![]() 10 - EUROPA DIVERSIFIED INCOME FUND SCSP SICAV RAIF 10 - DECALIA PRIVATE CREDIT STRATEGIES, S.A. 10 - Curzon Capital Partners 5 Long-Life SCSp 10 - CURZON CAPITAL PARTNERS 5 LONG-LIFE SCA SICAV-SIF 10 - CAPITALAND OPEN END REAL ESTATE FUND 10 - CAPITAL DYNAMICS MID-MARKET DIRECT V (LUX) SCSP 10 - CAPITAL DYNAMICS MID-MARKET DIRECT V (FEEDER) SCSP 10 - CAPITAL DYNAMICS FUTURE ESSENTIALS II SCSP 10 - CAPITAL DYNAMICS CLEAN ENERGY INFRASTRUCTURE FUND iX, SCSP 10 - CAPITAL DYNAMICS CLEAN ENERGY AND INFRASTRUCTURE VIII Nevertheless, the AIFM intends to monitor the industry position closely and update its approach in due course as the position evolves and further regulatory guidance is made available. ADMC Portfolio Management non-delegation model: For the purpose of Article 7 (2) of Sustainable Finance Disclosure Regulation (EU) 2019/2088, adverse impacts of investment decisions on sustainability factors are not considered at the present time (given the company size).ADMC Portfolio Management delegation model: As per this delegation, the Portfolio Manager has the responsibility for collecting the related Principal Adverse Impact of the investment decision on the Sustainability Factors based on its level of consideration and to provide the related information to ADMC.Therefore, there could be two scenarios for Alter Domus. ![]() The consideration of the Principal Adverse Impact of the investment decision on the Sustainability Factors (as defined in Article 4 (1) of the Disclosure Regulation EU 2019/2088) is the responsibility of the financial participant in charge of the portfolio management. No consideration of adverse impacts of investment decisions on sustainability factors
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