k8·凯发天生赢家·一触即发(中国区)官方网站

Short Swing Profit Rules in the Asset Management Industry
2022.10.21

Short Swing Profit Rules in the Asset Management Industry


作者 k8凯发天生赢家·一触即发金融部


1.Legislation on Short Swing Profit Rules


(1)Rules


According to Article 44 of the Securities Law of the People’s Republic of China (the "Securities Law"), where a shareholder holding 5% or more shares or securities with equity nature ("major shareholder") of a Stock Exchange listed company or a company listed on the National Equities Exchange and Quotations (known as the New Third Board) may not sell (or purchase) such securities in no more than 6 months after purchase (or sale) of the same; otherwise, the short swing profit shall be vested in the listed company.


(2)Legislative Intent


According to the interpretation on the official website of the National People's Congress of the People's Republic of China, the major shareholders have more voting rights in deciding major issues of a company and are insiders with access to inside information as defined in the Securities Law.


In order to prevent them from taking advantage of their dominant position of holding a large percentage of shares and influencing the price of such shares through frequent trading of the company's shares to damage other small and medium shareholders’ interests, the Securities Law has made such restrictive rules.


(3)Consequences of Violation


According to Article 189 of the Securities Law, the major shareholders trade in shares or securities with equity nature in violation of Article 44 of the Securities Law shall be given a warning and concurrently fined between RMB100,000 and RMB1,000,000.


2.Exemption in the Asset Management Sector


(1)Legal Ground for the Exemption


The China Securities Regulatory Commission ("CSRC") has been authorized by Article 44 of the Securities Law to grant exemptions under specific circumstances, in spite of the above restrictive provisions.


(2)Rules on the Exemption


(a)Exemption to Public Funds


According to regulatory rules by CSRC on disclosure of interest ("DOI") and short swing profit rules with respect to public funds, CSRC has granted an exemption from such requirement to domestic public funds of public fund management companies ("FMCs").


However, for one public fund of an FMC holding an aggregate of 5% or more shares or securities with equity nature of a listed company, there is no such exemption.


(b)Exemption to National Social Security Fund


Pursuant to regulatory rules by CSRC, in the event that the National Social Security Fund holds 5% or more shares or securities with equity nature of a listed company, if the investment decisions made by the National Council for Social Security Fund ("NCSSF") and each investment manager are independent of each other, then it is not subject to the short swing profit rules; otherwise, the rules will apply.  


In addition, if a single investment manager entrusted by the National Social Security Fund holds more than 5%, it shall strictly follow the short swing profit rules.


(3)Asset Managers without Exemption


CSRC has not applied the above exemption policy to (i) private asset management products issued by FMCs, securities companies, futures companies and their subsidiaries, (ii) private funds, (iii) trust schemes, wealth management products and insurance asset management products.


3.Exemptions for Foreign Investors?


(1)Classic Cases


In the case of Nanning Sugar (a listed company) v. Martin Currie Investment Management Ltd., (QFII), where the QFII was sued for its violation of short swing profit rules, the parties finally entered into a settlement agreement after more than two years.


Pursuant to the settlement agreement, Martin Currie agreed to pay Nanning Sugar a lump sum of RMB40 million in U.S. dollar equivalent as settlement payment, but the parties agreed that the execution of the settlement agreement does not constitute an admission by Martin Curie that it has violated short swing profit rules, nor does it constitute an admission by Nanning Sugar that Martin Currie has not violated such rules.


(2)Current Regulation

?


Such exemption by CSRC is currently not available to foreign mutual funds or other retail funds that invest in A shares through either QFII/RQFII or Stock Connect schemes.


(3)Legislative Development


On October 16th 2022, with respect to short swing profit rules (and perhaps DOI rules together, as anticipated), it was reported that CSRC is considering granting a special exemption to foreign mutual funds and other retail funds, by reference to the exemption to domestic public funds.


4.Some Notes on Short Swing Profit Rules


For compliance with short swing profit rules, risks tend to come from ignoring details. In practice, the issues that need attention are far more than the above-mentioned general provisions, including but not limited to:


  • Identification of a major shareholder (on an actual controlling basis?)


  • Buying and selling (negotiated shares transfer and purchase of private placement shares included?)


  • The scope of securities with equity nature (DR and CB included?)


  • Other exemption or non-exemption (triggering short swing profit rules passively exempted?)


  • Commencement of the six-month period (starting from the last selling or buying?)


  • Calculation of the profit (the lowest-in highest-out rule?)



往期回顾:

1.《k8凯发天生赢家·一触即发金融监管观察 | 内保外贷业务中的外汇监管合规》

2.《Regulatory Issues on Onshore Guarantee for Offshore Loans》

3.《k8凯发天生赢家·一触即发金融监管观察 | 信托业转型新时代已开启——《信托业务分类新规》对信托业务的影响(上)》

4.《k8凯发天生赢家·一触即发金融监管观察 | 信托业转型新时代已开启——《信托业务分类新规》对信托业务的影响(中)》

5.《k8凯发天生赢家·一触即发金融监管观察 | 信托业转型新时代已开启——《信托业务分类新规》对信托业务的影响(下)》


*本文由k8凯发天生赢家·一触即发金融部邹野律师撰写


k8凯发天生赢家·一触即发金融部


k8凯发天生赢家·一触即发金融部致力于在具有中国特色的金融法律监管环境下帮助客户解决各类复杂问题,为客户提供全面的、综合性的金融领域法律服务。k8凯发天生赢家·一触即发金融部由银行与金融、家事服务和财富管理、特殊资产与破产重组三大业务领域构成,在结构化融资、资产管理及破产重组领域经验丰富、业绩卓著,能够系统地提出行之有效且极具创新性的综合性解决方案,自始处于国内领先地位。


三大业务领域的有效联动,实现了业务全方位、全周期覆盖,拥有完整行业生态和资源。基于卓越的市场及行业口碑,k8凯发天生赢家·一触即发金融部现已与国内外众多银行及理财子公司、信托公司、各大资产管理公司及各地方资产管理公司、公司及资管公司、公募基金公司及子公司、保险公司及保险资管公司等各类型的金融机构建立了融洽的长期合作关系。


金融部联系人:

北京办公室:龙海涛(haitao.long@yuanfo.net)

                    任谷龙(gulong.ren@yuanfo.net)

上海办公室:邹   野(eric.zou@yuanfo.net)

深圳办公室:邓伟方(weifang.deng@yuanfo.net)













One-stop legal services, with you every step of the way.

Subscribe
*
*
*
*
*
*
Click Refresh
Business areas that interest you (multiple choices)
The industry field you are interested in (multiple choices)
Reminder:
Submitting this form is considered as your request to receive industry research reports and publications from Zhi De Law Firm.
Disclaimers:
The industry research reports and publications you subscribe to do not represent the legal opinions of Zhide Law Firm on relevant issues. If you need legal advice, please consult or seek assistance from qualified professionals.
WeChat official account
友情链接: