(Prepared by Hong Kong Investment Funds Association)
For general descriptions of hedge funds and traditional unit trusts/mutual funds, please refer to
Note: The table only represents general observations. Investors should read the prospectus and other relevant documents before they subscribe into a fund.
| Key characteristic |
Primarily invests its assets in other funds. |
Primarily invests its assets in other hedge funds.
|
| Regulated by |
SFC, according to the Code on Unit Trusts and Mutual Funds
|
Ditto
|
| Minimum subscription |
No minimum set by the Code, only set by individual fund houses - varies, usually around US$5,000. |
|
| Dealing |
At least one day per month (in practice, most funds deal on a daily basis) |
Ditto (likely that most funds will deal on a weekly or even monthly basis) |
| Payment of redemption money |
30 calendar days (In practice, redemption money will be paid out in 5-7 working days - assuming documents are complete.) |
90 calendar days (it is likely that it may take a few weeks before redemption money is paid out) |
Performance fees
Calculation/payment
Disclosure
|
|
|
"High-on-high" and "annual payment" |
 |
|
|
Need to disclose how fees are calculated and paid |
|
|
|
Same principles. However, such requirement does not apply to the underlying funds of a FoHFs. |
|
|
In addition, the offering document must specify: |
| |
|
whether performance fees are levied at both the scheme and the underlying funds level; |
|
|
|
how are fees calculated and paid by the underlying funds; and |
|
|
|
the aggregate or an indicative range of all the fees of the FoHFs and each underlying fund. |
|
| Limitation on Charges |
If the underlying funds are managed by the same management company or its connected persons, all initial charges on these funds must be waived.
The management company of a UPMF may not obtain a rebate on any fees levied by an underlying fund or its management company.
|
Ditto |
Maximum loss of an investor
(for risk warning, see "disclosure") |
Limited liability, i.e. limited to their investments in the scheme. |
Ditto |
Disclosure
Materials to be supplied
Risk warning
|
|
|
An up-to-date offering document, which should contain the information necessary for investors to make informed decisions. |
|
|
Annual report + semi-annual report |
 |
|
|
General and/or specific (for specialized schemes) |
|

|
|
Ditto |
 |
|
|
Ditto. In addition, a quarterly narrative report |
|
|
Specific warnings: |
 |
|
Risks are not typically encountered in traditional funds |
|
|
Some or all of the underlying funds are not regulated by the SFC |
|
|
Has special risks which may lead to substantial or total loss of investment |
|
|
The redemption price may be adversely affected by the fluctuations in value of the underlying investments during a relatively long redemption period |
|
|
The net asset value may be adversely affected because some of the underlying investments may not be actively traded and there may be uncertainties in valuation |
|
Investment restrictions
|
|
Principle |
 |
|
|
Diversification: |
| |
|
Minimum number of underlying funds |
| |
|
Invest in which types of funds |
 |
| |
|
Invest in another fund of funds |
| |
|
Specify the diversification strategy |
|
|
|
Must adhere to clearly laid-down investment restrictions, e.g. |
| |
|
Generally not more than 10% of total assets in derivatives |
| |
|
Maximum 10% for borrowing, for temporary purpose only |
 |
|
|
Five, and not more than 30% in one underlying fund |
|
|
Primarily authorized funds or funds established in recognized jurisdictions. May invest in unauthorized funds established in non-recognized jurisdiction, but subject to 10% of the assets |
 |
|
|
Not allowed |
 |
|
|
Not prescribed by the Code |
|
|
|
Follows largely a disclosure approach - primarily rely on self-imposed investment restrictions. |
 |
|
|
Ditto |
| |
|
|
|
Up to 10% of the assets of the FoHFs can be invested in underlying funds managed by personnel with less than 2 years' experience in the relevant hedge fund investment strategy |
|
|
Can invest in both authorized and unauthorized funds. No cap set on unauthorized funds, but a warning statement must be provided in the offering document on the risk implications on investor protection. |
|
|
Also, it can only mention names of the unauthorized funds and clearly marked as unauthorized and not available to HK residents, but not other details. |
|
|
Ditto |
| |
|
|
|
Required to explain in the offering document. |
|
| Requirement of the fund manager of "a fund of funds" |
Requirements prescribed, e.g. on financial resources, experience, internal controls, human and technical resources etc. |
Basically would assess the same factors, but there are additional requirements for FoHF manager:
|
|
its key personnel should each have 5 years' general experience in hedge fund strategies, incl. at least 2 years' experience as a FOHF manager; |
|
|
should have suitable internal controls and risk management systems; |
|
|
have a diligence process for selecting underlying funds and on-going monitoring of their activities; and |
|
|
take reasonable care in selecting distribution agents, provide necessary information and training to the agents. |
|
| Requirement of the fund manager of the underlying funds |
Same as above |
|
|
Each of the key personnel of the management company of an underlying fund has at least 2 years' experience in the relevant hedge fund investment strategy. |
|
|
Up to 10% of the assets of the FoHFs can invest in underlying funds managed by personnel with less experience. |
|
| Independent trustee to safekeep assets of the underlying funds |
Yes |
Yes |