FCA BS - Financial Promotions Flashcards

1
Q

FPO 2005 (Under the FSMA)

A

Part IV - exemptions for all controlled activities

Part V - for controlled activities concerning deposits and insurance (other than life)

Part VI - for all other types of controlled activities

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2
Q

FPO 2005 - Main Exemptions Part IV

A

Overseas recipients

Follow up FPs

Introductions

Exempt Persons

Generic promotions

Investment professional recipients

Journalists - cannot advise or enable persons to buy securities or investments

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3
Q

FPO 2005 - Part VI Exemptions

A
  1. High Net Worth individuals

2. Sophisticated investors

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4
Q

COBS - FP’s exempt from Fair, Clear and Not Misleading rule

A

Excluded Communication

  • e.g. a one off communication that is not a cold call

FP communicated to Investment Professionals or Eligible Counterparties

  • however comms in relation to designated investment business is both comms to a professional client and a FP, so the FCM rule applies
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5
Q

Communication with Retail Clients

A

Information:
- uses equal font size for all sections

Tax Treatment
- displays that tax treatment is subject to change

Past Performance

  • cannot be most prominent feature and must warn not a reliable indicator
  • must be immediate 5 years or whole duration
  • gross performance, fees and charges must be disclosed

Simulated Past Performance
- based on actual performance of an instrument and is substantially the same as the instrument concerned

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6
Q

Direct Offer Financial Promotions

A

Offer by the firm to enter into controlled agreement with any person who responds to communication

Or

Invitation to any person who responds to communication to make an offer to the firm to enter into controlled agreement (specifies the manner of response or includes firm)

A controlled agreement is an agreement to carry on an ‘ancillary service’

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7
Q

Colds Call Definition

A

A FP via visit, telephone etc which:

  • was not initiated by recipient
  • is not in response to an express request from the recipient
  • is not clear that communications about investments would be made when visit was requested
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8
Q

Allowable Cold Calls

A

Existing client relationship where recipient expects cold calls

Relates to a marketable packaged product (apart from higher volatility funds or life policies with potential links to HVFs)

Relates to regulated investment business carried out by an authorised or exempt persons and involves regulated investments (readily realisable securities or marketable non-geared packaged products)

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9
Q

Communicating a Non-Written Financial Promotion

A

Appropriate time of day

Purpose of communication stated from outset

Clarify if client would like to continue and terminate at clients request

Contact point given so that any further appointment can be cancelled

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10
Q

FP through Social Media

A
  • Promotion is a promotion
  • stand alone compliance (e.g. each tweet)
  • image advertising (FCA remind firms that image advertising can get past character limits)
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11
Q

Distance Marketing Communications

A

A firm must provide distance marketing communication in ‘good time’ before the consumer is bound by the offer

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12
Q

Record Keeping

A
  • indefinitely for pension transfer, opt out or FSAVC
  • 6 years for life policy, occupational, personal and stakeholder pension and SSAS
  • 5 years for MiFID and equivalent third country business
  • 3 years for other cases
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13
Q

Investment Adviser Charging and Types of Advice

A

A firm making a personal recommendation to a retail client to invest in a ‘retail investment product’ cannot accept commission / remuneration or any benefit

Firm is instead paid an ‘adviser charge’ agreed with client in advance

Applies to independent and restricted advice, but not ‘basic’ advice (e.g. advice on stakeholder products using prescripted questions) where advisers can still earn commission on sales

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14
Q

Investment Advice Charging - Retail Investment Products

A

Broader than packaged products

Does not include advice on stocks and shares

Or structured deposits

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15
Q

Investment Adviser Charging - Product Providers Facilitation

A

PP are prohibited from offering or paying commission of any kind in connection with advice

However, PP can ‘facilitate’ the payment of adviser charges and platform service

Adviser charges can not be ‘varied inappropriately’ according to product / provider, therefore cannot charge more for recommending one product over a substitutable product

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16
Q

Investment Adviser Charging - Product Providers advising on their own products

A

PP must ensure the adviser charge is ‘reasonably representative’ of the advice service provided

Not the costs of manufacturing and administering included

17
Q

Investment Adviser Charges - paying the charge

A

Clients can pay upfront or have it deducted from investment

Payment can be made in instalments for an ongoing service or the client makes regular contributions

If deducted from investment, PP must obtain clear instructions from client

18
Q

Ban on Inducements and Independent Advice (inducements is Advice as whole, investment Adviser Charging is for personal recommendation)

A

MiFID II introduces a ban on inducements

Professional Clients - applies to firms providing independent investment advice and PM

Retail Clients - applies to ‘restricted and independent’ advice and PM

Ban is on investment advice as a whole, rather than a particular recommendation

20
Q

Acceptable inducements for Portfolio Management services

A

Minor non-monetary benefits that:

  • enhance the quality of service provided
  • still allow firm to act in best interest of client
  • clearly disclosed
21
Q

Research and Inducements

A

Research provided to investment firm will not be an inducement:

  • if it is paid out of firms own resources
  • or paid out of a special ‘research payment account’
21
Q

Research Payment Account

A

RPA must be funded by a ‘research charge’ agreed with the client (not third parties), in accordance with the ‘research budget’ set by the firm’s ‘research needs’

Research charges must be separated from transaction costs

RPA can not be used for internal research

22
Q

Fund Manager Charges

A

MiFID II requires fund managers to disclose full, ‘unbundled’ charges

Total cost given instead of OCF, including trading costs and platform charges

Total costs given in £ and p instead of %

(Managers who run discretionary client portfolios must notify investors with 24 hours if portfolio falls by 10%)

23
Q

FCA rules to improve competition in Asset Management industry

A
  • Assessment of Value, where the charges taken are justified by overall value provided
  • independent directors make up 25% of AFM board (at least 2 directors)
  • new prescribed responsibility for FM on SMCR
  • prevents FM retaining risk free profits (profits from matching buy or sell orders, with no transaction costs)
  • make it easier for FM to convert investors to cheaper share classes when in their interests