Financial Advisory and Intermediary Services Act 2002 (Act No. 37 of 2002)DeterminationsDetermination of Fit and Proper Requirements for Financial Services Providers, 2017AnnexuresAnnexure Five : Regulatory ExaminationsTable 2: Regulatory Examination: FSPs and Key Individuals in Categories II and IIA |
ANNEXURE FIVE : REGULATORY EXAMINATIONS
TABLE 2: REGULATORY EXAMINATION: FSPs AND KEY INDIVIDUALS IN CATEGORIES II AND IIA
TABLE 2 |
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No. |
Task |
Knowledge Criteria |
Skill Criteria |
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1 |
Apply the Category II and/or IIA FSP business model |
Describe the characteristics of a Category II and/or IIA FSP and how that differentiates it from other financial services providers in Cat I and/or III. |
Take the difference between Category II and/or IIA FSPS and other financial services providers into account when making business related decisions |
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Discuss the separation of client assets from category II and/or IIA FSP's assets. |
Perform the fiduciary duty of the CAT II and/or IIA FSP. |
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Identify which assets belong to the client and which belong to the category II and/or IIA FSP. |
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Interpret basic financial systems. |
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Implement systems and processes to separate client and CAT II and/or IIA FSP assets. |
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Explain the role and responsibilities of the different parties involved, including but not limited to:
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Describe the need for relevant contractual agreements to be in place with the relevant other party. |
Verify that the relevant contractual agreements are in place with the relevant other party. |
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Business is conducted in accordance with the contractual agreements. |
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2 |
Manage the role of the independent nominee |
Describe the duties the nominee company is responsible for. |
Verify that there are processes in place to check that the nominee company executes its’ responsibilities towards the Category II and/or IIA FSP. |
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Explain the purpose of the nominee company. |
Confirm the nominee company complies with its duties. |
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3 |
Manage and oversee client mandates |
Explain why the category II and/or IIA FSP must use mandates that have been approved by the FSB. |
Manage client mandates in accordance to mandatory requirements. |
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Explain why a mandate cannot be used if it is not approved by the FSB. |
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Explain why a mandate cannot be used if it is not signed by the client or his duly authorised representative. |
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Explain why such a mandate must adhere to the requirements in the Discretionary Code of Conduct. |
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Explain what the requirements are for mandates. |
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4 |
Manage and oversee typical daily transactions |
Explain how different products have different turnaround times and should be adhered to. |
Check that the systems and processes enable the implementation and execution of different turnaround times for different products. |
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Describe how there should be adequate controls in place to manage risks. |
Check that the systems and processes have embedded controls to manage and contain risk. |
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5 |
Manage and oversee disclosures |
Explain how to ensure transparency and manage conflict of interests. |
Confirm that disclosures are adequate to enable client's ability to make an informed decision. |
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6 |
Understand the legal environment of the CAT II and/or IIA FSP |
Explain the liquidity requirement. |
Apply the liquidity requirements to own business. |
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Explain the implications of the liquidity requirements, |
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Describe the fidelity cover requirements. |
Apply the fidelity requirements to own business. |
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Explain the implications of the fidelity cover requirements. |
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Describe the applicable capital requirement. |
Apply the applicable capital requirements to own business. |
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Explain the implications of the capital requirements. |
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Explain why the Category II and/or IIA FSP is not allowed to engage in the netting of transactions. |
Verify that there are systems in place to check that netting of transactions will not take place. |
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Explain why a Category II and/or IIA FSP must ensure that it only conducts business with another FSP that has the appropriate categories/subcategories on its license, and that business must also be conducted within the parameters of the client mandate. |
Verify that it only conducts business with another FSP that has the appropriate categories/ subcategories on its license, and that business must also be conducted within the parameters of the client mandate, to ensure that all business is legitimate. |
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Describe what the continual compliance with the license requirements and conditions are. |
Check that there are systems in place to check that new products or proposed business ventures will meet the limitations of the license requirements and conditions are. |
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7 |
Apply the record keeping requirements |
Explain the period for which records must be kept. |
Incorporate the record keeping requirements when planning system updates and strategic initiatives. |
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Describe the requirements specifically applicable to telephone and/or electronic requirements. |
Verify that systems are in place to manage the record keeping risks of electronic and telephonic transactions. |
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8 |
Comply with requirements when reporting to clients |
Explain why clients must receive written reports at quarterly intervals, that provide them with investment and related information. |
Verify that there are systems and processes that enable the preparation and delivery of accurate quarterly reports. |
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9 |
Institute a personal account Trading policy |
Describe why a Discretionary FSP should have a personal account policy and why this is important. |
Check that there is a personal account trading policy and that there are controls to check that this is adhered to. |
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10 |
Apply prohibitions in terms of the Discretionary Code of Conduct |
Explain the prohibitions in terms of the Discretionary Code of Conduct. |
Check that there are processes and controls in place to ensure that the FSP adheres to the prohibitions in terms of the Discretionary Code of Conduct. |
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11 |
Deal with Nominee Regulations |
Describe the requirements of the Nominee Regulations, and what the FSP and the nominees must adhere to. |
Check that there are processes and controls in place to ensure that the FSP adheres to the requirements in terms of the Nominee Regulations. |