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FIA Regional Conferences 2012: Regulatory Update

FIA Regional Conferences 2012: Regulatory Update. Agenda. Recent Exemptions: BN 193 of 2011 DOFA Qualifications CPD PI cover, IGF, Fidelity guarantees Binder agreements Bulk transfers of clients, transfer of book. BN 193 of 2011.

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FIA Regional Conferences 2012: Regulatory Update

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  1. FIA Regional Conferences 2012: Regulatory Update

  2. Agenda • Recent Exemptions: BN 193 of 2011 • DOFA • Qualifications • CPD • PI cover, IGF, Fidelity guarantees • Binder agreements • Bulk transfers of clients, transfer of book

  3. BN 193 of 2011 • Exemption of FSPS from audited financial statement requirements • “FSP” means an authorised Category I FSP who does not receive premiums (contemplated in the Short-term Insurance Act, 1998, and the Long-term Insurance Act, 1998) or otherwise receive or hold clients’ money or assets;

  4. BN 193 of 2011 • “FSP limited by product” means an authorised Category I FSP who renders financial services limited to financial products belonging to Long-term Insurance subcategory A or friendly society benefits provided by a friendly society contemplated in paragraph (d) (ii) of the definition of “financial product” in section 1 (1) of the Act and who receives or holds clients’ money;

  5. Extent of exemption (1)  An FSP is exempted from section 19 (2) (a) and (3) to (6) of the Act unless— (a) it is obliged by law to cause financial statements to be audited and reported on; or (b) it is otherwise obliged by law to cause financial statements to be independently reviewed by an independent reviewer or otherwise prepared, in which case section 19 (2) (a) and (3) to (6) applies with the necessary changes. (2)  An FSP limited by product, unless obliged by law to cause financial statement to be audited and reported on, is exempted from section 19 (2) (a) and (3) to (6) of the Act to the extent that reference is made to an auditor, audit or statement or report by an auditor subject to the conditions that it— (a) must appoint an accounting officer approved by the Registrar; (b) the accounting officer must certify and report on the financial statements referred to in section 19 (1) of the Act in conformity with the practices of the accounting officer’s profession; and (c) section 19 (2) to (6) applies with the necessary changes to the accounting officer, any certification and report by the officer and termination of appointment. (2)  The exemption does not apply where an FSP limited by product is otherwise obliged by law to cause financial statements to be independently reviewed by an independent reviewer, in which case section 19 (2) (a) and (3) to (6) of the Act applies with the necessary changes.

  6. Using the exemption: (3)  An FSP and FSP limited by product who wish to benefit from this Notice must within six months after publication of the Notice or upon application for authorisation in case of an unauthorised FSP— (a) register the exemption with the Registrar within the prescribed format and manner; and (b) must inform the Registrar in writing within 15 days after the change has taken place, of any change in respect of the information that was submitted for purposes of registering the exemption.

  7. DOFA • DOFA = date of first appointment • This is the date a person is appointed for the first time as: • A representative in respect of specific financial categories or subcategories of financial products • A KI for specific categories or subcategories • A sole proprietor (FSP)

  8. What is the implication of DOFA?

  9. However…

  10. Qualifications • Rules: BN 105 of 2008 • Recognise qualifications as: • G – Generic • S or SP – specific recognition: • S applies to people in industry between 2004 and 2009, as per appointment in this period • SP – applies to people entering industry from 2010 onwards, or people who amend their licensing conditions from 2010 onwards

  11. This means the qualification is recognised as specific for people appointed between 2004 and 2009 for this subcategory Qualifications List This means the qualification is not recognised for this subcategory This qualifications is recognised as specific for all appointments from 2004 onwards

  12. Qualifications list, cont

  13. CPD - continuous professional development • means a process of learning and development with the aim of enabling a financial services provider, key individual, representative or compliance officer to maintain the competency to comply with this Act;

  14. Key aspects of cpd

  15. CPD activities

  16. CPD provider • means an organisation that is approved by the Registrar to provide CPD programmes and/or activities, including but not limited to: • regulators, • industry associations, • professional bodies, • financial advisor networks, • compliance practices, • training providers, • institutions of Higher Education, • employers and product suppliers who offer annual CPD programmes to members, employees and other participants

  17. Subject fields for cpd • Ethics, corporate governance, compliance, fraud and risk. • Any relevant legislative/ regulatory aspect that influences the advice, intermediary service, products, or business aspects, or similar aspects. • Business skills, including Financial skills, Business writing, Systems and processes and Policies and procedures. • Any topic relevant to the improvement of services offered. • Customer service skills, techniques to improve how the financial service is rendered and any other topic relevant to the improvement/ development of business skills. • Management skills. • Financial planning. • Practice management.

  18. PROFESSIONAL INDEMNITY COVER AND FIDELITY GUARANTEES • A professional indemnity cover (required in terms of BN 123 of 2009) was added as a requirement in terms of the FAIS Act to protect the businesses of providers. • In most cases, even with controls implemented to ensure compliance we do not have control of certain risks which are inherent in professional advice giving businesses. • The risk of false/ incorrect professional advice resulting in lawsuits is inherent in most businesses, hence the requirement for a PI cover as one of the control measures to assist in the mitigation of these risks.

  19. Fidelity Cover, PI Cover, GuaranteesBN 123 of 2009 • Existing FSPs: • authorised before publication: • In force from 21 September 2010 • Newly authorised FSPs: • Within 6 weeks of authorisation • Existing FSP, add Cat II, IIA, III or IV: • Must meet the requirements for these categories

  20. FSPs that do not receive premiums or hold assets on behalf of clients

  21. FSPs that receive premiums or hold assets on behalf of clients

  22. Suitable guarantees • A guaranty can be described as a promise by which one person assumes responsibility for paying another's debts or fulfilling another's responsibilities. • Suitable guarantees refer to guarantees obtained through another entity, which is not provided in the form of insurance. Typically such guarantees are issued by a registered Bank. • In the case of a Bank such guarantees can be issued after they have satisfied themselves that all the requirements have been met.

  23. Group level? • Where an FSP forms part of a group of companies, the guarantees or PI cover may be obtained at group level, provided that: • each FSP that is covered by the group policy is clearly identified in the guarantee/policy documentation, and • the value of the guarantee or amount of cover is sufficient to cover the amounts required for each individual FSP’s situation, and • each FSP has a certified copy of the guarantee/ PI cover available for scrutiny by the Registrar should it be required.

  24. BINDER AGREEMENTS • Binder functions are collective term for functions that a binder holder performs as the agent of the insurer • Binder holder acts on behalf of insurer, as if the insurer • Binder functions identified in Act are – • enter into, vary or renew a policy • determine the wording of a policy • determine premiums under a policy • determine the value of policy benefits under a policy • settle claims under a policy • Only a non-mandated intermediary can be a binder holder.

  25. Status & transitional measures • Promulgated with effect from 1 January 2012 • All agreements concluded before or on the date on which the regs commenced must be aligned within one year • All agreements concluded after the date on which the regs commenced must immediately comply

  26. Where does binder functions fit? SERVICES TO INSURER SERVICES TO POLICYHOLDER SERVICES TO INSURER [not covered by binder fee or commission] BINDER SERVICES [covered by binder fee] INTERMEDIARY SERVICES [covered by commission] SERVICES TO POLICY-HOLDER [not covered by commission]

  27. Who may be a binder holder? ST exemptions: hold covered Does not apply in termination period

  28. Who may be a binder holder (cont.)?

  29. What may a binder holder do and not do? • May perform binder functions • May not further delegate binder functions

  30. BULK TRANSFER OF CLIENTS/ TRANSFER OF THE BOOK • In terms of section 20 of the General Code of Conduct • Providers who cease to operate must immediately notify all affected clients accordingly and take reasonable steps to ensure that any outstanding business is completed promptly or transferred to another provider • It is important to note that it is the responsibility of the outgoing provider to inform clients. • Product suppliers should also be notified.

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