Klaus Henrik Wiese-Hansen, Christina Riisnes, Christoffer N. Sortland
The article informs that Financial Supervisory Authority of Norway (FSAN) are receiving and scrutinizing marketing applications put by fund managers for Alternative Investment Funds (AIFs). It has been suggested to draft each AIF in Norway on the basis of article 36 or 42 of the Alternative Investment Fund Managers Directive (AIFMD), which will be approved after fulfillment of the marketing conditions of the Norwegian AIFM Act.
© 2001-2024 Fundación Dialnet · Todos los derechos reservados