We previously advised that the FCA had proposed a delay to the deadline for the first assessment as fit and proper for individuals in a certificated role – for example financial advisers. That required the Treasury to issue a statutory instrument to enable the delay. As of 2 September, following a request from the FCA, the Treasury has made a statutory instrument to delay, from 9 December 2020 until 31 March 2021, the deadline for solo-regulated firms to have undertaken the first assessment of the fitness and propriety of their Certified Persons.
The FCA has also consulted to change to the same date in the FCA Handbook, the deadline for the following requirements:
- the date the Conduct Rules come into force, for staff who are not Senior Managers or Certification Staff;
- the deadline for submission of information about Directory Persons to the Register.
Confirmation of this is likely to be published in October 2020.
You can read the FCA statement in full here.



Advising non-UK clients
Alistair MacDougall Compliance Conduct, EEA, email, EU, FCA, MiFID, passport, PI, vulnerable
Despite the fact that the UK ceased to be a member of the EU/EEA almost a year ago, we are still asked for advice around how a UK firm can take on a new non-UK client or continue to deal with such clients that the firm had pre-BREXIT. We have written before about the general […]