New System for Screening Foreign Direct Investments in Certain Sectors in Spain

New System for Screening Foreign Direct Investments in Certain Sectors in Spain

18 March 2020 | Number 2625 New System for Screening Foreign Direct Investments in Certain Sectors in Spain Given COVID-19 crisis in Spain, the government has adopted a Royal Decree-Law of extraordinary and urgent measures to deal with the economic and social impact. Note: Please see Latham’s related Client Alert, “Spanish Government Approves Urgent and Extraordinary Measures to Mitigate the Impact of COVID-19”, for a description of the economic measures adopted to deal with the crisis. The Royal Decree Law 8/2020, of 17 March (the RDL) amends Act 19/2003, 4 July, which is the legal framework for movements of capital and foreign investments in Spain. The main change adopted by the RDL is to suspend the liberalization of foreign direct investments (FDI) in Spain in certain sectors. FDI are now subject to the requirement to obtain a previous authorization. Any FDI made without obtaining authorization will be invalid and with no legal effect, and the infringing person may be fined. The government justifies this new system of FDI screening, which suspends the previous liberalized regime, on the grounds of security and public order derived from the impact of the COVID-19 crisis on the value of Spanish companies in strategic sectors. In addition the Spanish government is adopting this FDI screening system in anticipation of the entering into force in October 2020 of Regulation (EU) 2019/452 of the European Parliament and the Council of 19 March 2019 establishing a framework for the screening of FDI into the EU. This new Spanish FDI screening scheme came into force on 18 March 2020. It will remain in force until the government decides otherwise. Foreign Direct Investments affected FDI affected are those carried out by investors (Foreign Investor) resident outside the European Union and the European Free Trade Association (EFTA countries are Iceland, Liechtenstein, Norway, and Switzerland, that result in either: • The acquisition of 10% or more of the shares of a Spanish company • That as a result of the investment, the Foreign Investor is able to have effective participation in the management or control of a Spanish company Latham & Watkins operates worldwide as a limited liability partnership organised under the laws of the State of Delaware (USA) with affiliated limited liability partnerships conducting the practice in France, Hong Kong, Italy, Singapore, and the United Kingdom and as an affiliated partnership conducting the practice in Japan. Latham & Watkins operates in South Korea as a Foreign Legal Consultant Office. Latham & Watkins works in cooperation with the Law Office of Salman M. Al-Sudairi in the Kingdom of Saudi Arabia. Under New York’s Code of Professional Responsibility, portions of this communication contain attorney advertising. Prior results do not guarantee a similar outcome. Results depend upon a variety of factors unique to each representation. Please direct all inquiries regarding our conduct under New York’s Disciplinary Rules to Latham & Watkins LLP, 885 Third Avenue, New York, NY 10022-4834, Phone: +1 212 906 1200. © Copyright 2020 Latham & Watkins. All Rights Reserved. 19 March 2020 Additionally, the new FDI screening system also applies when the Foreign Investor: • Is directly or indirectly controlled by the government, including state bodies or armed forces, of a third country • Has made any investment or has already been involved in activities affecting security or public order in a Member State and in particular in those sectors listed below • Has been subject to any administrative or judicial action in a Member State, in its country or any other third country for engaging in illegal or criminal activities Sectors affected FDI in the following sectors is subject to the new screening scheme: • Critical infrastructure (physical or virtual) This includes infrastructure in the following sectors: energy, transport, water, health, communications, media, data storing and processing, aerospace, defense, elections, finance, sensitive facilities, and any land or real estate that is key for the use of those infrastructures. • Critical technology and dual-use products as established in EC Regulation 428/2009 This includes artificial intelligence (AI), robotics, semiconductors, cybersecurity, aerospace technologies, defense, storage of energy (quantum and nuclear), nanotechnology and biotechnology. • Supply of fundamental inputs This includes in particular, energy, fossil fuels, raw materials, as well as the food supply. • Sectors that have access or capacity to control sensitive information This includes personal data in particular. • Media The Government may extend the new FDI screening system to other sectors on the grounds of public security or public safety and health. Latham & Watkins 18 March 2020 | Number 2625 | Page 2 If you have questions about this Client Alert, please contact one of the authors listed below or the Latham lawyer with whom you normally consult: José María Jiménez-Laiglesia [email protected] +34.91.791.5085 Madrid Ignacio Gómez-Sancha [email protected] +34.91.791.5026 Madrid María José Descalzo [email protected] +34.91.791.5106 Madrid You Might Also Be Interested In COVID-19: Resources for Responding to Business and Legal Issues Spain Imposes Royal Decree 463/2020 to Manage COVID-19 Health Crisis Medidas impuestas por el Real Decreto 463/2020 para la gestión de la crisis sanitaria ocasionada por el COVID-19 Latham & Watkins 18 March 2020 | Number 2625 | Page 3 .

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