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Consolidated list of waivers, modifications and CRR permissions granted [xlsx]
Consolidated list of waivers, modifications and CRR Permissions -
Warning Notice Statement 20/2 [pdf]
On 18 September 2020, the Financial Conduct Authority (the FCA) gave Carillion plc (in liquidation since 15 January 2018) and certain previous executive directors of Carillion a warning notice each, proposing to take action in respect of the conduct -
Decision Notice: Corrado Abbattista [pdf]
This Decision Notice refers to a breach of Article 15 of the Market Abuse Regulation. Our view is that the individual is not fit and proper and therefore a financial penalty and a prohibition should be imposed. -
Decision Notice 2020: Eurofin Capital Ltd [pdf]
This decision notice (Eurofin Capital Ltd) refers to breaches of The Money Laundering, Terrorist Financing and Transfer of Funds (Information on the Payer) Regulations 2017 related to failing to be open and co-operative in the trading firm sector. -
Decicion Notice 2020: Finelease – Leasing European SA [pdf]
This decision notice (Finelease – Leasing European SA) refers to breaches of The Money Laundering, Terrorist Financing and Transfer of Funds (Information on the Payer) Regulations 2017 related to -
Decision Notice 2020: Conor Martin Foley [pdf]
Decision Notice 2020: Conor Martin Foley -
Second Supervisory Notice 2020: Perry Prowse (Insurance Consultants) Ltd [pdf]
Second Supervisory Notice for Perry Prowse (Insurance Consultants) Ltd. -
First Supervisory Notice 2020: Perry Prowse (Insurance Consultants) Ltd [pdf]
First Supervisory Notice for Perry Prowse (Insurance Consultants) Ltd. -
First supervisory notice 2020: F1 Markets Ltd [pdf]
This first supervisory notice concerns the FCA’s use of its power of intervention in respect of an inward service passported EEA investment firm for breaches of MiFID obligations. We imposed requirements on the firm to prevent it from providing -
First supervisory notice 2020: Rodeler Ltd [pdf]
This first supervisory notice concerns the FCA’s use of its power of intervention in respect of an inward service passported EEA investment firm for breaches of MiFID obligations. We imposed requirements on the firm to prevent it from providing