On 4 April 2019, the European Supervisory Authorities published additional Q&As on the key information document (KID) requirements for packaged retail and insurance-based investment products.
Answers to the following questions have been added:
- What aspects should be considered by the manufacturer when determining the recommended holding period of a PRIIP?
- Which form and name should the ‘specific information on each underlying investment option’, referred to in Article 14(1) of the Delegated Regulation 2017/653, take?