Mon, 01 Dec 2025 12:28:46 +0000 https://brpsa.com/?p=280684 BRP Regulatory Alert 25/2025 Chère Cliente, Cher Client, Vous trouvez ci-dessous le lien qui vous permettra d’accéder à notre Alerte réglementaire 25/2025 sur la monitorage FINMA des risques 2025. Nous […]

The post FINMA risk monitoring 2025 – Alert appeared first on BRP.

]]>
BRP Regulatory Alert 25/2025
BRP Regulatory Alert 2025



Chère Cliente, Cher Client,

Vous trouvez ci-dessous le lien qui vous permettra d’accéder à notre Alerte réglementaire 25/2025 sur la monitorage FINMA des risques 2025.

Nous nous réjouissons de l’accueil que vous réserverez à cette communication et restons à votre entière disposition pour tout renseignement complémentaire.

Avec nos meilleures salutations,

Genève, 1 décembre 2025


News Fr ; News En


Sehr geehrte Kundinnen und Kunden

Untenstehend finden Sie den Link, der Sie zu unseren News Regulierung 25/2025 betreffend dei FINMA-Risikomonitor 2025 führt.

Wir hoffen, dass diese Informationen auf Ihr Interesse stossen und wünschen Ihnen eine gute Lektüre. Selbstverständlich stehen wir Ihnen jederzeit für weitere Informationen zur Verfügung.

Mit freundlichen Grüssen,

Genf, 1. Dezember 2025

News De ; News En


The post FINMA risk monitoring 2025 – Alert appeared first on BRP.

]]>
ESMA’s opinion on product intervention measures by the German BaFin – European Union and Germany https://brpsa.com/esmas-opinion-on-product-intervention-measures-by-the-german-bafin-european-union-and-germany/ Mon, 01 Dec 2025 10:13:40 +0000 https://brpsa.com/?p=280681 BRP Alerts EU 6/2025 and Germany 3/2025 Discover our new Alerts EU and Germany. Contact us @info@brpsa.com to obtain access to our Alerts or for any other enquiries regarding Alerts […]

The post ESMA’s opinion on product intervention measures by the German BaFin – European Union and Germany appeared first on BRP.

]]>
BRP Alerts EU 6/2025 and Germany 3/2025

BRP Cross-border Alert 2025

Discover our new Alerts EU and Germany.

Contact us @info@brpsa.com to obtain access to our Alerts or for any other enquiries regarding Alerts EU 6/2025 and Germany 3/2025 concerning the ESMA’s opinion on product intervention measures by the German BaFin.

.

Geneva, December 1st 2025

The post ESMA’s opinion on product intervention measures by the German BaFin – European Union and Germany appeared first on BRP.

]]>
EU CSR and CSDDD Revision – Sustainable Finance Alert https://brpsa.com/eu-csr-and-csddd-revision-sustainable-finance-alert/ Thu, 27 Nov 2025 15:29:49 +0000 https://brpsa.com/?p=280676 BRP Alert Sustainable Finance Alert 3/2025 Discover the release of the Alert Sustainable Finance 3 regarding the EU CSR and CSDDD Revision. Please note that you can find every Sustainable Finance Alert on […]

The post EU CSR and CSDDD Revision – Sustainable Finance Alert appeared first on BRP.

]]>
BRP Alert Sustainable Finance Alert 3/2025

Sustainable Finance Alert 2025

Discover the release of the Alert Sustainable Finance 3 regarding the EU CSR and CSDDD Revision.

Please note that you can find every Sustainable Finance Alert on our Platform (mybrponline) with the “ESG/Crypto” tab

Do not hesitate to contact us should you have any further queries. info@brpsa.com

Geneva, November 27th, 2025

The post EU CSR and CSDDD Revision – Sustainable Finance Alert appeared first on BRP.

]]>
Austria – CM T https://brpsa.com/austria-cm-t/ Thu, 27 Nov 2025 15:25:07 +0000 https://brpsa.com/?p=280671 BRP Country Manual Trustee Austria SOURCE OF CHANGES ANSWERS   Law/Regulation   No   New Position of the Authorities   No   Evolution of Expert’s interpretation   Yes BRP has […]

The post Austria – CM T appeared first on BRP.

]]>
BRP Country Manual Trustee

Austria

SOURCE OF CHANGESANSWERS
  Law/Regulation  No
  New Position of the Authorities  No
  Evolution of Expert’s interpretation  Yes

BRP has published its latest Country Manual Trustee for

Austria

Regulatory Summary and Behaviour Template

Material changes

We have reviewed the documents and can confirm that there have been no relevant regulatory changes since the last publication of this Country Manual. Nevertheless, some interpretations give room for a more liberal approach (see details below).

 

Non-material changes

We took advantage of this update to revise the wording of certain sentences.

The behaviour rules have been made more precise.

The legal basis list has been updated.

Behaviour Template

The changes are as follows:

In order to maintain a consistent approach, responses relating to the referral of a Custodian Bank, Investment Advisor or Asset Manager have been aligned with our CM Private Banking.

Socialising activities, such as providing a business card, are permitted (“YES” instead of “Grey zone/YES”).

Since trustee services and activities are not expressly regulated in Austria, Trustees must ensure that they do not establish a permanent presence. They might act onsite under certain circumstances, but they should avoid onsite activities involving remuneration and they should act on a strict occasional basis. (“Grey zone” instead of “Grey zone/NO”).

For more information, please contact us: info@brpsa.com

Geneva, November 27th, 2025

The post Austria – CM T appeared first on BRP.

]]>
SFDR 2.0 – Sustainable Finance Alert https://brpsa.com/eu-omnibus-proposal-on-sustainability-simplification-sustainable-finance-alert/ Tue, 25 Nov 2025 15:35:41 +0000 https://brpsa.com/?p=280642 BRP Alert Sustainable Finance Alert 2/2025 Discover the release of the Alert Sustainable Finance 2 regarding the EU SFDR 2.0. Please note that you can find every Sustainable Finance Alert on our Platform […]

The post SFDR 2.0 – Sustainable Finance Alert appeared first on BRP.

]]>
BRP Alert Sustainable Finance Alert 2/2025

Sustainable Finance Alert 2025

Discover the release of the Alert Sustainable Finance 2 regarding the EU SFDR 2.0.

Please note that you can find every Sustainable Finance Alert on our Platform (mybrponline) with the “ESG/Crypto” tab

Do not hesitate to contact us should you have any further queries. info@brpsa.com

Geneva, November 25th, 2025

The post SFDR 2.0 – Sustainable Finance Alert appeared first on BRP.

]]>
Vatican City – CM PB https://brpsa.com/vatican-city-cm-pb/ Tue, 25 Nov 2025 08:20:45 +0000 https://brpsa.com/?p=280621 Country Manual Private Banking Vatican City out of Bank’s Country of Establishment (Def, RS, BT & RT) Source of changes Answers Law / Regulation No New Position of the Authorities […]

The post Vatican City – CM PB appeared first on BRP.

]]>
Country Manual Private Banking

Vatican City

out of Bank’s Country of Establishment (Def, RS, BT & RT)

Source of changesAnswers
Law / RegulationNo
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationNo

Regulatory Template, Regulatory Summary and Behaviour Template

Material changes

The Country Manual has been reviewed to ensure that the content of all the documents remains accurate and up to date. We can confirm that there have not been any relevant legal or regulatory changes in Vatican City since the last update.

Non-material changes

Some comments and content have been slightly reworded (without introducing material changes) to reflect the regulatory situation/current interpretation of the regulatory framework more accurately.

BT Short Comparison

This document allows users to quickly identify the modifications made compared to the previous version of the PB Manual (BT Short Comparison). The BT Short Comparison can be found on BRP’s platform (mybrponline) in the Search tab by entering in the Document Field “CM PB BT SHORT COMP” and “VATICAN CITY” in the Target Country Field.

The BT Short Comparison should be read as follows:

The first column contains a short description of the activity in question. The second column contains the answers of the previous version of the Country Manual (online until the day of the alert). The third column contains the new answers of the most recent version of the Country Manual. Only the modified answers are displayed (in color). If the answers in the new version are unchanged compared to the previous version, they are shaded in grey.

For more information, please contact us: info@brpsa.com

Geneva, November 24th, 2025

The post Vatican City – CM PB appeared first on BRP.

]]>
Isle of Man – CM PB https://brpsa.com/sweden-out-of-eea-cm-pb-2/ Tue, 25 Nov 2025 07:19:54 +0000 https://brpsa.com/?p=280614 Country Manual Private Banking Isle of Man out of Bank’s Country of Establishment (Def, RS, BT & RT) Source of changes Answers Law / Regulation No New Position of the […]

The post Isle of Man – CM PB appeared first on BRP.

]]>
Country Manual Private Banking

Isle of Man

out of Bank’s Country of Establishment (Def, RS, BT & RT)

Source of changesAnswers
Law / RegulationNo
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationNo

Regulatory Template, Regulatory Summary and Behaviour Template

Material changes

There are no significant material changes to be reported since the last update, but we have added an extra comment to the Behaviour Template for Providing Marketing Brochures on the Bank’s initiative that there should be no information on specific services.

Non-material changes

Some answers, in particular in the chapter on collaboration with third parties and in the chapter “Miscellaneous”, have been amended to provide more detail. Also, some comments have been reworded and further non-material changes have been made throughout the documents.

BT Short Comparison

This document allows users to quickly identify the modifications made compared to the previous version of the PB Manual (BT Short Comparison). The BT Short Comparison can be found on BRP’s platform (mybrponline) in the Search tab by entering in the Document Field “CM PB BT SHORT COMP” and “ISLE OF MAN” in the Target Country Field.

The BT Short Comparison should be read as follows:

The first column contains a short description of the activity in question. The second column contains the answers of the previous version of the Country Manual (online until the day of the alert). The third column contains the new answers of the most recent version of the Country Manual. Only the modified answers are displayed (in color). If the answers in the new version are unchanged compared to the previous version, they are shaded in grey.

For more information, please contact us: info@brpsa.com

Geneva, November 24th, 2025

The post Isle of Man – CM PB appeared first on BRP.

]]>
Italy – CM C https://brpsa.com/italy-cm-c-2/ Fri, 21 Nov 2025 06:57:19 +0000 https://brpsa.com/?p=280610 Country Manual Credits Italy – Update 2025 out of Credit Institution’s Country of Establishment (Def, BT & Def) Source of changes Answers Law / Regulation No New Position of the […]

The post Italy – CM C appeared first on BRP.

]]>
Country Manual Credits

Italy – Update 2025

out of Credit Institution’s Country of Establishment (Def, BT & Def)

Source of changesAnswers
Law / RegulationNo
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationNo

Regulatory Template, Behaviour Template and Definitions and Concepts

Material changes

The Country Manual has been reviewed to ensure that the content of all documents remains accurate and in line with the evolving interpretation of the current legal and regulatory framework.

Update on Disbursement in Italy for Credit Types Structured as Mutui

Following a detailed review of Italian civil law, recent case law (Corte di Cassazione, decision no. 19047 of 11 July 2025), and the distinction between mutui and apertura di credito, we have updated the guidance on the possibility of disbursing certain credit types in Italy.

For credit types legally structured as mutui — including consumer credit, portfolio-backed lending (non-Lombard), mortgage credit, corporate lending, and transactional financing — disbursement in Italy could, in principle, trigger the application of Italian law and local licensing requirements for the foreign Credit Institution. Based on this clarification, the answer in the Manual regarding the permissibility of disbursement in Italy has been updated from YES (for portfolio-backed lending (non-Lombard), corporate lending, and transactional financing) respectively from Grey zone (for consumer credits and mortgage credits) to GREY zone/NO, reflecting that such disbursement is not generally permitted without considering potential licensing obligations.

Increased accuracy in highlighting the risk of consumer protection rules being applied

For mortgage credits secured by immovable property located in Italy, the answers in case both RM and the non-qualified prospect (i.e. consumer) are in Credit Institution’s country were modified from YES to Grey zone/YES to highlight the risk of local consumer protection rules being applied.

This potential risk was also added to remote interactions on prospect’s initiative when related to consumer credits and mortgage consumer credits.

The specific explanations were modified accordingly.

Non-material changes

There have been certain, non-material changes to the wording in the RT to improve clarity and comprehension.

In particular, the Tax section of the document has been updated to include clarifications on the scope of obligations, withholding tax, joint liability, filing deadlines, and interpretation of Italian resident debtors, while no material changes to the underlying principles have been made.

 For more information, please contact us: info@brpsa.com

Geneva, November 21st 2025

The post Italy – CM C appeared first on BRP.

]]>
France out of Monaco – CM PB https://brpsa.com/france-out-of-monaco-cm-pb-2/ Fri, 21 Nov 2025 06:46:02 +0000 https://brpsa.com/?p=280606 Country Manual Private Banking France out of Monaco out of Bank’s Country of Establishment (Def, RS, BT & RT) Source of changes Answers Law / Regulation No New Position of […]

The post France out of Monaco – CM PB appeared first on BRP.

]]>
Country Manual Private Banking

France out of Monaco

out of Bank’s Country of Establishment (Def, RS, BT & RT)

Source of changesAnswers
Law / RegulationNo
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationNo

Regulatory Template, Regulatory Summary and Behaviour Template

Material changes

The documents have been reviewed, and we can confirm that there have been no relevant regulatory developments implying material changes since the last update of this Country Manual.

Non-material changes

With regard to reverse solicitation, the Regulatory Summary now states that French authorities comply with ESMA’s reverse solicitation guidelines in connection with MiCA regulation. The aim is to remind us that, also with regard to reverse solicitation in relation to investment services, the AMF may take into consideration ESMA’s MiCA guidelines, which provide for a narrow interpretation of the concept of reverse solicitation.

To reflect the strict approach of the French authorities with regard to reverse solicitation, in particular for contacts taking place on the French territory, investment-related prospecting activities with Qualified prospects are now a grey zone.

In the Behaviour Template, the condition “on an occasional basis” has been added to socialising activities in France, to remind that any kind of activity taking place on the French territory could be considered a relevant element in application of the “bundle of indicators” method. Thus, even for simple socialising activities, it is recommended that Monegasque relationship managers avoid a too regular presence in France.

Further non-material developments and amendments have been made throughout all the documents.

Regulatory Summary

This document has now a more user-friendly layout and reflects the changes contained in the RT.

BT Short Comparison

This document allows users to quickly identify the modifications made compared to the previous version of the PB Manual (BT Short Comparison). The BT Short Comparison can be found on BRP’s platform (mybrponline) in the Search tab by entering in the Document Field “CM PB BT SHORT COMP” and “FRANCE” in the Target Country Field.

The BT Short Comparison should be read as follows:

The first column contains a short description of the activity in question. The second column contains the answers of the previous version of the Country Manual (online until the day of the alert). The third column contains the new answers of the most recent version of the Country Manual. Only the modified answers are displayed (in color). If the answers in the new version are unchanged compared to the previous version, they are shaded in grey.

For more information, please contact us: info@brpsa.com

Geneva, November 21st, 2025

The post France out of Monaco – CM PB appeared first on BRP.

]]>
Updates Several Jurisdictions – CM EAM https://brpsa.com/updates-several-jurisdictions-cm-eam-12/ Thu, 20 Nov 2025 12:09:20 +0000 https://brpsa.com/?p=280579 Country Manual Independent Portfolio Manager/Advisor (EAM) Several Jurisdictions – Update November III 2025 We would like to inform you that BRP has updated various country manuals external asset managers during […]

The post Updates Several Jurisdictions – CM EAM appeared first on BRP.

]]>
Country Manual Independent Portfolio Manager/Advisor (EAM)

Several Jurisdictions Update November III 2025

We would like to inform you that BRP has updated various country manuals external asset managers during this month:

No Material changes

Australia

No Material changes

Belgium

France

Alerts

The full & detailed description of the Country Manuals updates is available on the BRP Platform (www.mybrponline.com). To access the relevant Alert, please connect to the BRP Platform and follow the below instructions.

For more information, please contact us: info@brpsa.com

Best regards,

The post Updates Several Jurisdictions – CM EAM appeared first on BRP.

]]>
Georgia – CM PB https://brpsa.com/georgia-cm-pb-2/ Thu, 20 Nov 2025 09:45:34 +0000 https://brpsa.com/?p=280573 Country Manual Private Banking Georgia out of Bank’s Country of Establishment (Def, RS, BT & RT) Source of changes Answers Law / Regulation No New Position of the Authorities No […]

The post Georgia – CM PB appeared first on BRP.

]]>
Country Manual Private Banking

Georgia

out of Bank’s Country of Establishment (Def, RS, BT & RT)

Source of changesAnswers
Law / RegulationNo
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationNo

Regulatory Template, Regulatory Summary and Behaviour Template

Material changes

We have reviewed the documents following consultations with our local counsel. We can confirm that there have been no relevant regulatory changes since the last publication of this Country Manual.

Non-material changes

Some comments and content have been slightly reworded (without introducing material changes) to reflect the regulatory situation/current interpretation of the regulatory framework more accurately.

Regulatory Summary

This document now has a more user-friendly layout and reflects the changes contained in the RT.

BT Short Comparison

This document allows users to quickly identify the modifications made compared to the previous version of the PB Manual (BT Short Comparison). The BT Short Comparison can be found on BRP’s platform (mybrponline) in the Search tab by entering in the Document Field “CM PB BT SHORT COMP” and “GEORGIA” in the Target Country Field.

The BT Short Comparison should be read as follows:

The first column contains a short description of the activity in question. The second column contains the answers of the previous version of the Country Manual (online until the day of the alert). The third column contains the new answers of the most recent version of the Country Manual. Only the modified answers are displayed (in color). If the answers in the new version are unchanged compared to the previous version, they are shaded in grey.

For more information, please contact us: info@brpsa.com

Geneva, November 20th, 2025

The post Georgia – CM PB appeared first on BRP.

]]>
Armenia – CM PB https://brpsa.com/armenia-cm-pb-2/ Thu, 20 Nov 2025 08:29:43 +0000 https://brpsa.com/?p=280568 Country Manual Private Banking Armenia out of Bank’s Country of Establishment (Def, RS, BT & RT) Source of changes Answers Law / Regulation No New Position of the Authorities No […]

The post Armenia – CM PB appeared first on BRP.

]]>
Country Manual Private Banking

Armenia

out of Bank’s Country of Establishment (Def, RS, BT & RT)

Source of changesAnswers
Law / RegulationNo
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationNo

Regulatory Template, Regulatory Summary and Behaviour Template

Material changes

We have reviewed the documents following consultations with our local counsel. We can confirm that there have been no relevant regulatory changes since the last publication of this Country Manual.

Non-material changes

Some comments and content have been slightly reworded (without introducing material changes) to reflect the regulatory situation/current interpretation of the regulatory framework more accurately.

BT Short Comparison

This document allows users to quickly identify the modifications made compared to the previous version of the PB Manual (BT Short Comparison). The BT Short Comparison can be found on BRP’s platform (mybrponline) in the Search tab by entering in the Document Field “CM PB BT SHORT COMP” and “ARMENIA” in the Target Country Field.

The BT Short Comparison should be read as follows:

The first column contains a short description of the activity in question. The second column contains the answers of the previous version of the Country Manual (online until the day of the alert). The third column contains the new answers of the most recent version of the Country Manual. Only the modified answers are displayed (in color). If the answers in the new version are unchanged compared to the previous version, they are shaded in grey.

For more information, please contact us: info@brpsa.com

Geneva, November 20th, 2025

The post Armenia – CM PB appeared first on BRP.

]]>
FINMA Communication on Supervision 05/2025 – Alert https://brpsa.com/finma-communication-on-supervision-05-2025-alert/ Thu, 20 Nov 2025 08:21:20 +0000 https://brpsa.com/?p=280565 BRP Regulatory Alert 24/2025 Chère Cliente, Cher Client, Vous trouvez ci-dessous le lien qui vous permettra d’accéder à notre Alerte réglementaire 24/2025 concernant la communication de la FINMA sur la […]

The post FINMA Communication on Supervision 05/2025 – Alert appeared first on BRP.

]]>
BRP Regulatory Alert 24/2025



Chère Cliente, Cher Client,

Vous trouvez ci-dessous le lien qui vous permettra d’accéder à notre Alerte réglementaire 24/2025 concernant la communication de la FINMA sur la surveillance 05_2025.

Nous nous réjouissons de l’accueil que vous réserverez à cette communication et restons à votre entière disposition pour tout renseignement complémentaire.

Avec nos meilleures salutations,

Genève, 20 novembre 2025


News Fr ; News En


Sehr geehrte Kundinnen und Kunden

Untenstehend finden Sie den Link, der Sie zu unseren News Regulierung 24/2025 betreffend die Mitteilung der FINMA-Aufsichtsmitteilung 05/2025 führtt.

Wir hoffen, dass diese Informationen auf Ihr Interesse stossen und wünschen Ihnen eine gute Lektüre. Selbstverständlich stehen wir Ihnen jederzeit für weitere Informationen zur Verfügung.

Mit freundlichen Grüssen,

Genf, 20. November 2025

News De ; News En

The post FINMA Communication on Supervision 05/2025 – Alert appeared first on BRP.

]]>
Sweden out of EEA – CM PB https://brpsa.com/sweden-out-of-eea-cm-pb/ Wed, 19 Nov 2025 08:39:57 +0000 https://brpsa.com/?p=280525 Country Manual Private Banking Sweden out of EEA out of Bank’s Country of Establishment (Def, RS, BT & RT) Source of changes Answers Law / Regulation Yes New Position of […]

The post Sweden out of EEA – CM PB appeared first on BRP.

]]>
Country Manual Private Banking

Sweden out of EEA

out of Bank’s Country of Establishment (Def, RS, BT & RT)

Source of changesAnswers
Law / RegulationYes
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationNo

Regulatory Template, Regulatory Summary and Behaviour Template

Material changes

Since the last update of this Manual, the relevant Swedish regulatory framework has been modified by the new Consumer Credit Act (Konsumentkreditlag 2010:1846) — SFS 2024:1238). The label “high-cost credit” (högkostnadskredit) as a special category was removed, but overall consumer protection was tightened. Important new rules concern in particular the following:

A hard one-time rollover limit and group-refinancing anti-avoidance.

The duty of debt-risk and debt-advice warnings in all credit advertisements and marketing;

A numerical cap on borrowing and default interest for virtually all consumer credit, and ban on extra late fees;

A 100% total cost cap including default interest and collection charges, plus anti-refinancing aggregation;

An absolute cap on upfront arrangement fees;

Non-material changes

Some comments and content have been slightly reworded, without introducing substantive changes to reflect the regulatory situation/current interpretation of the regulatory framework more accurately.

For more information, please contact us: info@brpsa.com

Geneva, November 19th, 2025

The post Sweden out of EEA – CM PB appeared first on BRP.

]]>
Netherlands – CM T https://brpsa.com/netherlands-cm-t/ Tue, 18 Nov 2025 10:53:30 +0000 https://brpsa.com/?p=280516 BRP Country Manual Trustee Netherlands SOURCE OF CHANGES ANSWERS   Law/Regulation   Yes   New Position of the Authorities   No   Evolution of Expert’s interpretation   No BRP has […]

The post Netherlands – CM T appeared first on BRP.

]]>
BRP Country Manual Trustee

Netherlands

SOURCE OF CHANGESANSWERS
  Law/Regulation  Yes
  New Position of the Authorities  No
  Evolution of Expert’s interpretation  No

BRP has published its latest Country Manual Trustee for

Netherlands

Regulatory Summary and Behaviour Template

Material changes

The Act on the Supervision of Trust Offices 2018 (“WTT 2018”) was revised this year. A few changes were made, such as the definition of ‘trust offices’ and ‘trust services’, but this has not resulted in any changes to our approach or responses.

 

Non-material changes

We took advantage of this update to revise the wording of certain sentences.

We also added some information on wealth planning and real estate activities in the Netherlands.

The behaviour rules have been made more precise.

The section on anti-avoidance rules has been updated, in particular the list of low-tax jurisdictions.

Behaviour Template

The changes are as follows:

Since reverse solicitation appears to be recognised onsite (no formal rules), negotiation activities at the client’s request seem permitted under conditions. Similarly, if the trustee undertakes pre-contractual activities via remote means of communication based on a relationship initiated in accordance with cross-border rules, there is no prior solicitation of a regulated service; active trustee services could be undertaken remotely under this condition.

To maintain a consistent approach, responses have been aligned with CM Private Banking for referring a Custodian Bank, Investment Advisor or Asset Manager.

For more information, please contact us: info@brpsa.com

Geneva, November 18th, 2025

The post Netherlands – CM T appeared first on BRP.

]]>
Netherlands out of EEA – CM PB https://brpsa.com/netherlands-out-of-eea-cm-pb/ Tue, 18 Nov 2025 09:56:49 +0000 https://brpsa.com/?p=280509 Country Manual Private Banking Netherlands out of EEA out of Bank’s Country of Establishment (Def, RS, BT & RT) Source of changes Answers Law / Regulation Yes New Position of […]

The post Netherlands out of EEA – CM PB appeared first on BRP.

]]>
Country Manual Private Banking

Netherlands out of EEA

out of Bank’s Country of Establishment (Def, RS, BT & RT)

Source of changesAnswers
Law / RegulationYes
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationNo

Regulatory Template, Regulatory Summary and Behaviour Template

Material changes

According to local experts, the framework of the general good provisions and mandatory consumer protection rules in the Netherlands has remained almost unchanged, with the exception that according to a new decree (Besluit Gedragstoezicht financiële ondernemingen Wft9, financial services must be accessible to consumers with disabilities, and the Bank must document and disclose accessibility compliance.

Non-material changes

Some comments and content have been slightly reworded, without introducing substantive changes to reflect the regulatory situation/current interpretation of the regulatory framework more accurately.

For more information, please contact us: info@brpsa.com

Geneva, November 18th, 2025

The post Netherlands out of EEA – CM PB appeared first on BRP.

]]>
Romania out of EEA – CM PB https://brpsa.com/romania-out-of-eea-cm-pb/ Tue, 18 Nov 2025 09:49:49 +0000 https://brpsa.com/?p=280502 Country Manual Private Banking Romania out of EEA out of Bank’s Country of Establishment (Def, RS, BT & RT) Source of changes Answers Law / Regulation No New Position of […]

The post Romania out of EEA – CM PB appeared first on BRP.

]]>
Country Manual Private Banking

Romania out of EEA

out of Bank’s Country of Establishment (Def, RS, BT & RT)

Source of changesAnswers
Law / RegulationNo
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationNo

Regulatory Template, Regulatory Summary and Behaviour Template

Material changes

No relevant modifications of the Romanian regulatory framework comprising provisions of the general good and mandatory consumer protection rules have been indicated to us since the last update.

Non-material changes

Some comments and content have been slightly reworded, without introducing substantive changes to reflect the regulatory situation/current interpretation of the regulatory framework more accurately.

For more information, please contact us: info@brpsa.com

Geneva, November 18th, 2025

The post Romania out of EEA – CM PB appeared first on BRP.

]]>
Israel – NEW CM CO https://brpsa.com/israel-new-cm-co/ Mon, 17 Nov 2025 08:23:28 +0000 https://brpsa.com/?p=280351 New BRP Country Manual Cryptos Overview Israel BRP has published its latest Country Manuals Cryptos Overview for Israel out of Crypto-Asset service provider’s country of establishment (DEF, RS & RT) […]

The post Israel – NEW CM CO appeared first on BRP.

]]>
New BRP Country Manual Cryptos Overview

Israel

BRP has published its latest Country Manuals Cryptos Overview for

Israel

out of Crypto-Asset service provider’s country of establishment (DEF, RS & RT)

For more information, please contact us: info@brpsa.com

Geneva, November 17th, 2025

The post Israel – NEW CM CO appeared first on BRP.

]]>
Norway out of EEA – CM PB https://brpsa.com/norway-out-of-eea-cm-pb/ Mon, 17 Nov 2025 07:15:42 +0000 https://brpsa.com/?p=280280 Country Manual Private Banking Norway out of EEA out of Bank’s Country of Establishment (Def, RS, BT & RT) Source of changes Answers Law / Regulation Yes New Position of […]

The post Norway out of EEA – CM PB appeared first on BRP.

]]>
Country Manual Private Banking

Norway out of EEA

out of Bank’s Country of Establishment (Def, RS, BT & RT)

Source of changesAnswers
Law / RegulationYes
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationYes

Regulatory Template, Regulatory Summary and Behaviour Template

Material changes

No fundamental modifications of the general good provisions and mandatory consumer protection rules framework have been indicated since the last update. Some updates and clarifications concern:

Marketing materials must not emphasize that credit is easily available, including that the credit may be used or application granted quickly, that the application process is simple or that the threshold for granting credit is low. The word emphasize entails that such information must not be given more prominence than the disclosure of the annual percentage rate.

Marketing must be clearly recognisable as such and claims in marketing relating to factual circumstances must be documented.

Customers have the right to op out of electronic communication.

Credit may not be marketed by way of door to door sales.

Where bonuses or other additional advantages are marketed in conjunction with credit (airline miles, etc.), these advantages cannot be given a more prominent place in the marketing than the information required by law.

Non-material changes

Legal references have been updated and minor non-material streamlining has been implemented throughout the documents.

For more information, please contact us: info@brpsa.com

Geneva, November 17th, 2025

The post Norway out of EEA – CM PB appeared first on BRP.

]]>
Iceland out of EEA – CM PB https://brpsa.com/iceland-out-of-eea-cm-pb/ Mon, 17 Nov 2025 07:11:48 +0000 https://brpsa.com/?p=280276 Country Manual Private Banking Iceland out of EEA out of Bank’s Country of Establishment (Def, RS, BT & RT) Source of changes Answers Law / Regulation Yes New Position of […]

The post Iceland out of EEA – CM PB appeared first on BRP.

]]>
Country Manual Private Banking

Iceland out of EEA

out of Bank’s Country of Establishment (Def, RS, BT & RT)

Source of changesAnswers
Law / RegulationYes
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationNo

Regulatory Template, Regulatory Summary and Behaviour Template

Material changes

No relevant material changes of the provisions of the general good and mandatory consumer protection rules have been communicated since the last update of the Manual.

Non-material changes

Some legal basees have been updated and further non-material amendments have been made throughout the documents.

For more information, please contact us: info@brpsa.com

Geneva, November 17th, 2025

The post Iceland out of EEA – CM PB appeared first on BRP.

]]>