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A guide to the FSA Retail Distribution Review (RDR) and how it affects chartered accountants. The webinar will begin shortly . A guide to the FSA Retail Distribution Review (RDR) and how it affects chartered accountants. Gillian Cardy, IFA Centre Elizabeth Higgs, ICAEW.
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A guide to the FSA Retail Distribution Review (RDR) and how it affects chartered accountants The webinar will begin shortly
A guide to the FSA Retail Distribution Review (RDR) and how it affects chartered accountants Gillian Cardy, IFA CentreElizabeth Higgs, ICAEW
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Gillian Cardy, Managing Director, IFA Centre Elizabeth Higgs,Ethics and Integrity Manager, ICAEW Speakers
A Guide to the Retail Distribution Review Gillian Cardy BA(Hons) MBA FPFS Managing Director, IFA Centre
RDR : the background 2006 • John Tiner : KPMG investigates future market scenarios noting importance of advice, need for retirement planning – but many regulatory concerns re promotions, sales processes, marketing of higher risk products, disclosure documentation, unclear suitability of investment advice • Callum McCarthy : Gleneagles considers if the present business model is bust with focus on new premiums, commission incentivising the wrong behaviours, low persistency, low or negative business profits, churning, lack of non-commission paying advice
RDR : what’s the point? • improve the clarity with which firms describe their services to consumers • address potential for adviser remuneration to distort consumer outcomes • improve the professional standards of investment advisers
What’s the current situation? • Firms may be Independent, Whole of Market, Multi-Tied, Tied • Advisers are supposed to disclose their status and product range • Most clients do not know what sort of advice they have received • Advisers receive commission as payment for advice • Independent advisers must offer clients a fee option • Whole of market = commission only • Commission disclosure required • Most clients unaware of ongoing commission in particular • Level 3 minimum benchmark qualification • No independent verification of CPD
RDR : who is affected? • Financial advisers • Direct sales, employed, self-employed • Investment advisers • Bank advisers • Networks and their member firms • Stockbrokers • Wealth managers In short, any firm or individual providing personal recommendations to retail clients on retail investment products …
Adviser Types Whole of Market Multi- Tied Independent Tied Independent Restricted
What’s an investment product? (the changes to this rule are in italics) A ‘retail investment product’ is a) a life policy b) a unit c) a stakeholder pension scheme d) a personal pension scheme e) an interest in an investment trust savings scheme f) a security in an investment trust g) any other designated investment which offers exposure to underlying financial assets, in a packaged form which modifies that exposure when compared with a direct holding in the financial asset h) a structured capital-at-risk product
What’s not included?? • Structured Deposits : capital NOT at risk • Securities : individual shares • Derivatives : individual contracts • Physical assets : gold, wine, stamps, property • Mortgage advice • Non-investment insurance (includes term assurance, critical illness, health insurances, general and commercial insurances) (which means qualification and adviser charging requirements do not apply to advice on these matters – though other requirements e.g. for advising on and / or dealing in securities has its own additional qualification requirement)
What’s the future going to look like? • Firms will be Independent or Restricted (or both?) • Advisers must disclose their status • Product providers may not pay commission • Product providers may facilitate adviser charging (where the agreed cost of advice is deducted from the product) • Legacy commission on pre-RDR policies or investments may continue • Non-advised business (e.g. execution only or discretionary investment management) and non-scope business (mortgages or insurance for example) can still generate commission • Level 4 minimum benchmark qualification • Independent verification of CPD
What is Independent? Independent advice is : a personal recommendation to a retail client in relation to a retail investment product where the personal recommendation provided meets the requirements of the rule on independent advice. What is the rule? A firm must not hold itself out to a retail client as acting independently unless the only personal recommendations in relation to retail investment products it offers to that retail client are: (a) based on a comprehensive and fair analysis of the relevant market; and (b) unbiased and unrestricted
What does this mean? • Restricted = ANY advice that does not meet Independent standards • Binary choice (no shades of grey!) • Independent advice is assessed at firm level and individual client level • Firms are Independent (or Restricted or may in some business models be both) • Advice is NOT assessed at individual adviser level (as they could in some business models provide both types) “Holding out” and the “ i” word …
What about relevant markets? A Relevant Market : • Trustee Investments • Ethical Investments • Annuities & At Retirement advice Special Situations : • Discretionary Fund Managers • Long Term Care • Pension Transfers
Professionalism • Level 4 qualification compulsory for all advisers (with gap-fill to top up pre-RDR Level 4 qualifications if necessary) • Application : all retail advisers advising on retail investment products • Examinations : three core areas for all advisers (regulation & ethics, personal taxation, investment principles & risk) • Specialist areas : pensions, securities depend on firm’s permissions, individual authorisation, and advice provided
Other issues • Accredited Bodies : listed in FSA Handbook Glossary and updated from time to time • Statement of Professional Standing : issued by Accredited Body to authorised adviser and required by firm as independent verification of meeting Level 4 standard, completing CPD requirement and commitment to Code of Ethics • Continuing Professional Development : 35 hours p.a. of which 21 hours structured, i.e. designed to meet specific learning outcome
RDR : what’s the point? • improve the clarity with which firms describe their services to consumers (Independent or Restricted) • address potential for adviser remuneration to distort consumer outcomes(Adviser Charging) • improve the professional standards of investment advisers (Level 4, CPD & SPS)
Elizabeth HiggsEthics and Integrity Manager ICAEW Code of Ethics, Part B, Section 241
Current approach of the Code • Part B, Section 241 • www.icaew.com/regulations • Referrals only to those who can give objective advice • Independent • Multi tied ? • Single tied X • Assessment = • Large majority of relevant market; or • Sector of market most suitable for client. • Threats and safeguards approach
Future approach of the Code • Guidance awaiting approval, will be effective from 01 01 13 • Retains existing approach • Changes terminology to reflect new binary choice; • Independent – v – restricted. • Independent advisors provide independent advice • across all markets and products; or • all products in the relevant market. • Restricted advisors must, to be referred to • demonstrate appropriateness and • be assessed and either; • place business with a large majority of relevant market; or • sector of market most suitable for client.
Considerations for the referring member • Be conscious that client’s circumstances are individual • Be in the best position to make an assessment • If chosen adviser independent then no further assessment • If restricted adviser then assess; • If adviser able to cover large majority of products and providers available in client relevant market. • If so then make the referral • If not, don’t • The arrangements for DPB firms are unchanged • www.icaew.com/regulations for further information and FAQs
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