
Given the international nature of the asset management industry, lawyers representing investors, asset managers, and regulators are often confronted with asset management agreements governed by foreign law. This book provides the necessary points of law and practice in the leading jurisdictions allowing lawyers to identify the main pitfalls concerning the foreign law in question. This book is the only comparative analysis of the law of asset manager liability in the major European jurisdictions, the United States, and Canada, each written by specialists from the relevant jurisdiction. This is a much-needed guide on the disparate regulation of asset manager liability in these countries highlighting the absence of uniformity in this area of law despite the implementation of MiFID in Europe. The section on European law provides an overview of the regulation in this field regionally and provides the context in which the national chapters explore the regulation at country level. The comparative evaluation at the end of the book provides a thoughtful assessment of the impact of regulatory frameworks on asset managers private law duties and liabilities. The Introduction situates the country-by-country material within the broader context of questions about regulatory design and effectiveness.
This book investigates the complex and disparate legal frameworks governing the liability of asset managers across major international jurisdictions. The authors, Danny Busch and Deborah DeMott, curate a collection of expert analyses to address the lack of uniformity in private law duties for asset managers. By examining regulatory design and effectiveness, the text provides a structured approach for legal professionals to navigate cross-border asset management agreements.
What You Will Find
Scope Limits
Legal practitioners and academics identify this work as a primary resource for understanding the fragmented nature of international asset management liability. Experts highlight the text for its utility in identifying jurisdictional pitfalls when dealing with foreign law in cross-border financial agreements.
Page Count:
618
Publication Date:
2012-01-01
ISBN-10:
0191630977
ISBN-13:
9780191630972
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