Title: FINANCIAL SECTOR CHARTER
1FINANCIAL SECTOR CHARTER
presented by
Leila Moonda
2Overview
- Broad-based black economic empowerment (BBBEE) is
not a legal requirement it is a business
imperative that may or may not lead to a
competitive advantage - The Codes of Good Practice and the FSC are
guidelines for measurement of BBBEE compliance
3The BBBEE Imperative
- Competitive advantage
- Retain existing business / sales / customers
- Increased sales volumes
- Access to new markets
- Staff retention and growth
- Social imperative
- Growth of the Black middle class booming
economy - Job creation alleviate poverty and reduce crime
- Personal perspectives
4Who is Subject to the Charter
- Currently applies to signatories of the Charter
- Banks
- Long-term insurers
- Short-term insurers
- Re-insurers
- Managers of collective investments
- Asset managers
- Listed entities
- Any other institution may opt-in
- Once the Charter is gazetted as a Sector Code, it
will apply to all institutions active in the
sector, i.e including intermediaries
5Exemptions under the current framework
SUBJECT TO CHANGE WITH ALIGNMENT
- Less than 50 employees human resource
development provisions - Less than R10m designated investments
empowerment financing - Both of the above totally exempt, but may
opt-in - Companies subject to global policy certain
Board member provisions - Companies subject to global policy ownership
provisions - Wholesaler access provisions
6Measurement of BBBEE Status under the Codes
- Exempt Micro Enterprise (EME)
- Less than R5million turnover
- Auto Level 4 status, regardless of compliance
- If gt50 Black owned Level 3 status
- Can opt to be measured as a QSE should they wish
to obtain a higher score - Qualifying Small Enterprise (QSE)
- Turnover Between R5million and R35million
- Can select ANY of the 7 elements, 25 points each,
100 total - Relatively easy to become BBBEE compliant
- Large Business
- Score on 7 elements out 100 points
7The FSC elements
8The CoGP Elements
9CoGP Scorecard for QSEs
10Alignment recommendation re elements
- If the FSC adopts the approach that allows QSEs
to score on fewer elements (e.g. 4 out of 6) and
intermediaries cannot comply with Access and
Empowerment Financing, it means that
intermediaries have to comply with the ownership
provision. - Intermediaries should make a recommendation to
the FSC Council that HRD be split between
Employment Equity and Skills Development and
Ownership and Control be split. This would see
the FSC duplicate the 7 elements of the Codes and
have two additional elements of Access and
Empowerment Financing, giving the FSC 9 elements. - Intermediary QSEs could then have the option of
selecting 4 of 7 elements (excluding Access and
Empowerment Financing)
11HR Development
- Building a diverse, non-racial, non-sexist and
sustainable intellectual pool - Un-quantified commitments to
- Mentorship, Career Path programs
- Cultural Diversity and Gender sensitivity
programs - Where possible, support Educational Institutions
- Skills Audit to be undertaken to identify black
skills shortage
12Employment Equity Targets in the FSC and the CoGP
13Employment Equity Alignment
- The FSC current catgorisation is according to
salary bands - The DTI CoGP categorisation is as per the
Employment Equity Act - The Trade Associations have put forward a
position to the Charter Council that the
categorisation according to salary bands be
maintained. - With the alignment process the targets in the FSC
will be increased to the targets in the CoGP. The
Trade Associations have proposed that the
Adjusted Recognition for Gender not be
incorporated into the FSC, but that there be a
separate target for Black Women at 50 of the
Black people target.
14Skills Development
15Skills Development Alignment
- The Trade Associations have recommended that the
criteria and scoring in the FSC remain. - The TAs have recommended that the Learnership
targets and scoring mechanism be aligned to the
Codes
16Procurement Enterprise Development (FSC)
- Currently premium scoring is awarded to Black
Owned, Black Women-owned, Black SMEs or excellent
performers in Sectoral Charters. - As part of the alignment scoring will be aligned
to what is in the CoGP. - Un-quantified Commitments
- Promote early payment to Black SMEs
- Encourage existing suppliers to become BEE
accredited
17Preferential Procurement in the CoGP
- Promotes BEE compliance by all entities in a
value chain - Specific targets for buying from QSE and EME
companies promote their sustainability - Specific targets for buying from 50 black owned
or 30 black women owned entities - Enhanced recognition for buying from value adding
suppliers, encourages local content (factor of
1.25) - Means a company registered as a vendor under the
VAT Act of 1991, where NPAT total labour cost gt
25 of total revenue - Enhanced recognition for buying from ED
beneficiaries (factor of 1.2)
18Procurement
- Procurement from BEE accredited companies
- 50 by 2008
- 70 by 2014
- Same targets as per the CoGP
- Suppliers currently have to be rated on a broad
based methodology. Though this continues to be a
problem as there are no accredited verification
agencies as yet. Self assessment of suppliers
who are QSEs has been discussed by the various
Trade Associations and the FSC Procurement
committee and agreed to be acceptable - Procurement in the FSC will be aligned to the CoGP
19Calculation of Procurement spend in the Codes and
the Charter
20Enterprise Development
- Objectives
- Foster new BEE companies
- Develop existing BEE companies
- Mechanisms
- Skills transfer
- Secondment of Staff
- Infrastructure Support
- Technical and Administrative support and
assistance - Currently scored as part of Procurement, but as
part of the alignment process will be split from
Procurement. The current proposal is that it is
scored as part of Empowerment Financing
21Enterprise Development in the CoGP (large)
22Access
As Brokers do not make products available, they
can apply for exemption from this criteria.
However, Brokers do have a role to play in
assiting with the distribution of Access products.
- Broadening the effective provision of financial
services to LSM 1-5 - To ensure that majority have access to basic
affordable financial services - Defining Effective Access
- Affordability cost effective services to LSM
1-5 - Innovative, user friendly products/services and
- Non-discriminatory practices.
23Consumer Education
- This is a sub-category of Access wth a target of
0.2 of NPAT with a score of 2 points. - Even if intermediares receive exemption from the
Access provisions, they will still be required to
comply with the provisions of Consumer Education.
24Empowerment Financing
As brokers act as intermediaries, they do not
hold any designated investments in their own
right and would therefore be exempt from this
provision of the FSC
- Mobilising resources for investment in
socio-economic transformation - Affected Institutions those taking
designated investments - Designated investments deposits, savings,
investments, risk insurance premiums - R123.5bn currently targeted
- BEE transaction financing (5 points)
- Targeted investments (low-income housing,
transformational infrastructure, agriculture,
black SMEs) (17 points)
25Targeted investment / BEE Transaction Financing
targets
26Ownership control
- Enable genuine participation in the holding and
strategic direction of the Sector - Black ownership to be aimed at
- Promoting productive and sustainable
participation by black people - Encourage involvement of broad based
constituencies in BEE transactions - Encourage ownership that is likely to add value
to the financial institution - Encourage funding structures that facilitate
transfer of economic interest
27Control targets
28Corporate social investment
- Projects aimed at black people, have a strong
developmental approach contribute toward
transformation - Promote investment by the sector in areas
specific to the needs of the majority - Target
- 0.5 p.a. of post tax operating profits (FSC)
- 1 of NPAT (CoGP)
- The recommendation is that as part of the
aignment process the target be increased to 0.8
of NPAT. With the 0.2Consumer Education spend
this wold equal the target in the Codes.
29Application
- Targets apply from 1st January 2004 until 31st
December 2014. With the alignment process the
dates are likely to match the timeframe of the
CoGP, i.e. to be extended to 2017. - Principles embodied in the Charter are perpetual
30Charter Council
- The Charter Council will establish an Executive
with the delegated mandate to - Receive, consider and approve Annual Audits from
Financial Institutions - Issue guidance notes on the interpretation and
application of Charter - Conduct reviews identified in the FSC
- Engage Govt., DFIs, Regulatory Agencies BEE
Advisory Council to promote implementation of the
FSC - Independent Body
31Charter Council
32Charter Council Executive
- Principal Officer appointed 01st October 2005
Enoch Godongwana - Chairman rotates every year amongst the
constituencies, currently Kennedy Bungane from
ABSIP - Council offices established at 66 Marshall
street, Jhb CBD
33Status
- Charter was gazetted as a Transformation Charter
by the DTI on the 09th February 2007. - As the Charter has not yet been gazetted as a
Sector Code, government may still choose have its
financial sector suppliers rated against the DTI
Codes - The Charter Council is working towards having the
FSC gazetted as a section 9 Sector Code by the
end of 2007. That means that the new provisions
of the FSC will be applicable from the 01st
January 2008.
34Intermediaries Involvement
- The intermediaries are interacting with the
Principal Officer to ensure that their views
regarding the alignment are taken into account. - The Principal Officer has indicated that members
of associations that do not sit on the Charter
Council will be charged for a review of their
scorecards. The costs of this is still to be
confirmed.