On February 10, 2012, two groups of Canadian securities regulators each published a different proposal concerning the requirement to become registered as an investment fund manager (IFM) in the provinces or territories of Canada.  These proposals respond to comments that the Canadian Securities Administrators (CSA) received on the CSA’s proposed amendments to National Instrument 31-103 Registration Requirements, Exemptions and Ongoing Registrant Requirements regarding “non-resident” IFM registration published in October 2010. (...)

type Investment Management Bulletin - March 2012