In its recent Business Plan and supervisory communications, the Financial Conduct Authority has continued to emphasise governance effectiveness, operational resilience and the accountability of senior managers within regulated firms.
For Authorised Fund Managers (AFMs), the message is clear: delegation remains central to the UK fund operating model, but responsibility for oversight and investor outcomes sits firmly with the authorised entity and its senior management.
This has direct implications for one of the most critical processes in the fund lifecycle: the calculation and governance of Net Asset Value (NAV).
The Net Asset Value determines subscriptions and redemptions, performance reporting, fee accruals and investor disclosures. It is the financial output on which investors rely and regulators assess.
In most UK operating models, NAV production is outsourced to specialist administrators. This structure is well established and widely adopted across the market.
However, the FCA’s supervisory focus on governance and accountability reinforces a key principle: outsourcing does not transfer responsibility.
For AFMs, ultimate accountability for NAV accuracy, control and oversight remains with the firm and its designated senior managers.
Under the UK regulatory framework, AFMs may delegate fund accounting and administration functions. But they must retain:
• Effective oversight of delegated activities
• Clear governance and reporting structures
• Documented control frameworks
• Documented control frameworks
The Senior Managers and Certification Regime (SMCR) reinforces this further. Named individuals carry defined responsibilities, including oversight of operational and outsourced functions.
In practical terms, this means that even where NAV production is performed by experienced third-party administrators, the AFM must be able to evidence that:
• Controls are effective
• Exceptions are identified and investigated
• Oversight is ongoing and independent
• Issues are escalated appropriately
Regulatory scrutiny increasingly focuses not just on whether processes exist, but whether oversight is active and evidenced.
The FCA’s operational resilience framework has added another dimension to oversight expectations.
Firms must identify important business services, map dependencies and ensure they can remain within impact tolerances during disruption. For many asset managers, NAV production and pricing are critical components of those important services.
This means AFMs must understand:
How NAV processes operate end-to-end
Where key dependencies and third parties sit
What controls exist around valuation inputs and calculations
How errors would be identified and remediated
Reliance on administrator controls alone is increasingly difficult to align with these resilience expectations. Independent oversight provides greater transparency and control over a core investor-facing outcome.
In the context of FCA governance and resilience expectations, effective NAV oversight should be:
Independent from the production function
Integrated within the AFM’s control framework
Supported by documented review and escalation processes
Supported by documented review and escalation processes
Capable of evidencing challenge and resolution
This does not replace administrator controls. Rather, it complements them by providing the AFM with an independent layer of assurance over one of its most critical responsibilities. As regulatory focus on governance and accountability continues, this independent oversight layer is becoming increasingly important.
When implemented effectively, independent NAV oversight:
Strengthens the AFM’s control framework
Supports SMCR accountability requirements
Enhances operational resilience visibility
Improves regulatory and audit engagement
Reduces operational and reputational risk
It shifts NAV governance from passive reliance to active oversight.
In the context of the FCA’s current supervisory priorities, this distinction is becoming more significant.
Fund Recs works with asset managers, administrators and depositaries globally to provide independent oversight across critical fund processes, including NAV.
Our NAV Oversight solution enables firms to:
By operating as an independent oversight layer alongside established administrator processes, Fund Recs helps AFMs strengthen governance, support SMCR accountability and align with rising operational resilience expectations.
As supervisory scrutiny continues to focus on accountability and control effectiveness, effective NAV oversight is becoming a core component of modern fund governance in the UK.