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This presentation is a summary of the subject and is provided for use as a training tool and reference guide. They do not purport to give specific legal or other advice, and before acting, further advice should always be sought. Whilst every care has been taken in producing these slides, neither the author or Collas Day shall be liable for any errors, misprint or misinterpretation of any of the matters set out in them. All copyright in this material belongs to Collas Day.
Client Classification
under
The Licensees (Conduct of Business) Rules 2009
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Has your client requested categorisation as a Retail Client?
YES NO
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Is your client:• any entity licensed for Dealing, Managing or Advising under the POI Law (or equivalent law);• a regulated bank, insurer, collective investment scheme in Guernsey or elsewhere;• a pension scheme or its management company;• a national government;• a central bank; or• a supranational organisation?
YES NOBack to start
Definitions: Large Undertaking means a company that satisfies 2 of :Balance sheet total of £13m; net turnover of £26m; and own funds of £1.3m.
Professional Investor means, as defined in the QIF rules guidance: a Government, local authority, public authority or supra-national body (in the Bailiwick or elsewhere) or a body whose business is investment management or advice.
Is your client a Large Undertaking and/orProfessional Investor?
YES NO
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Note: “A member of the public” is not defined under the Rules. We would suggest that, in the context, this means an individual who does not have experience or expertise relevant to the services offered by the licensee.
Is your client a member of the Public?
YES NO
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Have you undertaken an adequate assessment of the expertise, experience and knowledge of your client as a
result of which, you consider your client is capable of making their own investment decisions and understanding what is
involved ?
YES NO
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Has your client stated in writing they wish to be treated as a Professional Client?
YES NO
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Have you given your client clear written warning of the loss of protection and investor compensation rights resulting from
electing to be a Professional Client?
YES NO
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Has your client requested categorisation as an Eligible Counterparty?
YES NO
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Have you undertaken an adequate assessment of the expertise, experience and knowledge of your client as a
result of which you consider your client is capable of making their own investment decisions and understanding what is
involved?
YES NO
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Has your client given express confirmation that it agrees to be treated as an Eligible Counterparty?
YES NO
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Has your Client confirmed in writing in a separate document from the service contract that it is aware of the consequences
of losing such protection?
YES NO
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Answer
Retail Client
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Per se Eligible Counterparty
Answer
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Per se Professional Client
Answer
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Elective Eligible Counterparty
Answer
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Elective Professional Client
Answer
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CONTACT:
Sean Cheonge: [email protected] t: +44 (0) 1481 734202
Jason Romere: [email protected] t: +44 (0) 1481 734296
Note:The GFSC proposes to issue Guidance Notes to cover client categorisation.
This presentation is a summary of the subject and is provided for use as a training tool and reference guide. They do not purport to give specific legal or other advice, and before acting, further advice should always be sought. Whilst every care has been taken in producing these slides, neither the author or Collas Day shall be liable for any errors, misprint or misinterpretation of any of the matters set out in them. All copyright in this material belongs to Collas Day.
Back to start