Financial Planner Remuneration

Size: px
Start display at page:

Download "Financial Planner Remuneration"

Transcription

1 Financial Planner Remuneration Discussion Paper 28 February 2014 Background In 2011 the FPI formed a Remunerations Working Group ( WG ). The objective of the WG was to investigate, analyse and formulate a position regarding the remuneration of financial planners and financial advisors, by establishing a remunerations framework which would take the FPI s Professional Body mandate into account. In November 2013 the draft findings of the working group were presented to the Technical Committee for comment and this discussion document has been approved for membership discussion. When one considers the principles of the FPI Code of Ethics and Professional Responsibility ( the Code ), it is apparent that being a professional financial planning practitioner is about more than just remuneration. It is about the manner in which you engage with your clients, the openness and transparency of your disclosures, diligent execution of your fiduciary duties, the relationships with your clients and your employer and your commitment to on-going learning, all of which are relevant to enhancing the profession and the benefitting clients we serve. That being said, any debate around planner remuneration is a contentious one. One must balance the rights and needs of the consumer whilst ensuring the sustainability of the profession in order to provide much needed and valuable financial advice to the consumer. A financial planner provides three services to a client: Financial Advice delivered by the provisions of a financial plan; Implementation of the recommendations in the financial plan, that may involve the sale of a financial product; On-going advice relating to the financial plan and maintenance of any solutions that have been implemented. Page 1 of 8

2 In the current environment a financial planner is only remunerated for the implementation of his or her recommendations, that result in a sale of a financial product and the on-going maintenance of the product solutions implemented, unless he or she charge fees for the provision of financial advice. In this current environment the financial planner s behaviour will naturally be driven to a focus on selling products, in order to be remunerated for the work done. Introduction The following are methods of remuneration for financial planners: Commission: is defined as The compensation received by a professional member, calculated as a percentage of the amount of his or her purchase transactions. 1 Currently this is the most common method of remuneration for financial planners Fee Based: is a method of remuneration where the financial planner will charge a time or activity based fee, but the collection of the fee is offset against any product commission earned if a product is implemented. This method of remuneration allows for a transition to a fee only practice, but facilitates the collection of the fee. If a product is not sold the client would remain liable for the agreed upon fee and this would be payable in cash. Fee Only: is defined as A method of compensation where only a fee is received from a client, with neither the professional member nor any related party receiving compensation contingent on the purchase or sale of any financial product. For this purpose a related party shall mean an individual or entity from whom the professional members derives any direct or indirect economic benefit, as a result of the party implementing a recommendation made by the professional member 2 In the current commission environment there is an inherent conflict of interest. If a planner is not paid for the advice that is provided, but only for the sale of a product, it is logical that a planner would have a bias towards the sale of a product. Having said that, the FPI does not seek to establish the amount that should be charged for professional services, nor does it seek to stipulate a method that a member should use. We rather seek to set out principles that are aligned to the Code. 1 FPI Code of Ethics and Professional Responsibility at pg. 5 Commission 2 FPI Code of Ethics and Professional Responsibility at pg. 5 Fee Only Page 2 of 8

3 Principles for financial planner remuneration Principle 1 It is the client, in consultation with the planner, not a Regulator or product provider, who should determine the quantum of remuneration payable, as well as the method of remuneration for the services provided. Principle 2 The remuneration charged by the planner must be fair and transparent to the client and the client must understand what services they are paying for. Principle 3 The client should understand which portion of the fee is in respect of advice and which portion is in respect of product implementation. Principle 4 Client s must be able to switch off the remuneration if the agreed service is no longer been provided. These principles are discussed further below. Principle 1 - It is the client, in consultation with the planner, not a Regulator or product provider who should determine the quantum of remuneration payable as well as the method of remuneration for the services provided: In the case of an employer sponsored retirement fund, the trustees of the fund should be considered the client, and in the case of an umbrella fund, the management of the participating employer. In all other cases, client refers to the individual client; Maximum remuneration earned by a financial planner, in most cases, is currently regulated; Due to regulation, consumers are often unaware that they are able to negotiate planner remuneration; Planner remuneration should be determined, as with any other profession, by the client, based on negotiation with the financial planner; Regulation can help the consumer by regulating the method of disclosure for comparability, but the quantum or method of remuneration should not be regulated. Page 3 of 8

4 Principle 2 - The remuneration charged by the planner must be fair and transparent to the client and the client must understand what they are paying for: To quote from the Code3: In determining what constitutes a fair remuneration, professional members may take into account the value of the professional service to the client, the customary charge for similar services by other professionals, banks, and management and business consultants, and any special circumstances. No single factor is necessarily the determining factor. Agreeing on an acceptable fee is primarily a matter for negotiation between the professional member and the client. The following factors should be taken into account when determining the fee: The skill and knowledge required for the type of professional service involved; The level of training and experience of the persons necessarily engaged in performing the professional service; The time necessarily taken by each person engaged in performing the professional service; The degree of responsibility and risk involved in performing this service; The level and extent of investment in technology and infrastructure to support the advice provided. Where possible remuneration should be disclosed in monetary terms; Where it is not possible to disclose the exact monetary amount, then the calculation or formula should be disclosed, together with examples relevant to the consumers situation must be provided; The consumer should be able to compare the fee across charging models; The remuneration quoted to the consumer must be the total remuneration including any fee, commission or rebate that the planner may earn, whether monetary or non-monetary. Principle 3 - The consumer should understand what portion of the fee is for advice and what portion is for product implementation The consumer must be made aware that there is a financial planning advice charge, which charge encompasses the financial planning activities undertaken on behalf of the client, including: the 3 FPI Code of Ethics and Professional Responsibility at pg. 14 Remuneration Page 4 of 8

5 initial investigations, the identification of needs and goals, the analysis of the financial information and objectives and the preparation and presentation of the financial plan; It should be clear to the consumer that the financial plan is not a free service; Where a recommendation is implemented, additional remuneration will be earned either by means of a fee or commission; The Financial Planner must ensure that the difference between advice and implementation is clearly delineated and that they are not paid twice for the same work. Principle 4 - Clients must be able to switch off the remuneration if the agreed service is no longer been provided The client must be aware that they are in control of the payment of the remuneration; Where on-going remuneration is being charged, particularly by way of a deduction from a product implemented, the client must be made aware that the deduction can be stopped if the promised service is no longer delivered. Fee methods Much has been debated around what qualifies as a fee and what qualifies as commission. In our mind the most important distinction is that in the case of fees, it is the client that makes the decision regarding both quantum and method of charging of the fee, once presented with a quote from the planner. Whereas in the case of commission, the quantum and method of charging, is determined by the product provider and is based on Regulation. While the client may be able to negotiate the commission, they often do not do so as they are led to believe that the quoted commission is set. The following are accepted methods of determining a fee: Activity based model: Clients are charged according to the individual activities undertaken by the planner. For example, where the planner assists in drafting a will, a flat fee is charged in respect of the activity of the drafting of a will, and this fee applies across the board to all clients in need of this service. Every service offered is assigned a fee value. Time based model: Clients are charged according to a pre-determined hourly rate, regardless of the type of activity undertaken by the financial planner. The financial planner monitors the time taken to complete all tasks on behalf of the client, and then charges the client his hourly rate multiplied by the time invested into activities on behalf of that client. Page 5 of 8

6 Annual/monthly retainer model: The client pays a pre-agreed amount on a regular basis to the practice. This pre-agreed amount will cover all fees due by the client in respect of work undertaken on their behalf, regardless of the time those tasks take to complete and regardless of the number of such tasks. Asset based consulting fee: The client is billed for initial or on-going financial planning advice and product maintenance as a percentage of the client s assets, where the rate of the fee is specifically agreed between the financial planner and the client. In the case of on-going fees the client is made aware that the fee can be switched off if the services are no longer provided. Conclusion When one considers the negative public opinion that seems to surround the financial planning profession, it is difficult to imagine that the current commission model has not played a large role in fuelling that perception. It is clear that a change to remuneration structures is needed, for both the benefit of the consumer, and the profession as a whole. However the solution is not to simply overhaul the system as has been done in jurisdictions such as Australia and the United Kingdom. Rather, we must recognise that South Africa is a unique economy, with both first world and third world characteristics, and thus we need a remuneration system that takes cognisance of this. Perhaps the fairest system is a fee based system whereby the fee explicitly agreed to by the client can be deducted from a product that is implemented, should the client so choose. Page 6 of 8

7 Advocacy points for any change to the remuneration model: The value of financial planning should be a factor considered in the debate, not only the cost of advice. Proof points on the value of financial planning must be collated. Presently only the advice relating to the selling of a product is defined in FAIS. For a meaningful debate to occur around financial planner remuneration a definition of financial planning services needs to be agreed upon. The definition should be broad and not merely limited to process. Any changes in the model of financial planner remuneration needs to be phased in/out to allow planners to make the necessary adjustment in their practice over time. Any change in a remuneration model should only apply for products sold after the effective date, meaning that existing arrangements would remain in place. It is the lower to middle income groups who will benefit most from financial advice and the remuneration model must not be structured in such a way that these groups are excluded from obtaining financial advice due to the cost. It is therefore important that even though the consumer will have negotiating power in terms of fees or commission payable, the payment should be able to be facilitated through the product provider if requested by the consumer. Fees should not be regulated or capped. Ultimately the fee payable will be decided on by the consumer based on the financial planner s value proposition. This negotiation should be allowed to take place in an open market environment. Page 7 of 8

8 Questions to enable feedback: Please respond to the questions below to assist us to determine if this paper adequately addresses remuneration practices and concerns: 1. Do you think the principles identified are correct? Do you have any specific concerns regarding any of the principles outlined? 2. Should the FPI find-a planner website show the remuneration method of the financial planner? 3. Have we identified all the key charging methods? 4. Is there any advantage or disadvantage to the financial planner moving to a fee only or fee based method? 5. What transitional issues may arise if you had to move to a fee only or fee based remuneration model? 6. Do you think that the South African consumer is ready for a fee only or fee based remuneration environment, if legislation is amended to go this route? 7. What is an acceptable phase-in period to move to a fee only or fee based model? 8. Do you have any other comments in relation to financial planner remuneration? -END- Page 8 of 8

Financial Planner Remuneration

Financial Planner Remuneration Consultation Paper Financial Planner Remuneration April 2009 Submissions due Friday 29 May 2009 professional.standards@fpa.asn.au Foreword In the last few years the FPA has undertaken a significant process

More information

Financial Planner Remuneration Policy October 2009

Financial Planner Remuneration Policy October 2009 Background In 2008, the FPA formed a remuneration policy committee to review our current remuneration policy, which included our Principles to Manage Conflicts of Interest, and develop a uniform set of

More information

INSOLVENCY CODE OF ETHICS

INSOLVENCY CODE OF ETHICS LIST OF CONTENTS INSOLVENCY CODE OF ETHICS Paragraphs Page No. Definitions 2 PART 1 GENERAL APPLICATION OF THE CODE 1-3 Introduction 3 4 Fundamental Principles 3 5-6 Framework Approach 3 7-16 Identification

More information

Effective from 1 January 2009. Code of Ethics for insolvency practitioners.

Effective from 1 January 2009. Code of Ethics for insolvency practitioners. INSOLVENCY PRACTITIONERS (PART D) Effective from 1 January 2009. Code of Ethics for insolvency practitioners. On 1 January 2014 a minor change was made to paragraph 400.3 of the code. The change clarifies

More information

4374 The Mauritius Government Gazette

4374 The Mauritius Government Gazette 4374 The Mauritius Government Gazette General Notice No. 2260 of 2012 THE INSOLVENCY ACT Notice is hereby given that the following Rules governing the performance and conduct of Insolvency Practitioners

More information

Professional Ethics in Liquidation and Insolvency

Professional Ethics in Liquidation and Insolvency COE Section 500 Issued February 2012Revised July 2015 Effective on 1 April 2012 Code of Ethics for Professional Accountants Part E Section 500 Professional Ethics in Liquidation and Insolvency SECTION

More information

New Zealand Institute of Chartered Accountants

New Zealand Institute of Chartered Accountants New Zealand Institute of Chartered Accountants FAES Issued 11/09 Amended 07/13 ENGAGEMENT STANDARD FINANCIAL ADVISORY ENGAGEMENTS Issued by the Board of the New Zealand Institute of Chartered Accountants

More information

Vendor to Plan Fiduciary Investment and Fee/Compensation Disclosure

Vendor to Plan Fiduciary Investment and Fee/Compensation Disclosure ADP RETIREMENT SERVICES Vendor to Plan Fiduciary Investment and Fee/Compensation Disclosure HR. Payroll. Benefits. Vendor to Plan Fiduciary Investment and Fee/Compensation Disclosure New vendor to plan

More information

PRACTICE NOTE 22 THE AUDITORS CONSIDERATION OF FRS 17 RETIREMENT BENEFITS DEFINED BENEFIT SCHEMES

PRACTICE NOTE 22 THE AUDITORS CONSIDERATION OF FRS 17 RETIREMENT BENEFITS DEFINED BENEFIT SCHEMES PRACTICE NOTE 22 THE AUDITORS CONSIDERATION OF FRS 17 RETIREMENT BENEFITS DEFINED BENEFIT SCHEMES Contents Introduction Background The audit approach Ethical issues Planning considerations Communication

More information

Financial Services Guide

Financial Services Guide The combined Financial Services Guide of HiFX Limited and HiFX Australia Pty Ltd A Guide To Our Relationship With You And Others This Financial Services Guide (FSG) is issued by: HiFX Limited (HiFX) ARBN

More information

White Knight Group Britannia House High Street Bream, LYDNEY Glos. GL15 6JS Tel: (01594) 564444

White Knight Group Britannia House High Street Bream, LYDNEY Glos. GL15 6JS Tel: (01594) 564444 about our Services and Costs White Knight Group Britannia House High Street Bream, LYDNEY Glos. GL15 6JS Tel: (01594) 564444 www.whiteknightgroup.co.uk 1. The Financial Conduct Authority (FCA) The FCA

More information

OFFICE OF THE REGISTRAR OF INSURANCE AND RETIREMENT FUNDS CODE OF CONDUCT FOR INSURANCE BROKERS

OFFICE OF THE REGISTRAR OF INSURANCE AND RETIREMENT FUNDS CODE OF CONDUCT FOR INSURANCE BROKERS Form RDI 14 OFFICE OF THE REGISTRAR OF INSURANCE AND RETIREMENT FUNDS CODE OF CONDUCT FOR INSURANCE BROKERS 1. INTRODUCTION This Directive sets out the Code of Conduct for insurance brokers offering insurance

More information

APES 230 Project status update

APES 230 Project status update APES 230 Project status update Purpose To provide an update to the Board on the progress of the APES 230 project in the following areas: - Key stakeholder engagement. - Fundamental principles of the Code

More information

THE REAL ESTATE CODE CONDUCT, ETHICS AND BEHAVIOUR IN REAL ESTATE

THE REAL ESTATE CODE CONDUCT, ETHICS AND BEHAVIOUR IN REAL ESTATE THE REAL ESTATE CODE CONDUCT, ETHICS AND BEHAVIOUR IN REAL ESTATE Version 20/4/09 SYNOPSIS A Practitioner should: 1. Uphold the honour and dignity of the profession and not engage in any activity that

More information

Dennis Matthew Breier d/b/a Fairwater Wealth Management

Dennis Matthew Breier d/b/a Fairwater Wealth Management Item 1 Cover Page Dennis Matthew Breier d/b/a Fairwater Wealth Management Registered Investment Adviser 16W455 S. Frontage Road, Suite 311 Burr Ridge, Illinois 60527 (630) 282-6520 phone (630) 282-6520

More information

Client Service Agreement

Client Service Agreement Client Service Agreement Terms of Engagement Service Proposition Fee Agreement 3D Financial Planning 01737 735002 Terms of Engagement 3D Financial Planning is a member of Best Practice IFA Group Limited,

More information

Financial Services Guide

Financial Services Guide Financial Services Guide / 1 Commonwealth Private Financial Services Guide Date of issue: 22 June 2015 Issue 10 Commonwealth Private Limited ABN 30 125 238 039 AFSL 314018 Registered office: Ground Floor,

More information

New Fee Disclosure Regulation Magnifies Fiduciary Risks for 401(k) Plan Sponsors

New Fee Disclosure Regulation Magnifies Fiduciary Risks for 401(k) Plan Sponsors Fiduciary Insights New Fee Disclosure Regulation Magnifies Fiduciary Risks for 401(k) Plan Sponsors COST ASSIGNMENT DECISIONS EXPENSE CONTROLS CONFLICTS OF INTEREST INVESTMENT SELECTION CONSTRAINTS FEE

More information

Financial Services Guide Part 1

Financial Services Guide Part 1 Financial Services Guide Part 1 Version 12, 30 JUNE 2014 This Financial Services Guide ( FSG ) has been authorised for distribution by the authorising licensee: Magnitude Group Pty Ltd ( Magnitude ) ABN

More information

Johanson Financial Advisors, Inc. 2105 South Bascom Avenue, Suite 255 Campbell, CA 95008. Firm Contact: Lynda Tu Chief Compliance Officer

Johanson Financial Advisors, Inc. 2105 South Bascom Avenue, Suite 255 Campbell, CA 95008. Firm Contact: Lynda Tu Chief Compliance Officer Part 2A of Form ADV: Firm Brochure Item 1: Cover Page June 2015 Johanson Financial Advisors, Inc. 2105 South Bascom Avenue, Suite 255 Campbell, CA 95008 Firm Contact: Lynda Tu Chief Compliance Officer

More information

IFSA Guidance Note No. 10.00

IFSA Guidance Note No. 10.00 Brokerage Arrangements December 2006 Main features of this Guidance Note are to: specify the principles to be adopted in relation to Investment Manager Brokerage arrangements; provide guidance in the interpretation

More information

EUROPEAN UNION ACCOUNTING RULE 17 REVENUE FROM NON-EXCHANGE TRANSACTIONS (TAXES AND TRANSFERS)

EUROPEAN UNION ACCOUNTING RULE 17 REVENUE FROM NON-EXCHANGE TRANSACTIONS (TAXES AND TRANSFERS) EUROPEAN UNION ACCOUNTING RULE 17 REVENUE FROM NON-EXCHANGE TRANSACTIONS (TAXES AND TRANSFERS) Page 2 of 26 I N D E X 1. Introduction... 3 2. Objective... 3 3. Scope... 3 4. Definitions... 4 5. Non-exchange

More information

Supplementary Financial Services Guide

Supplementary Financial Services Guide Supplementary Financial Services Guide Dated 27 July 2015 This Supplementary Financial Services Guide (SFSG) supplements Version. February 2015 of the Crowe Horwath Financial Advice Pty Ltd Financial Services

More information

Understanding Plan Fees and Expenses

Understanding Plan Fees and Expenses Understanding Plan Fees and Expenses Susan M. Wright, CPA, APM Executive Director, Consulting Topics of Discussion Fiduciary Responsibilities Settlor vs. Non-settlor Expenses Revenue Holding Accounts Questions

More information

INSOLVENCY CODE OF ETHICS

INSOLVENCY CODE OF ETHICS Definitions INSOLVENCY CODE OF ETHICS Authorising Body A body declared by Order of the Secretary of State for Trade and Industry or the Department of Enterprise, Trade and Investment to be a recognised

More information

REPORTING ACCOUNTANTS WORK ON FINANCIAL REPORTING PROCEDURES. Financing Change initiative

REPORTING ACCOUNTANTS WORK ON FINANCIAL REPORTING PROCEDURES. Financing Change initiative REPORTING ACCOUNTANTS WORK ON FINANCIAL REPORTING PROCEDURES consultation PAPER Financing Change initiative inspiring CONFIdENCE icaew.com/financingchange ICAEW operates under a Royal Charter, working

More information

Financial Reporting by Superannuation Plans

Financial Reporting by Superannuation Plans Australian Accounting Standard AAS 25 March 1993 Financial Reporting by Superannuation Plans Prepared by the Public Sector Accounting Standards Board of the Australian Accounting Research Foundation and

More information

Financial Planner Competency Profile

Financial Planner Competency Profile Planner Competency Profile 1 Vision Professional financial planning for all. Our Mission The FPI s mission is to advance and promote the pre-eminence and status of financial planning professionals, while

More information

CAILBA - ADVISOR CODE OF CONDUCT. The Principles. Advisor Obligations. Place the Customer s Best Interests First: Hold Out Appropriately:

CAILBA - ADVISOR CODE OF CONDUCT. The Principles. Advisor Obligations. Place the Customer s Best Interests First: Hold Out Appropriately: CAILBA - ADVISOR CODE OF CONDUCT This Code of Conduct sets out the standards to which we expect our Associate General Agents and brokers (collectively Advisors ) to adhere in their dealings with customers

More information

Accounting for Employee Entitlements

Accounting for Employee Entitlements Australian Accounting Standard AAS 30 March 1994 Accounting for Employee Entitlements Prepared by the Public Sector Accounting Standards Board of the Australian Accounting Research Foundation and by the

More information

CONTROL DOCUMENTATION for CAT II/IIA

CONTROL DOCUMENTATION for CAT II/IIA 1 CONFLICTS OF INTEREST MANAGEMENT POLICY: CONTROL DOCUMENTATION for CAT II/IIA 2 CONTENTS: Introduction 3 PAGE No. 1. Conflicts of Interest Management Policy Framework-Controls & Procedures (Notes on

More information

Code of Ethics for Professional Accountants

Code of Ethics for Professional Accountants COE Issued December 2005; revised June 2010 Effective on 30 June 2006 until 31 December 2010 Code of Ethics for Professional Accountants CODE OF ETHICS FOR PROFESSIONAL ACCOUNTANTS CONTENTS Page PREFACE...

More information

PROVISION OF AUDIT AND OTHER SERVICES BY THE EXTERNAL AUDITOR

PROVISION OF AUDIT AND OTHER SERVICES BY THE EXTERNAL AUDITOR PROVISION OF AUDIT AND OTHER SERVICES BY THE Brief description Defines the circumstances within which an External Auditor may provide audit and other services. BHP Billiton Group Level Document 1. Intent

More information

International Accounting Standard 19 Employee Benefits. Objective. Scope IAS 19

International Accounting Standard 19 Employee Benefits. Objective. Scope IAS 19 International Accounting Standard 19 Employee Benefits Objective 1 The objective of this Standard is to prescribe the accounting and disclosure for employee benefits. The Standard requires an entity to

More information

Insolvency Practitioners Association of Singapore Limited Code of Professional Conduct and Ethics

Insolvency Practitioners Association of Singapore Limited Code of Professional Conduct and Ethics PRELIMINARY DRAFT Insolvency Practitioners Association of Singapore Limited Code of Professional Conduct and Ethics Sections 1 to 6 only T:\Committees\IPAS\Extracts of IPAS Code of Ethics ver 6.draft (clean).doc

More information

CONTRACT MANAGEMENT FRAMEWORK

CONTRACT MANAGEMENT FRAMEWORK CONTRACT MANAGEMENT FRAMEWORK August 2010 Page 1 of 20 Table of contents 1 Introduction to the CMF... 3 1.1 Purpose and scope of the CMF... 3 1.2 Importance of contract management... 4 1.3 Managing contracts...

More information

SUBSIDIARY LEGISLATION 373.01 PREVENTION OF MONEY LAUNDERING AND FUNDING OF TERRORISM REGULATIONS

SUBSIDIARY LEGISLATION 373.01 PREVENTION OF MONEY LAUNDERING AND FUNDING OF TERRORISM REGULATIONS AND FUNDING OF TERRORISM [S.L.373.01 1 SUBSIDIARY LEGISLATION 373.01 PREVENTION OF MONEY LAUNDERING AND FUNDING OF TERRORISM REGULATIONS 31st July, 2008 LEGAL NOTICE 180 of 2008, as amended by Legal Notices

More information

Article from: International News. November 2007 Issue No. 43

Article from: International News. November 2007 Issue No. 43 Article from: International News November 2007 Issue No. 43 Actuarial Involvement in Road Accident Fund Claims in South Africa By Greg Whittaker Whilst not required by South African Law, courts in South

More information

LIBA. Structured Products: Principles for Managing the Distributor- Individual Investor Relationship

LIBA. Structured Products: Principles for Managing the Distributor- Individual Investor Relationship ISDA LIBA Structured Products: Principles for Managing the Distributor- Individual Investor Relationship The distributor-individual investor relationship should deliver fair treatment of the individual

More information

International Accounting Standard 37 Provisions, Contingent Liabilities and Contingent Assets

International Accounting Standard 37 Provisions, Contingent Liabilities and Contingent Assets International Accounting Standard 37 Provisions, Contingent Liabilities and Contingent Assets Objective The objective of this Standard is to ensure that appropriate recognition criteria and measurement

More information

FINANCIAL SERVICES GUIDE PART 1

FINANCIAL SERVICES GUIDE PART 1 FINANCIAL SERVICES GUIDE PART 1 9 NOVEMBER 2015 This Financial Services Guide has been authorised for distribution by the authorising licensee: Magnitude Group Pty Ltd ( Magnitude ) ABN 54 086 266 202

More information

1. Introduction...2. 2. The standard for independent advice 3. 3. Restricted advice...7. 4. Communicating the nature of a firm s advice services 9

1. Introduction...2. 2. The standard for independent advice 3. 3. Restricted advice...7. 4. Communicating the nature of a firm s advice services 9 Financial Services Authority Finalised guidance Retail Distribution Review: Independent and restricted advice June 2012 Contents 1. Introduction...2 2. The standard for independent advice 3 3. Restricted

More information

STREET CAPITAL FINANCIAL CORPORATION STREET CAPITAL HOLDINGS CORPORATION STREET CAPITAL MORTGAGE CORPORATION

STREET CAPITAL FINANCIAL CORPORATION STREET CAPITAL HOLDINGS CORPORATION STREET CAPITAL MORTGAGE CORPORATION STREET CAPITAL FINANCIAL CORPORATION STREET CAPITAL HOLDINGS CORPORATION STREET CAPITAL MORTGAGE CORPORATION (Collectively referred to as Street Capital) CONFLICT OF INTEREST AND MORTGAGE SUITABILITY POLICY

More information

ERISA 408(b)(2) Disclosure Statement

ERISA 408(b)(2) Disclosure Statement This Fee Disclosure Guide 1 contains a description of services provided to plans and/or its participants as well as sources of compensation received by us or our affiliates which details are set forth

More information

MUNICIPAL PENSION PLAN JOINT TRUSTEESHIP AND PROPOSED JOINT MANAGEMENT AGREEMENT EXECUTIVE SUMMARY

MUNICIPAL PENSION PLAN JOINT TRUSTEESHIP AND PROPOSED JOINT MANAGEMENT AGREEMENT EXECUTIVE SUMMARY Municipal Pension Plan Joint Trusteeship Page 1 MUNICIPAL PENSION PLAN JOINT TRUSTEESHIP AND PROPOSED JOINT MANAGEMENT AGREEMENT EXECUTIVE SUMMARY In 1999, the provincial government passed legislation

More information

Secondary Disclosure Statement (Authorised Financial Adviser)

Secondary Disclosure Statement (Authorised Financial Adviser) Secondary Disclosure Statement (Authorised Financial Adviser) Contact Details Name and registration number of Authorised Financial Adviser: Jude Drummond FSP 66181 Address: Level 8, 114 The Terrace, Wellington

More information

Retail Distribution Review 2014

Retail Distribution Review 2014 Retail Distribution Review 2014 EXECUTIVE SUMMARY 1 This paper outlines the results of the Retail Distribution Review (RDR) carried out by the Financial Services Board (FSB) and proposes farreaching reforms

More information

Part 2A of Form ADV: Firm Brochure

Part 2A of Form ADV: Firm Brochure Part 2A of Form ADV: Firm Brochure Item 1 Cover Page A. VL Capital Management LLC 55 West Church Street Orlando, FL 32801 Mailing Address: P.O. Box 1493 Orlando, FL 32802 Phone: (407) 412-6298 Effective

More information

National Association of Independent Public Finance Advisors P.O. Box 304 Montgomery, Illinois 60538.0304 630.896.1292 209.633.6265 Fax www.naipfa.

National Association of Independent Public Finance Advisors P.O. Box 304 Montgomery, Illinois 60538.0304 630.896.1292 209.633.6265 Fax www.naipfa. February 22, 2011 Elizabeth M. Murphy, Secretary Securities and Exchange Commission 100 F Street, N.E. Washington, DC 20549-1090 Re: File Number S7-45-10 Dear Ms. Murphy: The National Association of Independent

More information

Client Agreement Mortgages, Equity Release and Insurance

Client Agreement Mortgages, Equity Release and Insurance Client Agreement Mortgages, Equity Release and Insurance An overview of the services we offer I am an Independent Adviser, which means that I offer a range of services designed to meet the financial goals

More information

Understanding Retirement Plan Fees and Expenses

Understanding Retirement Plan Fees and Expenses Understanding Retirement Plan Fees and Expenses To view this and other EBSA publications, visit the agency s Web site at: www.dol.gov/ebsa. To order publications, contact us electronically at: www.askebsa.dol.gov.

More information

ALLAN GRAY RETIREMENT ANNUITY FUND CONDITIONS OF MEMBERSHIP

ALLAN GRAY RETIREMENT ANNUITY FUND CONDITIONS OF MEMBERSHIP ALLAN GRAY RETIREMENT ANNUITY FUND CONDITIONS OF MEMBERSHIP Allan Gray Retirement Annuity Fund Conditions of Membership This is an overview of the Conditions of Membership of the Allan Gray Retirement

More information

AIFP. Accredited Investment Fiduciary Professional. Accredited Investment Fiduciary Professional THE BENEFITS OF CHOOSING AN A MATTER OF TRUST:

AIFP. Accredited Investment Fiduciary Professional. Accredited Investment Fiduciary Professional THE BENEFITS OF CHOOSING AN A MATTER OF TRUST: THE BENEFITS OF CHOOSING AN A MATTER OF TRUST: Accredited Investment Fiduciary Professional DESIGNEE AIFP Accredited Investment Fiduciary Professional Who is Looking After Your Best Interests? EFFECTIVE

More information

Future of Financial Advice: Best interests duty and related obligations

Future of Financial Advice: Best interests duty and related obligations REGULATION IMPACT STATEMENT Future of Financial Advice: Best interests duty and related obligations December 2012 About this Regulation Impact Statement This Regulation Impact Statement (RIS) addresses

More information

What does the future hold?

What does the future hold? Financial Planning What does the future hold? July 2012 Agenda Understand the drivers of change and what this means for Financial Planners (FPs) International Regulatory Trends What could happen in SA?

More information

Review of insolvency engagements questionnaire

Review of insolvency engagements questionnaire Review of insolvency engagements questionnaire Introduction This questionnaire is to be used for formal insolvency engagements under the Corporations Act and Bankruptcy Act. The questionnaire is based

More information

INSTITUTE OF FINANCIAL ADVISERS INC. P2 - PRACTICE STANDARDS

INSTITUTE OF FINANCIAL ADVISERS INC. P2 - PRACTICE STANDARDS INSTITUTE OF FINANCIAL ADVISERS INC. P2 - PRACTICE STANDARDS EFFECTIVE 1 JANUARY 2012 TABLE OF CONTENTS INTRODUCTION... 2 Professional Financial Advice... 2 The Six-Step Process... 2 The Core Components...

More information

Get more out of life with a financial plan

Get more out of life with a financial plan Get more out of life with a financial plan There are more benefits to having a financial plan than you may realise. A comprehensive financial plan can help you: Balance today s needs with your goals for

More information

RETIREMENT ANNUITY CONDITIONS OF MEMBERSHIP EFFECTIVE 24 MAY 2016 VERSION 11.0

RETIREMENT ANNUITY CONDITIONS OF MEMBERSHIP EFFECTIVE 24 MAY 2016 VERSION 11.0 RETIREMENT ANNUITY CONDITIONS OF MEMBERSHIP EFFECTIVE 24 MAY 2016 VERSION 11.0 Allan Gray Retirement Annuity Fund Conditions of Membership This is an overview of the Conditions of Membership of the Allan

More information

Sri Lanka Accounting Standard-LKAS 26. Accounting and Reporting by Retirement Benefit Plans

Sri Lanka Accounting Standard-LKAS 26. Accounting and Reporting by Retirement Benefit Plans Sri Lanka Accounting Standard-LKAS 26 Accounting and Reporting by Retirement Benefit Plans -661- Sri Lanka Accounting Standard-LKAS 26 Accounting and Reporting by Retirement Benefit Plans Sri Lanka Accounting

More information

Regulatory Impact Statement for Third Amendment to 11 NYCRR 136 (Insurance Regulation 85).

Regulatory Impact Statement for Third Amendment to 11 NYCRR 136 (Insurance Regulation 85). Regulatory Impact Statement for Third Amendment to 11 NYCRR 136 (Insurance Regulation 85). 1. Statutory authority: The Superintendent s authority for the adoption of the rule to 11 NYCRR 136 is derived

More information

124 Accounting issues in family law

124 Accounting issues in family law 124 Accounting issues in family law by J Exner BEc, ACA [Original author] 124-1 Update: 51 EXPERT EVIDENCE Author information Jennifer Exner, BEc, ACA, is a Partner in the Forensic practice of Deloitte

More information

F I R M B R O C H U R E

F I R M B R O C H U R E Part 2A of Form ADV: F I R M B R O C H U R E Dated: 03/24/2015 Contact Information: Bob Pfeifer, Chief Compliance Officer Post Office Box 2509 San Antonio, TX 78299 2509 Phone Number: (210) 220 5070 Fax

More information

IPSAS 23 REVENUE FROM NON-EXCHANGE TRANSACTIONS (TAXES AND TRANSFERS) CONTENTS

IPSAS 23 REVENUE FROM NON-EXCHANGE TRANSACTIONS (TAXES AND TRANSFERS) CONTENTS IPSAS 23 REVENUE FROM NON-EXCHANGE TRANSACTIONS CONTENTS December 2006 Paragraph Introduction... IN1 IN5 Objective... 1 Scope... 2 6 Government Business Enterprises... 6 Definitions... 7 28 Non-Exchange

More information

Submission to the Review of the General Insurance Code of Practice

Submission to the Review of the General Insurance Code of Practice Submission to the Review of the General Insurance Code of Practice 1 July 2009 Mr A.O. Libke Administrative Officer GPO Box 1705 Brisbane QLD 4001 Ph. 07 3229 6663 Email adminoffice@aicla.org Executive

More information

DRAFT. Corporate Governance Principles for Caribbean Countries

DRAFT. Corporate Governance Principles for Caribbean Countries DRAFT Corporate Governance Principles for Caribbean Countries Corporate Governance Principles for Caribbean Countries Preamble The Core principles are aimed at improving the legal, institutional and regulatory

More information

CITY OF AVENTURA POLICE OFFICERS RETIREMENT PLAN FINANCIAL STATEMENTS SEPTEMBER 30, 2014, AND 2013

CITY OF AVENTURA POLICE OFFICERS RETIREMENT PLAN FINANCIAL STATEMENTS SEPTEMBER 30, 2014, AND 2013 CITY OF AVENTURA POLICE OFFICERS RETIREMENT PLAN FINANCIAL STATEMENTS SEPTEMBER 30, 2014, AND 2013 CITY OF AVENTURA POLICE OFFICERS RETIREMENT PLAN FINANCIAL STATEMENTS SEPTEMBER 30, 2014, AND 2013 TABLE

More information

Governance working group

Governance working group Governance working group Issues paper on trustee and director duties March 2011 PROPOSED REFORM The Government s response to recommendation 2.1 of the Super System Review included in principle support

More information

CERTIFIED FINANCIAL PLANNER BOARD OF STANDARDS, INC. FINANCIAL PLANNING PRACTICE STANDARDS

CERTIFIED FINANCIAL PLANNER BOARD OF STANDARDS, INC. FINANCIAL PLANNING PRACTICE STANDARDS CERTIFIED FINANCIAL PLANNER BOARD OF STANDARDS, INC. FINANCIAL PLANNING PRACTICE STANDARDS 1 2 T E R M I N O L O G Y Terminology in this Booklet C l i e n t denotes a person, persons, or entity who engages

More information

Important Information about Brokerage and Investment Advisory Services

Important Information about Brokerage and Investment Advisory Services Robert W. Baird & Co. Incorporated Important Information about Brokerage and Investment Advisory Services Understanding Brokerage and Investment Advisory Relationships Baird is registered with the Securities

More information

Hollard Retirement Annuity Plan

Hollard Retirement Annuity Plan Hollard Retirement Annuity Plan I n f o r m a t i o n d o c u m e n t Hollard Retirement Annuity Plan This document contains general information about the Hollard Retirement Annuity Plan and is not the

More information

Risk Financing - Considerations Before Purchasing

Risk Financing - Considerations Before Purchasing Appendix B Risk Financing Considerations and Alternatives Appendix B Risk Financing Considerations and Alternatives A crucial part of managing a public entity s risks is deciding how to finance those

More information

For personal use only

For personal use only CONTENTS Introduction Objective Scope Standards of Behaviour Work Environment Community Engagement Financial Information and Integrity Company Property and Information Bribery and Corruption Breaches Approval

More information

Exposure Draft of Proposed Standard: APES 330 Insolvency Services

Exposure Draft of Proposed Standard: APES 330 Insolvency Services Exposure Draft of Proposed Standard: APES 330 Insolvency Services ED XX/08 P:\Standards & Guidance Notes\APES330 Insolvency Services\Exposure Draft APES330 Insolvency Services.doc Commenting on this Exposure

More information

How To Get A Limited Accountants Exemption Licence

How To Get A Limited Accountants Exemption Licence Information guide: Accountants exemption reform This information guide has been developed for members of CPA Australia and Chartered Accountants Australia and New Zealand (Chartered Accountants ANZ). 1.

More information

BILL ANALYSIS. Senate Research Center S.B. 1664 By: Perry Business & Commerce 3/24/2015 As Filed

BILL ANALYSIS. Senate Research Center S.B. 1664 By: Perry Business & Commerce 3/24/2015 As Filed BILL ANALYSIS Senate Research Center S.B. 1664 By: Perry Business & Commerce 3/24/2015 As Filed AUTHOR'S / SPONSOR'S STATEMENT OF INTENT Recently, the United States Congress passed the Achieving a Better

More information

The Retail Distribution Review

The Retail Distribution Review The Retail Distribution Review STAKEHOLDER CONSULTATION WORKSHOPS 23 and 25 FEBRUARY 2015 Presenters: Jonathan Dixon: DEO, Insurance Caroline da Silva: DEO, FAIS Leanne Jackson: Head, Market Conduct Strategy

More information

Models of Advisor Fiduciary Responsibility: What Advisors Need to Know

Models of Advisor Fiduciary Responsibility: What Advisors Need to Know Models of Advisor Fiduciary Responsibility: What Advisors Need to Know Ashish Shrestha Regional Director This information is provided for registered investment advisors and institutional investors and

More information

INVESTMENT ADVISORY MANAGEMENT AGREEMENT

INVESTMENT ADVISORY MANAGEMENT AGREEMENT INVESTMENT ADVISORY MANAGEMENT AGREEMENT This Investment Advisory Agreement ( Agreement ) is entered into this day of, 20, by and between Rockbridge Asset Management, LLC ( Rockbridge ), a Registered Investment

More information

Form ADV Part 2A Disclosure Brochure

Form ADV Part 2A Disclosure Brochure Form ADV Part 2A Disclosure Brochure Effective: June 1, 2015 This Disclosure Brochure provides information about the qualifications and business practices of Connecticut Wealth Management, LLC ( CTWM ).

More information

Proposed Principles to be addressed in APES 230 Financial Advisory Services

Proposed Principles to be addressed in APES 230 Financial Advisory Services Scope of the project Proposed Principles to be addressed in APES 230 Financial Advisory Services The proposed APES 230 Financial Advisory Services will specify the key requirements and responsibilities

More information

Draft heads of terms for negotiations to achieve a new contract for doctors and dentists in training

Draft heads of terms for negotiations to achieve a new contract for doctors and dentists in training Draft heads of terms for negotiations to achieve a new contract for doctors and dentists in training June 2013 This document relates to all doctors and dentists in approved postgraduate training programmes

More information

GUIDELINE NO. 6 PENSION PLAN PRUDENT INVESTMENT PRACTICES GUIDELINE

GUIDELINE NO. 6 PENSION PLAN PRUDENT INVESTMENT PRACTICES GUIDELINE GUIDELINE NO. 6 PENSION PLAN PRUDENT INVESTMENT PRACTICES GUIDELINE November 15, 2011 TABLE OF CONTENTS CONTEXT FOR THE GUIDELINE... 3 Prudent Investment Practices... 3 Self-Assessment Questionnaire...

More information

STANDARD FINANCIAL REPORTING P ROVISIONS, C ONTINGENT L IABILITIES AND C ONTINGENT A SSETS ACCOUNTING STANDARDS BOARD

STANDARD FINANCIAL REPORTING P ROVISIONS, C ONTINGENT L IABILITIES AND C ONTINGENT A SSETS ACCOUNTING STANDARDS BOARD ACCOUNTING STANDARDS BOARD SEPTEMBER 1998 FRS 12 12 P ROVISIONS, FINANCIAL REPORTING STANDARD C ONTINGENT L IABILITIES AND C ONTINGENT A SSETS ACCOUNTING STANDARDS BOARD Financial Reporting Standard 12

More information

Corporate Governance in New Zealand Principles and Guidelines

Corporate Governance in New Zealand Principles and Guidelines CONSULATION DRAFT: November 2014 CONSULTATION DRAFT November 2014 Corporate Governance in New Zealand Principles and Guidelines A handbook for directors, executives and advisers Auckland Office Level 5,

More information

What is the Financial Planning Association (FPA)?

What is the Financial Planning Association (FPA)? What is the Financial Planning Association (FPA)? The Financial Planning Association is the membership organization for the financial planning community. FPA has been built around four Core Values: Competence,

More information

Making it clear: AN ADVISOR S GUIDE TO WRITTEN ENGAGEMENT & DISCLOSURE. This Advisor.ca Special Report is sponsored by:

Making it clear: AN ADVISOR S GUIDE TO WRITTEN ENGAGEMENT & DISCLOSURE. This Advisor.ca Special Report is sponsored by: Making it clear: AN ADVISOR S GUIDE TO WRITTEN ENGAGEMENT & DISCLOSURE This Advisor.ca Special Report is sponsored by: DEFINING THE RULES OF ENGAGEMENT by Andrew Rickard The day is quickly approaching

More information

Guidance on Asset Valuation Methods

Guidance on Asset Valuation Methods Revised Educational Note Guidance on Asset Valuation Methods Committee on Pension Plan Financial Reporting September 2014 Document 214100 Ce document est disponible en français 2014 Canadian Institute

More information

Financial Services Guide

Financial Services Guide Financial Services Guide Phillip Capital Limited AFSL No. 246827 - ABN 14 002 918 247 Phillip Capital Trading Pty Ltd AFSL No. 246796 - ABN 68 066 066 911 (together Phillip Capital ) Purpose of the Financial

More information

Documents and Policies Pertaining to Corporate Governance

Documents and Policies Pertaining to Corporate Governance Documents and Policies Pertaining to Corporate Governance 3.1 Charter of the Board of Directors IMPORTANT NOTE Chapter 1, Dream, Mission, Vision and Values of the CGI Group Inc. Fundamental Texts constitutes

More information

SAMPLE REGISTERED INVESTMENT ADVISER COMPENSATION DISCLOSURE

SAMPLE REGISTERED INVESTMENT ADVISER COMPENSATION DISCLOSURE SAMPLE REGISTERED INVESTMENT ADVISER COMPENSATION DISCLOSURE (For Use by Registered Investment Advisers in Providing Disclosures of Compensation To Retirement Plan Clients Whose Plans are Funded by Group

More information

CHARTER OF THE BOARD OF DIRECTORS

CHARTER OF THE BOARD OF DIRECTORS SUN LIFE FINANCIAL INC. CHARTER OF THE BOARD OF DIRECTORS This Charter sets out: 1. The duties and responsibilities of the Board of Directors (the Board ); 2. The position description for Directors; 3.

More information

APES 230 Financial Planning Services

APES 230 Financial Planning Services APES 230 Financial Planning Services Prepared and issued by Accounting Professional & Ethical Standards Board Limited ISSUED: April 2013 Copyright 2013 Accounting Professional & Ethical Standards Board

More information

A GUIDE TO RETIREMENT ANNUITY TRUST SCHEMES ( RATS ) IN GUERNSEY

A GUIDE TO RETIREMENT ANNUITY TRUST SCHEMES ( RATS ) IN GUERNSEY A GUIDE TO RETIREMENT ANNUITY TRUST SCHEMES ( RATS ) IN GUERNSEY TABLE OF CONTENTS INTRODUCTION... 3 WHAT IS A RETIREMENT ANNUITY TRUST SCHEME?... 3 THE TRUSTEES... 4 APPROVAL... 4 TRANSFERS FROM OTHER

More information

Provisions, Contingent Liabilities and Contingent Assets

Provisions, Contingent Liabilities and Contingent Assets HKAS 37 Issued November 2004 Revised March 2010 Effective for annual periods beginning on or after 1 January 2005 Hong Kong Accounting Standard 37 Provisions, Contingent Liabilities and Contingent Assets

More information

How To Choose A Comprehensive Financial Advisor

How To Choose A Comprehensive Financial Advisor The NAPFA Comprehensive Financial Planning Diagnostic: Helping consumers understand what comprises truly comprehensive financial planning Consumers today are confused and rightly so. With so many financial

More information

GUIDE TO FUNDING YOUR MEDICAL NEGLIGENCE CLAIM

GUIDE TO FUNDING YOUR MEDICAL NEGLIGENCE CLAIM GUIDE TO FUNDING YOUR MEDICAL NEGLIGENCE CLAIM Because of the expert knowledge and depth of investigation required in order to bring a successful claim, negligence litigation can be expensive. Understandably,

More information

PwC s Law Firm Services. Congressional Proposals Requiring Law Firms to Report Taxable Income on the Accrual Method of Accounting

PwC s Law Firm Services. Congressional Proposals Requiring Law Firms to Report Taxable Income on the Accrual Method of Accounting PwC s Law Firm Services Congressional Proposals Requiring Law Firms to Report Taxable Income on the Accrual Method of Accounting December, 2013 Executive summary Proposals in Congress could fundamentally

More information

PROFESSIONALISM in PRACTICE

PROFESSIONALISM in PRACTICE PROFESSIONALISM in PRACTICE Southwest Actuarial Forum San Antonio, Texas 10 December 2010 Disclaimer: The opinions expressed are solely those of the presenter and are not approved positions of the American

More information

Form ADV Part 2A Disclosure Brochure

Form ADV Part 2A Disclosure Brochure Form ADV Part 2A Disclosure Brochure Effective: February 3, 2014 This Disclosure Brochure provides information about the qualifications and business practices of Congress Capital Partners, LLP ( Congress

More information