Blog
Prudence and productivity: Walking the Mansion House tightrope
Since the Mansion House Compact of 2023, many large UK pension schemes have been committing to shift investment strategy.
Global | Publication | March 2017
For international financiers and corporate borrowers, taking or granting security in Asia Pacific requires a specialised and customised approach for each jurisdiction.
Whilst there are many similarities between some jurisdictions, there are surprisingly wide variations within the region. Many countries have reformed or are reforming security legislation in an effort to improve and simplify the process of advancing loans and taking security.
To help our clients structure cross-border financing transactions, we have produced ‘Banking security in Asia Pacific’ as part of our NRF Institute. The guide compares banking and security laws in 16 jurisdictions within the region.
You can use the guide to:
To request access to ‘Banking security law in Asia Pacific’, please register to join NRF Institute.
Registration indicates acceptance of the terms and conditions which include important information about how our product will be delivered.
Members of NRF Institute can access a range of premium content including knowledge hubs and cross-border guides.
Blog
Since the Mansion House Compact of 2023, many large UK pension schemes have been committing to shift investment strategy.
Publication
On 30 December 2025, the Department for Business and Trade (DBT) published guidance for large companies that are now required by The Companies (Directors’ Report) (Payment Reporting) Regulations 2025 to report in their directors’ reports some of the information on their payment practices, policies and performance that they are required to report under the Reporting on Payment Practices and Performance Regulations 2017.
Publication
Since HM Treasury published the new Cryptoassets Regulations and the Financial Conduct Authority (FCA) published its latest series of consultation papers (CP25/40, 41 and 42) in December 2025, we have a little more clarity on the approach that is likely to be taken to various providers of cryptoasset services, including operators of cryptoasset trading platforms (CATPs).
Subscribe and stay up to date with the latest legal news, information and events . . .
© Norton Rose Fulbright LLP 2026