ACA responds to permitted charges within DC schemes consultation

The ACA wholly supports pension savers receiving good value, and we believe that facilitating ease of comparison across different pension providers and charging structures is important.  As we have stressed in previous responses to consultations and calls for evidence on Read More ... more »»

The ACA wholly supports pension savers receiving good value, and we believe that facilitating ease of comparison across different pension providers and charging structures is important.  As we have stressed in previous responses to consultations and calls for evidence on Read More …

ACA cautions on regulatory reform of actuarial work

In our response to the BEIS consultation on Restoring trust in audit and corporate governance, which also encompasses the future regulation of actuaries, we have cautioned on the unintended consequences that could arise in the implementation of reforms primarily focused Read More ... more »»

In our response to the BEIS consultation on Restoring trust in audit and corporate governance, which also encompasses the future regulation of actuaries, we have cautioned on the unintended consequences that could arise in the implementation of reforms primarily focused Read More …

Climate Risk: what pension schemes need to do to address the environmental challenge and the resources available to help

Emiko Caerlewy-Smith, who is from Accounting for Sustainability (A4S), a not-for-profit organisation.  outlines how sustainable business practices are being developed in the real world focusing on getting pension scheme assets invested sustainably… more »»

Emiko Caerlewy-Smith, who is from Accounting for Sustainability (A4S), a not-for-profit organisation.  outlines how sustainable business practices are being developed in the real world focusing on getting pension scheme assets invested sustainably…

Response to BEIS consultation on regulation of actuarial work

We support the high level principles behind the proposed regime. We also support the aim of enhancing public confidence in the sector and in the work undertaken by actuaries.  In particular, we note that the consultation is not recommending a Read More ... more »»

We support the high level principles behind the proposed regime. We also support the aim of enhancing public confidence in the sector and in the work undertaken by actuaries.  In particular, we note that the consultation is not recommending a Read More …

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

Response to IFoA consultation on a new Practising Certificate scheme

Our response to the IFoA consultation supports the idea to assess competency rather than experience, and the proposal for less focus on annual renewals with a slightly greater focus on triennial renewals.  Given the absence of practical details at this Read More ... more »»

Our response to the IFoA consultation supports the idea to assess competency rather than experience, and the proposal for less focus on annual renewals with a slightly greater focus on triennial renewals.  Given the absence of practical details at this Read More …

Welcome for commitment to deliver simpler benefit statements

We welcome the commitment to delivering simpler annual pension statements and the opportunity to comment on the draft regulations and statutory guidance.  As noted in our responses to earlier stages of the consultation process, we have been strong advocates of Read More ... more »»

We welcome the commitment to delivering simpler annual pension statements and the opportunity to comment on the draft regulations and statutory guidance.  As noted in our responses to earlier stages of the consultation process, we have been strong advocates of Read More …

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 …

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