Title: Treating Customers Fairly
1- Treating Customers Fairly
- 10th October 2007
- Manchester Insurance Institute
- Mike Cranny FCII
- Director of Create Solutions
- President of the Insurance Institute of
Manchester -
2Content
- Introduction Principles Based Regulation
- TCF Your Progress and Update
- The New ICOB consultation
3The Future Principle based
What the FSA say Changing the balance between
principles and detailed rules Greater reliance
on principles and outcome-focused, high-level
rules, and less reliance on prescriptive rules
4The Future Principle based
What the FSA say Gives firms the flexibility
and responsibility to decide how best to run
their business while also delivering the
regulatory outcomes A different approach to how
we deal with you We will focus on indicating
where the minimum threshold of compliance lies
5Why the move to principle based regulation?
- The FSA Say
- Prescriptive rules have not prevented mis-selling
- Principles are more durable in a quickly changing
market place - Small firms have told us they find it difficult
to navigate and understand thousands of detailed
rules - Re-focus firms energy on the overall purpose of
the principle, rather than the letter of the rule
6TCF
- Treating Customers Fairly
7Treating Customers Fairly
- Fed up of hearing about it?
- What progress have you made?
- Where you should be?
- What the FSA are doing?
- Enforcement?
- DEADLINES!
8- Principle 6
- A firm must pay due regard to the interests of
its customers and treat them fairly
9Progress made what the FSA say-
- The following number of firms have successfully
met the March 2007 deadline - 37 major retail groups (93)
- 379 (of a sample of 436) medium-sized firms
(87) - 49 (of a sample of 66) wholesale firms where
TCF is materially relevant (74) - 273 (of a sample of 659) directly authorised
small firms (41).
10TCF March deadline
- March 07 deadline
- ONLY 273 of a sample of 659 small firms met the
deadline.
11March 2007 deadline
- The main issues identified from the survey were
- insufficient monitoring of the advice being given
to customers - inadequate complaint handling procedures and
- lack of appropriate processes to enable firm's
management to satisfy themselves that they are
treating customers fairly. - Source FSA slides
12Lack of Commitment?
- Where firms have missed the deadline, we
believe that this points to a failure by, or lack
of commitment from, senior management. This
failure means that we can only place limited
reliance on these firms senior management to
deliver the right outcomes for their customers.
13Consequences
- The FSA will increase the focus and intensity of
our supervisory approach for these firms. - They will take a targeted approach that will
depend on the reasons why a firm failed to meet
the deadline, and the scale of the task they face
in filling the gap. - They FSA say
- Our follow-up work is likely to have significant
cost implications for these firms. - ?
14What they say
- For relationship-managed firms we will, for
example, use tools such as requiring skilled
persons reports, imposing demanding risk
mitigation plans with challenging deadlines, and
rigorously reviewing and monitoring progress
15How serious is this?
- The FSA are taking action with small firms inline
with their risk-based approach - Their primary focus is to target those firms who
pose the greatest risk to our objectives - They are visiting every firm which has failed to
engage with TCF (by end of June - date indicated)
16How serious is this? The FSA say -
- If now, or as a part of future supervisory
action, we become aware of significant actual or
potential consumer detriment in a firm of any
size that failed to meet the deadline, we expect
to make a referral to enforcement.
17The FSA may
- Refer on the grounds of senior management
failings. - They may vary the firms permission so that it
cannot, for example, continue to conduct
regulated business until it resolves the problems
18Deadlines What the FSA say-
We believe it is essential that senior management
drive real change as rapidly as possible. The
March deadline helped to focus firms efforts on
TCF and generated momentum within the industry as
a whole. We now need to increase this momentum so
we have decided to set further deadlines.
19Deadlines set by FSA
- By the end of March 2008 firms are expected to
have appropriate management information or
measures in place to test whether they are
treating their customers fairly.
20Business as Usual!!! (BAU)
- By the end of December 2008 all firms are
expected to be able to demonstrate to themselves
and to us that they are consistently treating
their customers fairly.
21Your progress
- What progress have you made?
- Questions to incorporate into your GAP Analysis
- Have you an action plan?
- Have you evidence?
22What TCF isnt
- Being nice to customers or improving customer
satisfaction. - Requiring all firms to offer the same, or
highest, levels of service. - Inhibiting innovation, new products or the FSA
deciding which products should be sold to which
customers or at which price. - Removing the customers responsibility for their
decisions. - Creating new detailed rules for firms or
inventing checklists for firms to comply with.
Extract from FSA slides
23Your aim
- Seek to make TCF an integral part of your
business culture
24Governance and Culture
- Define fairness in the context of your business.
- Who is responsible for ensuring TCF is an
integral part of the firms thinking? - What is the involvement of the Board with TCF?
25Governance and Culture
- How are the senior management rewarded for
demonstrating that customers are treated fairly? - What practical differences would your customers
have noticed or will notice as a result of TCF?
(e.g. more information)
26Strategy
- Have you undertaken a GAP analysis of TCF and if
so what were the findings? - Have there been barriers to change? - How did you
overcome them
27Systems, Controls and MI
- What are your key success factors with regard to
measuring TCF within the firm? - How are you intending to raise the awareness of
your staff? - What formal training will staff have on TCF? What
is the format of this training and how is it
evaluated?
28Product Design
- How is the risk to the target customer sector
assessed? - What controls are in place to ensure customers
are treated fairly and are not exposed to
unsuitable or unidentified risks? - Is TCF considered explicitly in the sign off
process of new products?
29Customer Service
- What root cause analysis is conducted on
complaints? - Is there any ongoing monitoring over the life of
the product to check on its continued fitness and
to identify new risks to consumers? (if advised
sales)
30Marketing, Financial Promotions and Distribution
- What systems and controls do you have in place to
ensure TCF is considered in each of these
processes? - What methods do you use to assess the customers
view on how they have been treated? (e.g.
consumer surveys)?
31Marketing, Financial Promotions and Distribution
- What overall differences will customers see as a
result of the TCF programme?
32 33The new ICOB rules
The consultation paper What are the
changes? Why the changes? When? To whom? How?
34GOOD NEWSGOOD NEWSBAD NEWS
35Good News!
- If you are already doing what you are supposed to
, then you can carry on without making many
changes next year!
36Good News!
- The movement to fewer rules gives you freedom to
run your business the way want to. (e.g If you
dont want a recorded message on your telephone
or dont want you staff saying authorised and
regulated by the FSA.
37Bad News!
- You will need hard proof that you are following
the principles including TCF
38The New ICOB refers to the Conduct of Business
Rules
- It doesnt affect other ways your business is
regulated, - for example
- SYSC
- CASS
- PRIN
- CON
- APER
- FIT
- GEN
- MI PRU
- TC
- SUP
- DISP
39So what are the main changes?
40So what are the main changes?
All mixed use to be treated as Commercial
41So what are the main changes?
42So what are the main changes?
43So what are the main changes?
44So what are the main changes?
45So what are the main changes?
46So what are the main changes?
47So what are the main changes?
48So what are the main changes?
49So what are the main changes?
50So what are the main changes?
51- Treating Customers Fairly
- Questions?
- Mike Cranny FCII
- Director of Create Solutions
- President of the Insurance Institute of
Manchester -