Code 12 must make it clear most normal corporate activities are not in scope

In our response to the TPR consultation on the revised Code of Practice 12 we say that the Code and related guidance must make it clear that most normal corporate activities will not be drawn into scope.  See more »»

In our response to the TPR consultation on the revised Code of Practice 12 we say that the Code and related guidance must make it clear that most normal corporate activities will not be drawn into scope.  See

Evidence to Select Committee says achieving positive outcomes should be focus not additional compliance reporting

Our evidence to the Work & Pensions Select Committee Inquiry on ‘Pension Stewardship and COP26’ says any new requirements on pension schemes must be applied consistently with the other duties and responsibilities of pension scheme trustees and managers, and must Read More ... more »»

Our evidence to the Work & Pensions Select Committee Inquiry on ‘Pension Stewardship and COP26’ says any new requirements on pension schemes must be applied consistently with the other duties and responsibilities of pension scheme trustees and managers, and must Read More …

ACA says most UK trustees don’t have resources to focus on social factors

Our response to the DWP consultation on social risks and opportunities for occupational pension schemes says it agrees it is important for trustees to take financially material social factors into account in their investment decisions.  However, the majority of schemes currently Read More ... more »»

Our response to the DWP consultation on social risks and opportunities for occupational pension schemes says it agrees it is important for trustees to take financially material social factors into account in their investment decisions.  However, the majority of schemes currently Read More …

ACA warns of inadvertent damage to pension advice market

We have welcomed HMRC’s initiative to improve standards in the “tax advice” market but made it clear in our response to an HMRC consultation that this should not be at the expense of inadvertently damaging the pension advice market or Read More ... more »»

We have welcomed HMRC’s initiative to improve standards in the “tax advice” market but made it clear in our response to an HMRC consultation that this should not be at the expense of inadvertently damaging the pension advice market or Read More …

Pension scams Regulations: more time and guidance needed

In our response to the DWP consultation on regulations aimed at Pension scams: empowering trustees and protecting members we call for the reform to be accompanied by detailed guidance from the Pensions Regulator and for sufficient time to be given Read More ... more »»

In our response to the DWP consultation on regulations aimed at Pension scams: empowering trustees and protecting members we call for the reform to be accompanied by detailed guidance from the Pensions Regulator and for sufficient time to be given Read More …

TPR’s annual funding statement reads more as a state of the nation than funding guidance

ACA comments on this year’s Annual Funding Statement but urges TPR to take the time it needs to deliver a new funding regime that fits today’s complex commercial environment.  See more »»

ACA comments on this year’s Annual Funding Statement but urges TPR to take the time it needs to deliver a new funding regime that fits today’s complex commercial environment.  See

ACA critical of ‘mission creep’ in new code and timescales

In our response to the TPR consultation on the new code of practice we are critical of ‘mission creep’ noting that the new code is an extensive new document, mixing existing requirements and a great deal of new material covering Read More ... more »»

In our response to the TPR consultation on the new code of practice we are critical of ‘mission creep’ noting that the new code is an extensive new document, mixing existing requirements and a great deal of new material covering Read More …

‘Aim higher’ – vast potential if present disjointed system is addressed

In our response to the Work and Pensions Committee Inquiry on Protecting pension savers – five years on from the Pension Freedoms: Accessing pension savings,  we recognise strength in individual elements of UK pension provision, but raises concern over a Read More ... more »»

In our response to the Work and Pensions Committee Inquiry on Protecting pension savers – five years on from the Pension Freedoms: Accessing pension savings,  we recognise strength in individual elements of UK pension provision, but raises concern over a Read More …

ACA calls for greater clarity on impact of employer resources test

In our response to the DWP consultation ‘Strengthening The Pensions Regulator’s Powers: Contribution Notice and Information Gathering Powers Regulations 2021’, we are again concerned that there is too much uncertainty in how the regulations will be applied giving rise to Read More ... more »»

In our response to the DWP consultation ‘Strengthening The Pensions Regulator’s Powers: Contribution Notice and Information Gathering Powers Regulations 2021’, we are again concerned that there is too much uncertainty in how the regulations will be applied giving rise to Read More …

ACA critical of lack of clarity in TPR Criminal Offences draft guidance

In our response to the TPR’s consultation on the investigation and prosecution of the new criminal offences guidance, we accept the high-level policy intent to protect pension schemes, but more clarity is needed in TPR’s policy to limit the risk Read More ... more »»

In our response to the TPR’s consultation on the investigation and prosecution of the new criminal offences guidance, we accept the high-level policy intent to protect pension schemes, but more clarity is needed in TPR’s policy to limit the risk Read More …

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