POLICY. Best-Selection Policy. LAST UPDATED March 2014. Best Selection Policy March 2014 1



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Transcription:

POLICY Best-Selection Policy LAST UPDATED March 2014 Best Selection Policy March 2014 1

Best-Selection Policy SUMMARY 1. Objective 3 2. Scope 3 3. Criteria for the selection of intermediaries and brokers 4 4. Best-execution monitoring 5 5. Policy review 5 Best Selection Policy March 2014 2

1. Objective UBI provides portfolio management services or manages collective investment schemes and shall comply with the obligations, stipulated in Article 314-3 of the General Regulations of the AMF, to act in the best interests of its clients or the collective investment schemes that it manages. In application of the EU s Markets in Financial Instruments Directive (MiFID) and pursuant to Article L533-18 of the French Monetary and Financial Code, UBI is required to take all reasonable measures to ensure that it obtains the best possible outcome during execution of an order for its clients, given the price, cost and speed of the transaction, the likelihood of execution and settlement being completed, the size and nature of the order and all other considerations regarding execution of an order. In order to fulfil its legal obligation in compliance with Article 314-75 of the General Regulations of the AMF, UBI has established and implemented a Best-Selection Policy describing the best-selection principles that are implemented and established within UBI. The objective is to select brokers and other financial intermediaries whose execution policy seeks to achieve the best possible results in executing orders. The key premise of the MiFID best-selection requirements is to ensure that UBI consistently takes all reasonable steps to provide the best possible outcome for its clients or collective investment schemes (together clients ) when a selected counterparty executes a trading instruction on behalf of UBI. The Best-Selection Policy applies to both professional and non-professional clients alike. Clients deemed eligible counterparty clients are not subject to this policy. Categorisation of clients is defined in accordance with MiFID criteria and is governed by UBI s client categorisation policy. 2. Scope The Best-Selection Policy established within UBI applies to the asset classes of its underlying investment strategies, which include, inter alia: Equities, Bonds, notes and bills, Convertible bonds, Commodities, Foreign exchange instruments, Derivatives such as listed and over-the-counter (OTC) put/call options and futures, Credit default swaps (CDSs). And the following markets: Listed and regulated markets, Multilateral trading facilities (MTFs), Primary market, OTC markets. Best Selection Policy March 2014 3

3. Criteria for the selection of intermediaries and brokers With respect to the portfolio management of its collective investment schemes and other portfolio management activities, UBI s Best-Selection Policy aims to obtain the best possible result when orders are executed by a broker or counterparty ( third-party intermediary ). UBI has defined the following factors and criteria when selecting third-party intermediaries within each asset class: Price of the transaction, Cost of the transaction, Speed of the transaction, Probability of successful execution and settlement, Size of the order, Nature of the order, All other considerations that might contribute to the quality of the execution of the order. The main factor(s) and criteria for assessing the execution may vary according to the client, instructions, characteristics and categorisation (as defined under the MiFID). Where UBI acts on behalf of its collective investment schemes or provides portfolio management services to its professional clients, UBI may retain one or more other best-execution factors as the prevailing criteria, taking into account the nature of the financial instrument and subject to the prevailing market conditions. In cases where UBI provides portfolio management services to a non-professional client, the total cost factor will be the main criterion. Case of special orders / specific instructions While executing special orders, for example orders subject to a threshold, the instructions given shall override best-execution requirements. It is important to emphasise that when a client gives specific instructions (for example a limit order or execution at a specific venue) in relation to the execution of an order, the order will be executed accordingly and UBI will be considered as having satisfied its best-selection obligations in respect of the part or aspect of the order to which the client s instructions relate. Case of pooled orders In certain circumstances UBI may pool client orders. In the event that orders have been pooled, UBI informs the client that: 1) the pooling of the orders could in certain cases be less favourable for him than the execution of a non-pooled order; and 2) it has established an equitable order-distribution policy in order to protect clients interests. When client orders are pooled UBI ensures that these operations do not harm its clients interests and that transactions have been correctly allocated. This rule does not apply when UBI is able to demonstrate that, without such pooling, client orders would not have met with such advantageous conditions. Meanwhile, UBI has set up procedures to prevent and monitor the reallocation of orders on terms that would be unfavourable to the client. Best Selection Policy March 2014 4

Third-party due diligence and periodic review It is UBI s responsibility to make sure that selected third-party intermediaries carry out and execute orders in accordance with the applicable best-execution policy. Where applicable, UBI leverages on the UBP Group, which has a third-party due diligence and periodic review procedure. The portfolio manager is responsible for selecting, in accordance with this best-selection policy, thirdparty intermediaries from the Approved Brokers List for each transaction. The third-party intermediary retained by UBI is in turn expected to provide best execution for each such transaction. Periodically, and at least once a year, UBI s Risk Officers review its third-party intermediaries. The Portfolio Management and Middle Officers take part in the periodic review, and provide a score for each third party. The Risk Officers analyse the results, verify the consistency of the scoring and update the Approved Brokers List. The final scoring is presented to the Risk Committee. Depending on their assessment, third-party intermediaries may be added to or removed from the Approved Brokers List. This approval or disapproval process is set out in UBI s procedure relating to Intermediaries follow-up and selection. 4. Best-execution monitoring The first level of monitoring of the best-execution principles is performed on a daily basis and is part of the Portfolio Management, Middle Office and Risk process. It may include the following controls: The third-party intermediary is duly authorised (see Approved Brokers List), The total cost of the trade (price, brokerage commission, taxes) is consistent with the principles defined in the Best-Execution Policy (size of the order, liquidity, specific instructions from the client, etc.). All the transactions executed with third-party intermediaries are consolidated in order to supervise the brokerage volume and/or fees. This data is retrieved by the Risk Officers and presented during the monthly Risk Committee meeting. Compliance and Internal Control will perform periodic checks as part of the Annual Internal Control Plan. 5. Policy review UBI periodically monitors the effectiveness of its current Best-Selection Policy to identify whether any changes are necessary. Accordingly, UBI will make the necessary amendments and inform its clients through the company s website or the collective investment scheme notices, as it deems appropriate. Best Selection Policy March 2014 5