45-325 - Filing Requirement and Fee Payable for Exempt Distributions involving Fully Managed Accounts [CSA Staff Notice]
Published Date: | 2019-02-07 |
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Effective Date: | 2019-02-07 |
Document(s): |
This notice is intended to clarify when Form 45-106F1 Report of Exempt Distribution (Form 45-106F1) of National Instrument 45-106 Prospectus Exemptions (NI 45-106) is required to be filed, and fees paid, for exempt distributions involving fully managed accounts.
Background
In 2016, the Canadian Securities Administrators (the CSA) introduced a streamlined and harmonized version of Form 45-106F1 as part of an effort to reduce the compliance burden for issuers and underwriters distributing securities under prospectus exemptions, while ensuring Form 45-106F1 continues to provide securities regulators with the necessary information to facilitate more effective regulatory oversight of the exempt market and improve analysis for policy development purposes.
Among other changes made, the reporting of exempt distributions involving fully managed accounts was simplified to reduce regulatory burden on issuers and underwriters. In all jurisdictions, Form 45-106F1 only requires issuers and underwriters to provide information on the trust company, trust corporation or registered adviser who had purchased securities on behalf of a fully managed account in item 7 and Schedule 1 and no longer requires information about the beneficial owners of the fully managed account.
While Form 45-106F1 has been harmonized, the requirement to file and pay filing fees for Form 45-106F1 continues to be governed by the securities legislation of each CSA jurisdiction.
Reporting requirement for exempt distributions involving fully managed accounts Issuers and underwriters who rely on the accredited investor prospectus exemption (the AI Exemption) in section 2.3 of NI 45-106 to distribute securities are required to file a Form 45-106F1 within a prescribed timeframe. An accredited investor includes:
- a trust company or trust corporation registered or authorized to carry on business under the Trust and Loan Companies Act (Canada) or under comparable legislation in a jurisdiction of Canada or a foreign jurisdiction, acting on behalf of a fully managed account managed by the trust company or trust corporation; and
- a person acting on behalf of a fully managed account managed by that person, if that person is registered or authorized to carry on business as an adviser or the equivalent under the securities legislation of a jurisdiction of Canada or a foreign issuer.
Section 2.3(2) of NI 45-106 states that for the purpose of the AI Exemption, a trust company or trust corporation described in paragraph (p) of the definition of “accredited investor” in section 1.1 of NI 45-106 is deemed to be purchasing as principal. Similarly, section 2.3(4) of NI 45-106 states that for the purpose of the AI Exemption, a person described in paragraph (q) of the definition of “accredited investor” in section 1.1 of NI 45-106 is deemed to be purchasing as principal. Instruction 4 of Form 45-106F1 requires issuers and underwriters to provide information on the trust company, trust corporation or registered adviser who had purchased securities on behalf of a fully managed account and not the beneficial owners of the fully managed account.
Filing and Fee Requirements
In accordance with Instruction 1 of Form 45-106F1, if a distribution is made in more than one jurisdiction of Canada, the issuer may complete a single Form 45-106F1 and file it in each jurisdiction of Canada in which the distribution occurs. In order to determine the fee payable in each jurisdiction, please refer to Annex A.
In each jurisdiction other than Manitoba, Québecand Saskatchewan, the requirement to file Form 45-106F1 in respect of a distribution involving a fully managed account is based on the location of the trust company, trust corporation or registered adviser deemed to be purchasing the securities as principal in accordance with section 2.3(2) or 2.3(4) of NI 45-106, as applicable. The requirement to pay a fee in these jurisdictions is triggered by the requirement to file Form 45-106F1. Accordingly, there is no requirement to file Form 45-106F1 or to pay a fee in these jurisdictions based on the location of the beneficial owner of a fully managed account.
In Manitoba andQuébec, the requirements to file Form 45-106F1 and pay fees are based on the location of the beneficial owner of a fully managed account. A Form 45-106F1 is not required to be filed in these jurisdictions if only the trust company, trust corporation or registered adviser who had purchased securities on behalf of a fully managed account is located in the jurisdiction and there are no beneficial owners in the jurisdiction. Because Form 45-106F1 does not require issuers to provide information on the beneficial owners of fully managed accounts, the regulators in these jurisdictions require that issuers file an accompanying letter with the Form 45-106F1 stating the gross value of securities distributed to beneficial owners located in those jurisdictions.
In Saskatchewan, the requirement to file Form 45-106F1 and pay a fee is based on the location of the distribution. This could mean that the form should be filed in Saskatchewan if the trust company, trust corporation or registered adviser who had purchased securities on behalf of a fully managed account and/or the beneficial owner of a fully managed account is located in Saskatchewan. The Financial and Consumer Affairs Authority of Saskatchewan has issued blanket relief to waive the filing requirements in respect of a distribution to the beneficial owner of a fully managed account where the trust company, trust corporation or registered adviser who had purchased securities on behalf of a fully managed account is not located in Saskatchewan. As no filing will be required in these cases, no fee is triggered.
Questions
Please refer your questions to any of the following:
Jo-Anne Matear Manager, Corporate Finance Branch Ontario Securities Commission 416-593-2323 | Yan Kiu Chan Legal Counsel, Corporate Finance Branch Ontario Securities Commission 416-204-8971 | ||
Frederick Gerra Senior Legal Counsel, Investment Funds and Structured Products Branch Ontario Securities Commission 416-204-4956 | Kevin Yang Senior Research Analyst, Strategy and Operations Branch Ontario Securities Commission 416-204-8983 | ||
Gloria Tsang Senior Legal Counsel, Compliance and Registrant Regulation Branch Ontario Securities Commission 416-593-8263 Jody-Ann Edman Assistant Manager, Financial Reporting British Columbia Securities Commission 604-899-6698 Leslie Rose Senior Legal Counsel, Corporate Finance British Columbia Securities Commission 604-899-6654 Sonne Udemgba Deputy Director, Legal, Securities Division, Financial and Consumer Affairs Authority of Saskatchewan 306-787-5879 Steven Weimer Team Lead, Compliance, Data & Risk Alberta Securities Commission 403-355-9035 Jack Jiang Securities Analyst, Corporate Finance Nova Scotia Securities Commission 902-424-7059 Renée Dyer Superintendent of Securities Office of the Superintendent of Securities Service NL 709-729-4909 Thomas Hall Superintendent of Securities Department of Justice Government of the Northwest Territories 867-767-9305
| Gabriel Chénard Senior Policy Analyst, Investment Funds Autorité des marchés financiers 514 395-0337 ext : 4482 gabriel.chenard@lautorite.qc.ca Kristina Beauclair Analyst, Corporate Finance Autorité des marchés financiers 514-395-0337 ext: 4397 kristina.beauclair@lautorite.qc.ca Victoria Steeves Senior Legal Counsel, Corporate Finance British Columbia Securities Commission 604-899-6791 Wayne Bridgeman Deputy Director, Corporate Finance Manitoba Securities Commission 204-945-4905 Ella-Jane Loomis Senior Legal Counsel, Securities Financial and Consumer Services Commission (New Brunswick) 506-453-6591 Steven Dowling Acting Director Superintendent of Securities Government of Prince Edward Island 902-368-4551 Rhonda Horte Securities Officer Office of the Yukon Superintendent of Securities 867-667-5466 Jeff Mason Superintendent of Securities Department of Justice Government of Nunavut 867-975-6591 |