Q & A Database
The GIPS Standards Q&A database contains questions and answers (Q&As) on various searchable topics that provide additional interpretation on an issue. Q&As are considered to be authoritative guidance and must be followed in order to claim compliance with the GIPS standards.
Content from prior Q&As was included in the GIPS Standards Handbook as much as possible and many Q&As were archived. Change the Status drop-down filter to "Archived" to see the archived Q&As.
The GIPS Standards Helpdesk is available for individual questions and typically responds to inquiries within 3 business days.
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Archived
Effective: 1 December, 2013 - 31 December, 2019Categories: Definition of the FirmSource: GIPS Executive CommitteeCompany A is located in New York and has offices in Los Angeles, Chicago, and Dallas that service its U.S. clients, and offices in London, Zurich, and Hong Kong to service its non-U.S. clients. All of the U.S. offices are registered as one investment entity and the non-U.S. offices are each registered with the appropriate national investment regulators. How could Company A define itself as a firm according to the GIPS standards?
The GIPS standards encourage companies/entities to adopt the broadest, most meaningful definition of the firm. If possible, Company A should consider defining itself to include the assets managed by all of its offices for the purpose of GIPS compliance. However, Company A could define itself as smaller entities based on whether the different regional branches (e.g., U.S., London, Zurich, and Hong Kong) or combinations of branches (e.g. London/Zurich, or London/Hong Kong) are held out to clients or prospective clients as distinct business entities.
Please also see original Q&A