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FCA expectations on hybrid and remote working

With remote working being the norm for so long since the start of the pandemic, many firms will have invested significant time and effort over the past few months getting ready for a return to the office – including preparing for ongoing remote and so called ‘hybrid’ working arrangements. For firms regulated by the FCA, this has included ensuring all regulatory requirements can still be met.

To add to the mix, the FCA has recently published its expectations for those firms it already regulates, those applying to be regulated and also those proposing to submit further applications, including variations of permission and changes in control. They are here (Remote or hybrid working expectations for firms | FCA) but may well change over time as the FCA understands more about how firms intend to operate.

The expectations will be applied on a case by case basis and the FCA has been very clear that what they have set out are indicative considerations and they will assess firms on a case by case basis.  Whilst it may not change what you are doing as a regulated firm, it will be important to ensure that the FCA’s approach is kept under tabs and built into internal programmes.

They key considerations are:

At the heart of ensuring that these are met is governance and culture, which of course falls on Senior Managers under the SM&CR. This means demonstrating that there has been appropriate planning and that there are sufficient controls in place to manage and mitigate risk. Senior Managers under the SM&CR are specifically cited as having responsibility for the governance and oversight in place.

This goes further than carrying out risk assessments and having the right policies, IT systems and information cascades in place. Staff will need clear communications and expectations so that all on the ship are sailing to the same place and everyone is in fact onboard. Senior Managers, again, will be responsible for ensuring that the right culture exists to allow both hybrid working, commercial success and all regulatory expectations to be met.

Time will tell how the FCA approaches what its sees as a failure of expectations but it would seem pretty clear that it will be monitoring firms closely and will take robust action where it finds failures.

Sushil Kuner is a London-based principal associate who advises on all aspects of financial services regulatory law, having spent eight years working within the Supervision and Enforcement Divisions of the Financial Conduct Authority (FCA).

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