Senior Managers Regime: how to apply
All firms must submit all applications via the Connect application system. In exceptional circumstances an exemption from the FCA Customer Contact Centre may be granted.
The exceptions to this are the following forms (which cannot be submitted via the Connect application system):
- Form B (notice to withdraw)
- Form M (notification of non-executive director or key function holder)
- Form L (notification of disciplinary action in relation to an employee performing a certification function).
Firms wishing to submit encrypted Forms B, M and L should email PRA-ApprovedPersons@bankofengland.co.uk prior to submission with details of the encryption type used to encrypt submissions. Failure to do so may result in encrypted submissions not being delivered to PRA-ApprovedPersons@bankofengland.co.uk, and neither us nor firms will receive alerts highlighting that their encrypted email submissions have not been delivered.
Firms wishing to submit unencrypted Forms B, M and L can continue to do so without pre-notifying us.
Please see application forms available to download below.
These three forms and all applications and notifications from those who have obtained the dispensation can be submitted by post or email to: Authorisations Division, Prudential Regulation Authority, 20 Moorgate, London EC2R 6DA or PRA-ApprovedPersons@bankofengland.co.uk.
We do not charge a fee to process these applications for approval.
Applications should be made by the firm ('the applicant') and countersigned by the individual ('the candidate'). In submitting the application, both the applicant and the candidate verify that the information contained within the application is complete and accurate.
Before submitting an application, firms may wish to engage with us, particularly where the application may be of a sensitive nature and/or for a key role. Firms should contact their usual supervisory contact to discuss such cases.
Firms must undertake sufficient due diligence to satisfy themselves on the appropriateness of the applicant before submitting the application and provide evidence to support this, including:
- the due diligence undertaken in appointing the candidate
- confirmation they have obtained and scrutinized regulatory references and completed a Disclosure and Barring Service (DBS) check
- details of the rationale the firm has used to conclude that the candidate is fit and proper to perform the role for which approval is sought.
The PRA acknowledges that many international firms may not be required to comply with the regulatory requirements for UK firms and that these requirements can impact the efficiency of onboarding procedures when firms recruit internationally. References (including regulatory references) and criminal records checks are required for all applicants on entry to the Senior Managers Regime. If the firm has not conducted or cannot conduct any of the due diligence expectations, the firm should advise why in the application form.
The requirement for regulatory references applies where a candidate has worked for a firm in scope of SM&CR. For international candidates, a reference of near equivalent detail should be sought to that of a regulatory reference from SM&CR firms.
A clear criminal records check is required upon entry to the SMR. If the candidate is/was based in Scotland, Northern Ireland or outside of the United Kingdom, the firm will need to request an equivalent criminal record check to a Standard DBS check.
For candidates with limited experience in the UK and/or understanding of SM&CR, the PRA expects firms to demonstrate, for example in a Learning and Development Plan, how it will ensure those candidates understand the requirements of the regime.
Should approval be required by a specific date, the firm should enter the role effective date in the ‘Arrangements and controlled functions’ section of the application. We will make every reasonable effort to meet with this timeline. However, this may not always be possible.