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As at May 2021, 821 companies comprised the sub-market, with an average market cap of £80 million per listing. [2] AIM has also started to become an international exchange, often due to its low regulatory burden, especially in relation to the US Sarbanes–Oxley Act (though only a quarter of AIM-listed companies would qualify to be listed on a ...
All UCITS funds must comply with the same investment limits. A collective investment fund may apply for UCITS status in order to allow EU-wide marketing. The concept is to create a single funds market across the EU. The aim is that with a larger market the economies of scale will reduce costs for investment managers which can be passed on to ...
The FTSE AIM All-Share Index was revised from the previous FTSE AIM Index on 16 May 2005, and is a stock market index consisting of all companies quoted on the Alternative Investment Market which meet the requirements for liquidity and free float. [1]
File:The Alternative Investment Fund Managers (Amendment) Regulations 2018 (UKSI 2018-134).pdf
Each stock exchange has its own listing requirements or rules.Initial listing requirements usually include supplying a history of a few years of financial statements (not required for "alternative" markets targeting young firms); a sufficient size of the amount being placed among the general public (the free float), both in absolute terms and as a percentage of the total outstanding stock; an ...
The IPO market was closed in China throughout 2013. Therefore, no new listings took place on ChiNext during that year. In January 2014, there were 24 new listings following the decision of CSRC to reopen the IPO market. In May 2014, CSRC announced a change in rules that eased profitability requirements for firms seeking a listing on ChiNext. [9]
Irish QIAIFs are subject to the EU Alternative Investment Fund Managers Directive 2011 (“AIFMD”) which lays out detailed rules on the process of constructing (e.g. diversification, leverage), managing (e.g. AIFM approved managers), and marketing (e.g. qualifying investors) of QIAIFs in Europe.
The reporting requirements of Directive 2011/61/EU apply to all AIFMs who manage or market alternative funds within the EU. [26] To fulfill the reporting requirements, AIFMs must file an Annex IV report within 30 days of the end of the applicable reporting period, which is determined by the amount of an AIFM's assets under management.