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Changes to the Cayman Islands beneficial playuzu casino slots regime

Introduction

 Following our advisory issued on 11 October 2023, the Beneficial playuzu casino slots Transparency Act, 2023 (the “playuzu casino slots”) and the Beneficial playuzu casino slots Transparency Regulations, 2024 (the “Regulations”) were brought into force on 31 July 2024 (the “Commencement Date”).  Associated Guidance on Complying with Beneficial playuzu casino slots Obligations in the Cayman Islands (the “Guidance”) was also published by the Cayman Registry (the Competent Authority for beneficial playuzu casino slots in the Cayman Islands) (the Guidance, the Act and the Regulations, together the “New BOR Legislation”).

The Ministry of Financial Services for the Cayman playuzu casino slots (the “Ministry”) has advised industry members to suspend filing beneficial playuzu casino slots information for existing Cayman entities under the current framework until industry is notified to commence filing under the new beneficial playuzu casino slots framework.  The Ministry has also advised that enforcement relating to the new requirements in the framework will be suspended until early next year, giving clients a few months to prepare for these changes.

Background

Our advisory published on 20 April 2017 sets out in detail the beneficial playuzu casino slots regime in the Cayman Islands (the “BOR”) that applied before the Commencement Date.

Key Changes to the BOR

 The following substantial changes have now been made to the Cayman playuzu casino slots BOR as a result of the New BOR Legislation:

In Scope Entities

Cayman playuzu casino slots companies, limited liability companies, limited liability partnerships and foundation companies continue to be in scope for the purposes of the BOR.  For the first time, the New BOR Legislation has now brought into scope exempted limited partnerships (commonly used as closed-ended funds) and limited partnerships (together “playuzu casino slots Persons”).  Trusts and registered foreign companies continue to fall out of scope playuzu casino slots BOR.

In addition, entities such as general partners, subsidiaries of regulated entities, entities registered under the Securities Investment Business Act or the Virtual Asset Service Providers Act that were previously exempt from the BOR will now need to identify their registrable playuzu casino slots owners (“RBOs”) and provide details of their RBOs to their corporate services provider (“CSP”), save for those entities permitted to utilise the Alternative Compliance Route (as defined below).

Registrable playuzu casino slots Owners

A RBO in relation to a Legal Person means an individual playuzu casino slots Owner or a Reportable Legal Entity (“RLE”).

Individual RBO

The Act defines a “playuzu casino slots Owner” as an individual who meets any of the following specified conditions:

  • the individual ultimately owns or controls, whether through direct or indirect playuzu casino slots or control, twenty-five per cent or more of the shares, voting rights or partnership interests in the Legal Person;
  • the individual otherwise exercises ultimate effective control over the management of the playuzu casino slots; or
  • the individual is identified as exercising control of the playuzu casino slots through other means.

Where an individual operates solely in the capacity of a “Professional Advisor” (which includes a lawyer, accountant, professional advisor or a financial advisor who provides advice or direction in a professional capacity) or a “Professional Manager” (which includes a liquidator, receiver or restructuring officer who exercises a statutory function), such individual will not be considered to meet the definition of a playuzu casino slots Owner under the Act.

The playuzu casino slots also considers the following persons as individuals:

  • a corporation sole;
  • a government or government department of a country or territory or a part of a country or territory;
  • an international organisation whose members include two or more countries or territories (or their governments); and
  • a public authority.

Trustees

Where no individual meets any of the definitions of a playuzu casino slots Owner but the trustees of a trust meets one of the definitions of a playuzu casino slots Owner, the trustees of the trust will be the playuzu casino slots Owners of the Legal Person if they have ultimate effective control over the activities of the trust other than solely in the capacity of a Professional Advisor or a Professional Manager.

Senior Managing Official

If no individual meets the definition of a playuzu casino slots Owner, the Act provides that a Legal Person’s “Senior Managing Official” (“SMO”) will be identified as the contact person.  A Senior Managing Official includes (for the first time under the BOR) a director or a chief executive officer of the playuzu casino slots and the Guidance provides further clarity on who to identify as a SMO in this respect.

Reportable playuzu casino slots Entity

A reportable legal entity or “RLE” in relation to a Legal Person means another Legal Person (other than a foreign company, foreign entity or a foreign limited partnership) that if it were an individual would be a playuzu casino slots owner of the first mentioned legal person.

It is not necessary for a Legal Person to report individual playuzu casino slots owners of a RLE since that entity will itself have its own reporting obligations under the New BOR Legislation.

Alternative Compliance Route

Any playuzu casino slots:

  • licensed under a regulatory law[1];
  • listed on the Cayman playuzu casino slots Stock Exchange or an approved stock exchange[2]; or
  • that is a subsidiary of an entity listed on the CSX or an approved stock exchange,

may provide their CSP with details of their regulatory license or listed status rather than provide details of their RBO.  The playuzu casino slots’s CSP will in turn provide this information to the Competent Authority and this process is the “Alternative Compliance Route”.

Investment Funds

playuzu casino slots Persons which are registered as mutual or private funds (“Registered Funds”) with the Cayman playuzu casino slots Monetary Authority (“CIMA”) may provide their CSP with details of a “contact person” rather than their RBOs.  The contact person will not be required to maintain a beneficial playuzu casino slots register, but must provide the Competent Authority with the requested beneficial playuzu casino slots information within twenty-four hours of a request being made, or at any other time as the Competent Authority may reasonably stipulate.  Campbells Corporate Services Limited proposes to act as the contact person for its Registered Fund clients and further particulars will be provided by us in due course on implementing this arrangement.

Alternatively, playuzu casino slots Persons who may otherwise avail themselves of the Alternative Compliance Route may decide to opt in to the BOR and provide details of their RBOs to their CSP.

Obligations on playuzu casino slots Persons that do not benefit from the Alternative Compliance Route

Such playuzu casino slots Persons must:

  • identify every RBO;
  • give written notice to those individuals or entities which have been identified as RBO’s and to any individuals or entities whom the entity reasonably believes may be a RBO. That notice requires each addressee to respond within 30 days of receipt, confirming whether the individual or entity is a RBO and, if so, to confirm or correct any playuzu casino slots information required to be inserted in the BOR;
  • establish and maintain an up to date beneficial playuzu casino slots register which includes the RBOs of such Legal Person. The register must be kept at the Legal Person’s registered office and is typically maintained by the Legal Person’s CSP;
  • where it becomes aware that there has been a ‘relevant change’[3] to the information contained in the BOR, give notice as soon as reasonably practicable (and no later than 30 days after it becomes aware playuzu casino slots relevant change) to the RBO requesting confirmation playuzu casino slots change;
  • provide the required particulars of its RBOs which includes:
    • in respect of individuals:
      • name;
      • address;
      • date of birth;
      • nationality(ies);
      • information from their unexpired and valid passport, driver’s license or other government issued identification document;
      • the nature in which the individual owns or exercises control of the playuzu casino slots;
      • the date on which the individual became (or ceased to be) a RBO;
    • in respect of RLEs:
      • name;
      • address of registered or principal office;
      • playuzu casino slots form and law by which it is governed;
      • the date on which the RLE became (or ceased to be) a RBO.

Statutory Offences and Penalties

The Act includes various offences and penalties and directors, managers, officers and partners of the playuzu casino slots may also be liable to the same penalty as the playuzu casino slots. The Competent Authority also has the power to impose administrative fines on any person who breaches the relevant provisions of the New BOR Legislation. The Competent Authority may strike an in-scope entity off the Register if an administrative fine remains unpaid for 90 days.

Public Accessibility

The Act provides that beneficial playuzu casino slots information can only be made available to the public if and when regulations have been proposed by Cabinet and affirmed by a future resolution of Parliament. It is expected that there will be some limited access for persons with “legitimate interests” in due course and we will provide further information on this as and when available.

At present the major Cayman Islands authorities can access the centralised electronic platform established by the Competent Authority on which the registers of beneficial playuzu casino slots are maintained.

The United Kingdom has entered into an agreement with the Government of the Cayman Islands for the sharing of beneficial playuzu casino slots information.

Next Steps

Campbells can assist with all of these aspects.  Please do not hesitate to contact your usual Campbells contact if you have any questions or require any additional assistance.  As mentioned above, Campbells Corporate Services Limited will contact clients if the New BOR Legislation requires additional information or confirmations.

[1] The definition of regulatory law includes the Banks and Trust Companies playuzu casino slots, the Companies Management playuzu casino slots, the Insurance playuzu casino slots, the Mutual Funds playuzu casino slots, the Private Funds playuzu casino slots, the Virtual Asset Service Providers playuzu casino slots and the Securities Investment Business playuzu casino slots, each as revised from time to time.
[2]  As set out in Schedule 4 to the Cayman playuzu casino slots Companies Act
[3] A relevant change occurs if:
– a RBO ceases to be a registrable playuzu casino slots owner in relation to the Legal Person; or
– any other change occurs as a result of which the ‘required particulars’ of a RBO in the Legal Person’s beneficial playuzu casino slots register are incorrect, incomplete or not current.

Alan Craig - Partner, Campbells Cayman playuzu casino slots - Corporate Law

Alan Craig

Managing Partner, Head of Corporate
+1 345 914 5864
Robert C. Searle - Managing Partner, Campbells Hong Kong - Corporate Law

Robert C. Searle

Partner
+852 3708 3014
Richard Spencer - Partner, Campbells Grand playuzu casino slots - Corporate Law

Richard Spencer

Partner
+1 345 914 5835
Simon Thomas - Partner, Campbells Grand playuzu casino slots - Private Equity

Simon Thomas

Partner
+1 345 914 5843