Publication
Global Asset Management Review: Issue 4
Welcome to the third issue of Global Asset Management Review.
United Kingdom | Publication | December 2025
The Financial Conduct Authority’s (FCA) October 2025 Consultation, CP25/28 Progressing Fund Tokenisation, takes a clear step towards embedding distributed ledger technology (DLT) in the UK’s authorised fund regime. As a leading investment management centre with £14.3 trillion in assets under management, the UK benefits from the FCA’s strategic objective to be a smarter, innovation‑positive regulator. Against that backdrop, the FCA positions tokenisation as a means to improve operational efficiency, support consumer outcomes, and strengthen the UK’sglobal competitiveness.
CP25/28 sets out an integrated package of measures. It clarifies how tokenized registers can operate under the existing “Blueprint” model. It proposes a new direct dealing model (D2F) to streamline fund operations. It outlines a roadmap for wholesale use‑cases, including the use of tokenized money market funds (MMFs) as collateral and the settlement of transactions in digital cash. And it sketches a longer‑term vision for tokenized portfolio management and cash flows at retail scale.
The “Blueprint” model, which was produced in November 2023 by the industry-led Technology Working Group in the previous government’s Asset Management Taskforce, sets out how firms could operate a tokenized unitholder register within existing regulatory requirements. The FCA’s proposed guidance in CP25/28 focuses on the practicalities of this. Below is a summary of the items discussed:
The FCA’s roadmap identifies two near‑term use‑cases supported by industry and government strategy:
The FCA recognises that technology is reshaping consumer expectations and that many firms view tokenized portfolio management as a means to service the digital investor. Leaving aside registers and dealing mechanics, the FCA explores in CP25/28 a three‑phase evolution of tokenized portfolio management models:
Composability looks to maximise the ‘re-use’ of existing technological and operational components to build new DLT applications and services. Composability may be considered at both the token and process levels. At the token level, tokens may be used to make assets composable by breaking down assets into the cash flows that make up assets. At the process level, smart contracts may be layered on top of tokens to reduce the number of technological operating processes across different product types, asset classes and clients. Composability relies on standardization of tokens, smart contracts and networks and also on operational and regulatory processes. There are already examples of standardized tokens in the market, for example, the International Capital Markets Association DLT Bond Data.
The deadline for comments on CP25/28 was 21 November 2025 and the FCA is expected to publish its Policy Statement during the first half of 2026.
The Investment Association (the IA) has responded to the consultation and offered certain recommendations including; the need for further clarification on the regulatory treatment of register operators, especially regarding the interplay between existing COLL and OEIC regulations and new requirements for the safekeeping of specified investment cryptoassets. It also highlights the importance of consistent and proportionate disclosure requirements for investors, particularly in relation to any nuances in relation to different tokenisation models. Additionally, the IA urges the FCA to confirm that technological choices, such as issuing units on multiple blockchains will not unintentionally create new unit classes or regulatory obligations provided the underlying rights and exposures remain unchanged. It will be interesting to see where the FCA land after consideration of these and other market participants’ recommendations when it issues its Policy Statement.
In anticipation of the new rules, AIFMs, depositaries, portfolio managers, investment platform providers, fintech firms and any person interested in the evolution of fund tokenisation, may wish to consider the following points if the FCA follows through on its proposals:
CP25/28 translates tokenisation from pilot to practice. The FCA provides tangible regulatory clarity for tokenised registers, proposes an optional direct dealing regime to simplify unit transactions, and advances a roadmap for tokenised collateral and digital settlement. For UK asset managers, the near‑term opportunity lies in operational efficiency and alignment with global processes; the medium‑term prize is strategic differentiation in product design, distribution, and portfolio customisation. The regulator’s ambition is unmistakable: innovate within clear outcomes‑based guardrails and position the UK as a leading jurisdiction for tokenised and conventional funds alike.
Publication
Welcome to the third issue of Global Asset Management Review.
Publication
The Financial Conduct Authority’s (FCA) October 2025 Consultation, CP25/28 Progressing Fund Tokenisation, takes a clear step towards embedding distributed ledger technology (DLT) in the UK’s authorised fund regime.
Subscribe and stay up to date with the latest legal news, information and events . . .
© Norton Rose Fulbright LLP 2025