Inside this Topic Guide
The EU Regulation on key information documents (or KIDs) for packaged retail and insurance-based investment products (PRIIPs) (Regulation (EU) 1286/2014) introduced a new pan-European pre-contractual product disclosure document.
The PRIIPs Regulation obliges manufacturers of PRIIPs, such as fund managers, insurance companies, credit institutions and investment firms, to produce a clear concise document – the Key Information Document or KID – where such products are made available to retail investors. The PRIIPs Regulation sets out the rules for the content and format of the KID, as well as for its review and timing of delivery. In addition, any person advising on or selling a PRIIP, which may be the PRIIP manufacturer itself for direct sales or distributors and intermediaries for indirect sales, also has to comply with the PRIIPs KID regime.
PRIIPs include packaged retail investment products as well as insurance-based insurance products. The two elements of a packaged retail investment product are that (i) the returns of a PRIIP are exposed to uncertainty or fluctuations and (ii) the fact that there should be some form of packaging or indirectness.
The main objective of the PRIIPs regime is to ensure that investors are adequately informed about the characteristics of the product to enable them to make an informed investment decision and further that they are treated fairly by product distributors.
The Regulation came into force in EU member states on 29 December 2014. It applied from 1 January 2018. The final RTS on KIDs was published in the Official Journal on 12 April 2017 and entered into force on 2 May 2017.
In December 2021, transitional arrangements exempting management companies, investment companies and persons advising on, or selling, units of undertakings for collective investment in transferable securities (UCITS) and non-UCITS from the requirement to provide retail investors with a PRIIPs KID were extended to 31 December 2022 via amendments to the PRIIPs Regulation and UCITS Directive.
A Delegated Regulation, also published in December 2021, amended PRIIPs regulatory technical standards (RTS) relating to, among other things, the presentation and contents of KIDs, including methodologies for the calculation and presentation of risks, rewards and costs. These new requirements were to apply from 1 July 2022, but will be delayed to 1 January 2023, in order to align the application deadline with the end of the transitional exemption.
The PRIIPs KID Regulation (EU) 1286/2014 applied from 1 January 2018. The application date was delayed by one year due to there being a number of significant issues with the Commission's regulatory technical standards (RTS), the detailed rules on the presentation, content and revision of the KID, which resulted in the Parliament rejecting them in September 2016. Revised RTS were subsequently adopted and Delegated Regulation (EU) 2017/653 entered into force in May 2017 and applied from 1 January 2018.
A number of Level 2 measures were required by the PRIIPs Regulation
|Level 2 Measures||Purpose||Status|
|Rules on the presentation content, review and revision of the KID and the conditions for fulfilling the requirement to provide a KID
A corrigendum to the Delegated Regulation was published in May 2017 which amends certain formula in Annex II and Annex IV of the Delegation Regulation
Entered into force 2 May 2017
|Rules on product intervention powers by competent authorities and EIOPA||
Entered into force 18 November 2016
Applied from 31 December 2016
In addition, the Commission could have adopted delegated acts specifying the details of the procedures used to establish whether a PRIIP targets specific environmental or social objectives. However, in Joint Technical Advice issued in July 2017, the ESAs concluded that it would not be proportionate to establish specific and detailed standalone obligations for PRIIPs that target specific environmental or social objectives and that existing measures are sufficiently stringent.
Guidance on the application of PRIIPs has been issued by the Commission and the ESAs.
In July 2017, the Commission adopted a communication containing guidelines on the application of PRIIPs.
The Joint Committee of the ESAs (EBA, ESMA and EIOPA) have issued Q&As on the KID, which are periodically updated, and are intended to promote supervisory convergence on the contents of the KID. On 14 November 2022, the most recent version of the Q&As were published.
Due to the cross-over between MiFID2 and PRIIPs in a number of key areas, Guidance issued in relation to MiFID2/MiFIR may be relevant. Further information is available on the MiFID2 Topic Guide. In addition, PRIIPs crosses over into the Insurance Distribution Directive (IDD). Guidance from the European Insurance and Occupational Pensions Authority (EIOPA) is available on the EIOPA website.
Regulation and RTS applied from 1 January 2018.
- Originally 31 December 2021, delayed by 12 months to 31 December 2022: End of transitional arrangement whereby management companies, investment companies and persons advising on, or selling, units of UCITS and non-UCITS are temporarily exempted from the requirement to provide retail investors with a key information document
- 1 January 2023: amendments introduced by Delegated Regulation (EU) 2021/2268 (as amended) to the RTS set out in Delegated Regulation (EU) 2017/653 apply
- Q1 2023: EU Commission expected to publish its review of the retail investment framework, including revised retail investor protection rules contained under, among other things, the PRIIPs Regulation
- Timing uncertain: EU Commission to complete its review of the PRIIPs Regulation. On 2 May 2022, the ESAs published their technical advice to the Commission setting out recommendations
|Andrew Bryan (London)||Simon Gleeson (London)|
|Charlotte Chopping (London)||Julia Machin (London)|
|Katherine Coates (London)||Habib Motani (London)|
|Andrew Coats (London)||Madalina Rachieru-Postolache (Bucharest)|
|Simon Crown (London)||Werner Radziwill (Frankfurt)|
|Lounia Czupper (Brussels)||Simon Sinclair (London)|
|Caroline Dawson (London)||Robert Smit (Amsterdam)|
|Paul Ellison (London)||Jurgen van der Meer (Amsterdam)|
|Gregor Evenkamp (Frankfurt)||Jessica Walker (London)|