FCA Regulatory Training

Whether someone is new to your team, or you need to ensure that you or your existing team members have sufficient knowledge and understanding to comply with current regulations, we offer a wide range of compliance training, designed to help you and your firm understand the regulatory framework and apply compliance.

Upcoming Training Courses

Take the opportunity to book onto one of our virtual and interactive courses.

Annual Compliance Training

Check back for more dates or reach out to our training team.

 

  • 24 April 2025
  • 11 June 2025
  • 8 October 2025

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  • 9 April 2025
  • 04 June 2025
  • 02 July 2025
  • 10 September 2025
  • 15 October 2025
  • 03 December 2025

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  • 05 June 2025
  • 03 July 2025
  • 17 September 2025
  • 05 November 2025

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  • 14 May 2025
  • 24 September 2025
  • 04 December 2025

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  • 12 June 2025
  • 25 September 2025
  • 10 December 2025

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  • 10 April 2025
  • 06 August 2025
  • 01 October 2025
  • 12 November 2025

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We offer a wide range of ACA financial compliance training courses to the UK and Europe, designed to help you understand the regulatory framework and apply compliance. Our tailored training is ideal for larger groups or if you have specific topics to be briefed on, or complex scheduling and timing for busy teams in different jurisdictions.

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Tailored In-House Training

Our tailored training is ideal for larger groups or if you have specific topics to be briefed on, or complex scheduling and timing for busy teams in different jurisdictions. Check out our menu of tailored training topics and options here or speak to us about how our virtual and interactive courses can be customised to meet your learning objectives and the content developed to meet your specific requirements. 

Latest insights

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OCC AML Priority To Target Regulatory Change

The US Office of the Comptroller of the Currency (OCC) has indicated that it will be focusing on the effectiveness of anti-money laundering (AML) systems and controls after including the topic on its list of FY 2019 annual priorities. For OCC-regulated banks, this means exams will concentrate on how up-to-date AML and Bank Secrecy Act (BSA) programs are with evolving threats and new rules.

Article
  • AML and Financial Crime
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How ETP Managers Can Ensure Compliance with Continued Listing Standards

In early 2017, the SEC approved rule-change proposals establishing continued listing standards for passively and actively managed exchange-traded products. More specifically, the rules require ETP issuers and managers to adopt new monitoring and oversight protocols to ensure continued compliance with the applicable listing standards. In the event an ETP falls out of compliance with the standards, the Manager must promptly notify the appropriate Exchange.

Article
  • Compliance
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FCA Turns Up the Heat on Market Abuse Controls

Recent activity points to the FCA rapidly increasing its focus on market abuse risk, trade surveillance and controls. This activity possibly pre-empts upcoming thematic work or supervision and enforcement work in this area.

Compliance Alert
  • Trade Surveillance
  • FCA
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Increased Demand from OCIOs Claiming GIPS Compliance

The release of the Exposure Draft of the 2020 Global Investment Performance Standards (GIPS) in August has forced many firms to assess how the new requirements will impact their business, both from marketing and operational perspectives. Not only will this impact firms currently claiming compliance with the GIPS standards, but also those considering doing so.

Article
  • Performance
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Are You Ready? SFC's FMCC Compliance Checklist

On November 18, 2018, this new set of rules will come into force, bringing additional governance, operational, and disclosure requirements. As the FMCC countdown clock ticks ever closer to the deadline, these are the key compliance components that fund management firms should have in place before impact day.

Article
  • Compliance
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FCA Warns Firms Over Market Abuse Surveillance

The UK’s Financial Conduct Authority (FCA) outlined a number of observations relating to market abuse surveillance. These should serve as a reminder and encourage investment management firms to review their existing policies, systems and controls in this area. But what does this guidance say and how should firms best take heed?

Article
  • Compliance