Quantinnova (the AIFM), a Luxembourg-based under registration alternative investment fund manager within the meaning of article 3(2)(a) of Directive 2011/61/EU of 8 June 2011 on alternative investment fund managers (AIFMD), makes the following disclosures for the purposes of Regulation (EU) 2019/2088 of 27 November 2019 on sustainability‐related disclosures in the financial services sector (SFDR) and Regulation (EU) 2020/852 of 18 June 2020 on the establishment of a framework to facilitate sustainable investment (the Taxonomy Regulation).
The AIFM acts as under registration alternative investment fund manager of Quantamental Global Equity Fund SCSp (the Fund or the Partnership).
AIFM and Fund-related Disclosures
SFDR which is part of a broader legislative package under the European Commission’s Sustainable Action Plan, came into effect on 10 March 2021. To meet the SFDR disclosure requirements, the Luxembourg AIFM identifies, assesses and, where possible and appropriate, seeks to manage Sustainability Risks for the Partnership as part of its risk management process.
The Luxembourg AIFM believes that the integration of this risk analysis could help to enhance the long-term value of the portfolio for Investors, in accordance with the Investment Objective and Investment Policy of the Partnership. However, due to the nature of the Investment Objective, Sustainability Risks are not integrated in the investment decisions.
For the avoidance of doubt, the Partnership is not promoting environmental or social characteristics within the meaning of article 8 of SFDR nor has sustainable investment as its objective within the meaning of article 9 of SFDR. For the purposes of Article 6 of the EU Taxonomy Regulation, the Luxembourg AIFM confirms that the investments underlying this financial product (i.e., the Partnership) do not take into account the EU criteria for environmentally sustainable economic activities.
The Luxembourg AIFM does not, and does not intend to, consider adverse impacts of investment decisions on sustainability factors, as per Article 4 1.b) of SFDR.
Transparency of remuneration policies in relation to the integration of sustainability risks – article 5(1)
For the purposes of article 5(1) of SFDR, the AIFM declares that it has not put in place a remuneration policy since it qualifies as a registered alternative investment fund manager and thus does not fall under such requirement under the AIFMD.
Contact
GP address:
51, rue du Soleil
L-2544 Luxembourg
Email: info@quantinnova.com