LDI – the issues and ACA evidence to the Work & Pensions Select Committee
Steven Taylor and Vanessa Hodge outlined the LDI issues that have led to the Work & Pensions Select Committee Inquiry: more »»
Steven Taylor and Vanessa Hodge outlined the LDI issues that have led to the Work & Pensions Select Committee Inquiry:
New Modular Single Code
The TPR’s Nick Gannon presented on the New Modular Single Code at our Sessional on 24 November 2022: more »»
The TPR’s Nick Gannon presented on the New Modular Single Code at our Sessional on 24 November 2022:
ACA evidence to Select Committee highlights need for evolution of LDI in face of market challenges
In our evidence to the Work & Pensions Select Committee, we say that whilst LDI remains fit for purpose, given recent experiences, we anticipate there will be changes in standard market practice in the operational of LDI arrangements, such as Read More ... more »»
In our evidence to the Work & Pensions Select Committee, we say that whilst LDI remains fit for purpose, given recent experiences, we anticipate there will be changes in standard market practice in the operational of LDI arrangements, such as Read More …
ACA evidence to Work & Pensions Select Committee on LDI Inquiry
We have submitted written evidence to the Work & Pensions Select Committee Inquiry on LDI ahead of ACA Chair, Steven Taylor, giving oral evidence on 23 November 2022: more »»
We have submitted written evidence to the Work & Pensions Select Committee Inquiry on LDI ahead of ACA Chair, Steven Taylor, giving oral evidence on 23 November 2022:
ACA response to PPF Full Levy Consultation 2023/24
See below the response we made to this consultation: more »»
See below the response we made to this consultation:
Response to Broadening the investment opportunities of DC pension schemes
We remain supportive of broadening the investment opportunities for DC schemes, and broadly speaking we believe the draft regulations and guidance meet the policy intent. From a practical perspective, we see no issues (other than trustee time and cost) with Read More ... more »»
We remain supportive of broadening the investment opportunities for DC schemes, and broadly speaking we believe the draft regulations and guidance meet the policy intent. From a practical perspective, we see no issues (other than trustee time and cost) with Read More …
ACA Chair calls on new Pensions Minister to work closely with industry and favour flexibility to address key pensions challenges
ACA Chair, Steven Taylor, has written to Laura Trott, the new Pensions Minister, calling on her to favour increased flexibility in the public policy approach to boosting pensions and saving during difficult economic circumstances… more »»
ACA Chair, Steven Taylor, has written to Laura Trott, the new Pensions Minister, calling on her to favour increased flexibility in the public policy approach to boosting pensions and saving during difficult economic circumstances…
Chartered Actuary proposal
Institute & Faculty President, Matt Saker, presented on the Chartered Actuary designation proposal that is being put to a vote from 13 November 2022. more »»
Institute & Faculty President, Matt Saker, presented on the Chartered Actuary designation proposal that is being put to a vote from 13 November 2022.
Response to IFoA consultation on Regulatory Framework for CDC schemes
Our Professional Affairs Committee has responded to IFoA proposals for changes to the Regulatory Framework to reflect CDC Pension Schemes Consultation Paper – July 2022. See below: more »»
Our Professional Affairs Committee has responded to IFoA proposals for changes to the Regulatory Framework to reflect CDC Pension Schemes Consultation Paper – July 2022. See below:
ACA says DWP draft regulations will undermine Government’s growth agenda…need for review alongside draft Code
Objective of regulations welcomed, but we have significant concerns that the proposed legislation is insufficiently flexible and reduces the ‘scheme specific’ element of the current funding regime – replacing it with an industry standard approach, only permitting limited variation in Read More ... more »»
Objective of regulations welcomed, but we have significant concerns that the proposed legislation is insufficiently flexible and reduces the ‘scheme specific’ element of the current funding regime – replacing it with an industry standard approach, only permitting limited variation in Read More …

