Luxembourg UCITS funds are the global gold standard for regulated retail investment funds — recognised and distributable in over 70 countries, with EUR 5 trillion+ of assets under management in Luxembourg-domiciled UCITS.
Undertakings for Collective Investment in Transferable Securities (UCITS) is the EU's primary retail investment fund directive. Luxembourg UCITS funds can be distributed to retail investors across the EU and, under recognition agreements, in Hong Kong, Singapore, Switzerland, Taiwan, Chile, and many other markets globally.
Marensa Advisory advises on Luxembourg UCITS fund formation strategy — vehicle selection (SICAV, FCP), management company requirements, depositary arrangements, and multi-jurisdiction distribution strategy.
Discuss UCITS Fund FormationThe UCITS passport's global recognition is its primary commercial advantage — enabling retail distribution at scale.
A Luxembourg UCITS provides unmatched global distribution reach — but UCITS eligible asset restrictions and investor protection requirements mean it is only suitable for liquid, regulated investment strategies.
Marensa Advisory advises on UCITS fund formation as part of an integrated European distribution strategy — ensuring the fund structure and distribution arrangements are designed for commercial success, not just regulatory compliance.
Start the ConversationNot directly. UCITS funds must invest in UCITS-eligible transferable securities. Direct cryptocurrency is not UCITS-eligible. UCITS funds can have limited exposure to crypto through exchange-traded products listed on regulated markets — subject to diversification limits and regulatory guidance.
Practically, UCITS funds require EUR 50–100 million of AUM to support the ongoing ManCo, depositary, auditor, and distribution costs. Below this level, the cost-to-AUM ratio typically makes UCITS uneconomical relative to AIF structures.
Yes. Non-EU managers (UAE, Singapore, US) frequently engage Luxembourg ManCos to serve as the UCITS management company — with portfolio management delegated to the non-EU manager. This is the most common structure for UCITS funds managed by non-EU investment managers.
CSSF has a statutory 2-month review period for complete applications. Practical timelines are typically 3–6 months from engagement to launch, depending on the complexity of the fund structure.