APPLICATION FOR AFFILIATION TO THE ASSOCIATION ROMANDE DES INTERMÉDIAIRES FINANCIERS (ARIF) (DIRECTIVE 1)



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APPLICATION FOR AFFILIATION TO THE ASSOCIATION ROMANDE DES INTERMÉDIAIRES FINANCIERS (ARIF) (DIRECTIVE 1) February 2013 Please print and complete the present document fully in printing characters, tick where appropriate, and attach all documents requested. The undersigned, hereinafter the candidate : Names, first names / full corporate name Principal address Principal telephone no Principal fax no Principal email Website Name(s) of authorised signatory (signatories) of present application for affiliation Name, first name Direct phone or mobile phone applies for affiliation to ARIF and to that effect provides hereinafter the documents and information, of which he certifies the accuracy and authenticity. By his signature, the candidate declares that he adheres fully and without reservation to the Articles of Association, Rules and Directives of ARIF (available on the site www.arif.ch), which he certifies having fully understood. Authorised signatory (signatories) PLACE :.. DATE :. Page 1 / 10

THE CANDIDATE EXPRESSLY CERTIFIES AS FOLLOWS: (PLEASE TICK WHERE APPROPRIATE) Not to have exercised any activity as a financial intermediary subject to the MLA prior to the filing of the present application. To have already exercised an activity as a financial intermediary subject to the MLA since: Date while being affiliated to a self-regulating organisation (SRO) or the FINMA: Name SRO - FINMA Starting date of membership: Ending date of membership: To have already exercised an activity as a financial intermediary subject to the MLA prior to the filing of the present application without being affiliated to a self-regulating organisation (SRO) and without having obtained the authorisation to exercise from the FINMA: Date The candidate, who is not yet affiliated to a self-regulating organisation (SRO) and without authorisation to exercise from the FINMA, expressly undertakes not to exercise any activity as a financial intermediary subject to the MLA from the filing of the present application for affiliation until his admission to ARIF, or to another self-regulating organisation, or to the FINMA. The candidate undertakes to notify ARIF immediately in writing of any changes affecting the accuracy and the completeness of the data communicated, hereinafter that might take place during the admission procedure or thereafter, during the entire period of his affiliation to ARIF, and to furnish ARIF immediately with the documents evidencing such changes. 1. INFORMATION RELATING TO THE CANDIDATE Please indicate if you exercise or will exercise your activity as: (PLEASE TICK WHERE APPROPRIATE) Individual or collective firm not entered in an official register Individual or collective firm entered in an official register Company or other legal entity not entered in an official register Company or other legal entity entered in an official register In case you are entered in the Swiss Commercial Register or, failing this, in another official register subject to the supervision of a state authority in Switzerland or abroad, we kindly ask you to deliver to us: Its accurate electronic address and a reproduction of the data concerning you in case this register is freely and gratuitously accessible by Internet. In all other cases, an original extract of your registration, certified true, which is not older than three months. Page 2 / 10

Please indicate since when you have exercised or will exercise your activity subject to the MLA: Please describe exactly your effective or planned commercial activity as a financial intermediary: Please explain hereinafter the kind of intended professional activity, by specifying on which market(s) and with the cooperation of which possible auxiliaries it will be exercised. If you start your activity with an existing goodwill, please indicate: the number of your business relationships subject to the MLA : the percentage of all your business relationships which they represent : Principal business sectors : 1. Asset and securities management, and securities trading which is not subject to the LBVM 2. Foreign exchange activities (exchange offices, hotels, petrol stations) 3. Traders in foreign exchange (forex), financial and derivative instruments 4. Distribution of investment funds 5. Commodity or precious metal trading 6. Transport, transit and deposit of valuables (transport of funds) 7. Fiduciary activities (administration of companies, trustee) 8. Services relating to money clearing (including payment collection) 9. Credit, leasing, factoring, financing with fixed price 10. Insurance brokers 11. Lawyers and notaries 12. Money transfer 13. Trust, trustee 14. Investment company 15. Other (please specify..) Page 3 / 10

Are you affiliated to one or more professional association(s)? If yes, to which one(s)? Please describe the internal organisation of your firm and, if it comprises more than five persons, provide in an annex a relational organisational chart specifying the name and function of each person: Please indicate the existence, nature (holding, shareholding, consolidation, financing, family etc.) and the importance of your legal or business links with other natural persons and/or legal entities who/which exercise a dominant influence on your own or their activity, or with which/whom you form a group. If these links are complex, please attach a complete description: Page 4 / 10

2. THE EXTERNAL MLA AUDITOR Your MLA auditor must be accredited by ARIF (list available on Internet on the following link http://www.arif.ch/reviseurs.htm). In order to be accredited by ARIF, such auditor must compulsorily: a. possess specific professional knowledge in financial and MLA matters; b. offer all guarantees of an irreproachable activity and enjoy a good reputation; c. be independent of the financial intermediaries whom he audits; d. be a member of the Chambre Fiduciaire [Fiduciaries Chamber] or the Union Suisse des Fiduciaires [Swiss Union of Fiduciaries] or be licensed by FINMA; e. be licensed by the Audit Oversight Authority, and have the capacity of an audit expert in order to conduct audits related to the Code of Deontology of ARIF; f. apply for accreditation by ARIF and to this effect file a complete dossier (list of requested documents available on the Internet site of ARIF www.arif.ch); g. undertake to cooperate with ARIF and to transmit to it all useful information on the execution and the result of his audits. Your MLA auditor, accredited by ARIF, must provide ARIF with a letter certifying his acceptance of the mandate as an MLA auditor or, alternatively, complete the following statement : Full corporate name Name(s), first name(s) / of the authorised auditor(s) Address Telephone no Fax Email The Undersigned, MLA auditor accredited by ARIF, certifies the acceptance of the mandate as an MLA Auditor for the financial intermediary submitting this application : Authorised signature(s) and name of signatory (signatories) Date Stamp Page 5 / 10

3. THE INTERNAL MLA OFFICER You must immediately designate, amongst your firm s bodies or your staff, one person (and his or her possible deputy) who must usually be present at the office of the principal place of business in Switzerland and will hold the responsibilities required by the ARIF Directive 7 relating to organisation and internal control. Please provide us with the following information concerning your MLA Officer: Name, first name Direct phone Mobile phone Direct fax Direct email Special qualifications of this person in MLA matters or prudential supervision (professional experiences, trainings, further responsibilities performed in the past etc.): Possible deputy (names, first names, direct telephone): Possible recognised external specialist (name, address): and deliver to us the personal documents concerning you MLA Officer designated in fig. 4 hereinafter. Page 6 / 10

4. INFORMATION RELATING TO PERSONS Please photocopy and complete the present page as often as necessary You must provide a complete personal file for all your firm s bodies (members of partnerships, managing members of limited liability companies, members of boards of directors or of foundation boards or of association committees and all other management members with general powers) and for all your subordinated employees and auxiliaries taking part in your business subject to the MLA, including your MLA Officer. Are exempted from the obligation to provide a complete file: - the members of partnerships or of limited liability companies, members of boards of directors or of foundation boards or of association committees, composed of at least ten persons, and only with regard to those persons having neither any operational activity, nor any power of signature; - the non-managing members of limited liability companies having neither any operational activity, nor any power of signature. Please provide for each of these persons the following information: Name, first name Position in the company Since Please provide for each of these persons all the following documents: 1. photocopy of a valid passport or identity card, countersigned by the person concerned. 2. photocopy of residence authorisation (for foreigners domiciled in Switzerland) or of work authorisation (for frontier workers), countersigned by the person concerned. 3. original extract of the criminal records of the country of residence, not older than three months. 4. curriculum vitae in original form, dated and signed by the person concerned, containing at least his civil status, his private address, his education and his professional career. 5. photocopy of diplomas, countersigned by the person concerned *. 6. photocopy of certificates of employment, countersigned by the person concerned *. 7. the attestation of absence of any proceedings as notified on next page. * or, failing this, a written, dated and undersigned attestation on honour explaining this default Page 7 / 10

Please photocopy and complete the present page as often as necessary Please certify, by signing the present paragraph, that neither in Switzerland, nor abroad: - you have ever been condemned or are presently the subject-matter of any proceedings of a criminal or disciplinary character, regardless of whether they are of a judicial or administrative nature, due to facts in connection with your professional activity (e.g. prohibition or withdrawal of the authorization to exercise a professional activity, exclusion from a SRO etc.) or due to acts constituting a crime within the meaning of Swiss law; - the impeccable management of the undertakings of which you have been the employee or body has ever been called into question by a financial market supervisory authority (e.g. FINMA, SFBC, SRO and equivalent foreign authorities) due to acts attributable to you. Name, First name Signature Place Date In the case of any facts, acts, proceedings or convictions which could not be entirely compatible with the certification stated hereinbefore or could be relevant in an economical respect or from the point of view of the reputation or the guarantee of the impeccable management of a bank or of a securities dealer, we ask you to indicate their content precisely and to provide all documents as well as means of information allowing an accurate assessment of their impact. Page 8 / 10

5. INFORMATION RELATING TO PERSONS DOMICILED ABROAD Permanent domicile of the undertaking s actors If one or several managers or staff members of your structure, taking part in your business subject to the MLA, are not permanently domiciled in Switzerland or in its near border area, we kindly ask you to specify this to us and to explain his/her/ their precise role in the course of business of the company. 6. MLA ORGANISATION As an applicant for ARIF membership you must have as of now an internal organisation guaranteeing the irreproachable character of your activities subject to the MLA, and their conformity with the law and ARIF s Articles of Association, Rules and Directives. Even if the firm has only one person involved in the business subject to the MLA, the financial intermediary must draw up internal directives in writing concerning the organisation and internal control in MLA matters. A checklist with all the necessary minimal provisions is available on the ARIF website : www.arif.ch/en/documents. Your auditor must certify by his signature hereafter that your internal directives do exist and are compliant with the provisions of the law and of ARIF s Articles of Association, Rules and Directives. Name or full corporate name of the MLA auditor Signature of the MLA auditor Place Date Page 9 / 10

7. CODE OF DEONTOLOGY (DIRECTIVE 14) CONCERNING THE EXERCISE OF THE PROFESSION OF AN INDEPENDENT ASSET MANAGER : Please answer the following questions: (PLEASE TICK WHERE APPROPRIATE) A B C D The candidate does not exercise any activity as an asset manager. (the adherence to the Code of Deontology is not possible) The candidate exercises an activity as an asset manager, but does not purchase any shares in collective investments for his or her customers. (the adherence to the Code of Deontology is not compulsory, but optional; cf. letter E) The candidate exercises an activity as an asset manager, he or she purchases shares in collective investments exclusively for customers considered as qualified investors. (the adherence to the Code of Deontology is not compulsory, but optional; cf. letter E) The candidate exercises an activity as an asset manager, he or she purchases shares in collective investments for his or her customers, regardless of whether they are qualified investors or not. (The adherence to the Code of Deontology is compulsory) Note : the compulsory subjection to ARIF s Code of Deontology will continue as long as your membership in ARIF will subsist and the activity will last because of which you are obliged by law to submit to such rules of conduct. E The candidate exercises an activity as an asset manager and wishes to adhere voluntarily to the Code of Deontology without being obliged thereto. Note : the voluntary subjection to ARIF s Code of Deontology cannot be revoked before the end of the audit period during which it has been declared. Any subjected activity of a member subject to the Code of Deontology regardless of whether compulsorily or voluntarily must give rise to an audit in accordance with ARIF s Directives. 8. ARIF S INTERNET SITE *** The applicant requests that his corporate name and place of business Be Be not please tick where appropriate) accessible to the public on the Internet site of ARIF (www.arif.ch/membres.htm). 9. HOW DID YOU GET TO KNOW ARIF? Lawyer / Notary Auditor Recommendation by a member financial intermediary Internet Leaflet Advertising Bank Other : Page 10 / 10