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COMPLIANCE OFFICERS

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COMPLIANCE OFFICERS WORKSHOP MiFID Systems and Controls MiFID Agenda Overview Areas Applicable: General Organisation including Business Continuity Employees ... – PowerPoint PPT presentation

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Title: COMPLIANCE OFFICERS


1
COMPLIANCE OFFICERS WORKSHOP 
  • MiFID Systems and Controls

2
MiFID
  • Agenda
  • Overview
  • Areas Applicable
  • General Organisation including Business
    Continuity
  • Employees including Senior Managers

3
MiFID
  • Agenda
  • Compliance and Internal Audit
  • Risk Controls
  • Outsourcing
  • Record Keeping
  • Conflicts of Interest
  • Deilverables included in your pack

4
MiFID
  • Overview
  • Common Platform
  • Super equivalence
  • Remember proportionality
  • New SYSC Rulebook
  • Commencement 1st January 2007 for CRD firms and
    1st November 2007 for MiFID firms

5
MiFID
  • General Organisation
  • Tightening of requirements and increased Senior
    Management responsibilities compared to SYSC 3
  • Requirements are
  • Robust Governance
  • Sound decision making
  • Clear and effective Organisational structure

6
MiFID
  • General Organisation
  • Adequate Internal Controls
  • Effective Internal communication (MI)
  • Adequate safeguards for the security, integrity
    and confidentiality of information
  • Accounting unified standard
  • Obligation of continuous Monitoring

7
MiFID
  • General Organisation
  • Formal Verification of Compliance with the
    Regulatory System -
  • Very much only under consideration at the moment
  • Retain guidance on the Audit Committee
  • Business Continuity

8
MiFID
  • General Organisation
  • MiFID requirements wider
  • Require planning for an interruption to
    business activities
  • FSA Policy on the responsibilities of Senior
    Managers under review
  • Likely to increase

9
MiFID
  • Employees
  • FSA will require
  • Awareness of procedures
  • Segregation of duties
  • Employees to be competent and have the
    appropriate skills, knowledge and expertise
  • Firms to monitor both their systems and
    individual employees on a ongoing basis

10
MiFID
  • Compliance
  • Creation of a good Compliance culture a priority
  • Compliance to be independent (unless
    disproportionate)
  • However, then a test of effectiveness applies

11
MiFID
  • Compliance
  • Regular Monitoring Programme
  • Effective Policies and procedures
  • Identification of Risks if non compliant
  • Compliance Officer to report to Board

12
MiFID
  • Internal Audit
  • Viewed as part of the Compliance arrangements
  • Must be separate from Compliance and/or Risk
  • Internal Auditor responsible for audit plan and
    verifying compliance with recommendations

13
MiFID
  • Internal Audit
  • Internal Audit review of Compliance?

14
MiFID
  • Risk
  • Guidance replaced with High Level Rules
  • Covers all employees
  • Risk Management Strategy covering
  • Risk assessment
  • Sets the level of Risk tolerance
  • Risk management arrangements

15
MiFID
  • Risk
  • Create Risk strategies and policies
  • Regular Monitoring of compliance
  • Provision of Reports to Board (MI)
  • Risk function to be independent of Compliance and
    Internal Audit
  • Internal Auditor to review Risk function

16
MiFID
  • Risk
  • For Firms also subject to the CRD the following
    will also be part of the Risk Management
    Strategy
  • Credit and Counterparty Risk
  • Residual Risk
  • Market Risk

17
MiFID
  • Risk
  • Operational Risk covering identification,
    management, monitoring and reporting of operating
    risks including low frequency high severity risks

18
MiFID
  • Outsourcing
  • MiFID requirements apply to outsourcing of
    critical or important functions
  • Will apply to all firms activities
  • Outsourcing must not
  • Impair Internal Control
  • Ability of FSA to supervise Firm

19
MiFID
  • Outsourcing
  • Result in the delegation by Senior Managers of
    their responsibility
  • Relationship with clients must not be altered
  • A series of conditions set out in SYSC 8.1.8 must
    be fulfilled (see pack)

20
MiFID
  • Record Keeping
  • Documents to be retained for a minimum of 5 years
  • Little change here
  • Taped Telephone Conversations to be retained for
    1 year

21
MiFID
  • Conflicts of Interest
  • A recurring theme in MiFID
  • Of huge interest to FSA
  • Refer to Dear CEO Letters of November 2005
  • Applies to all categories of clients
  • Disclosure is no longer the default position

22
MiFID
  • Conflicts of Interest
  • Firm must have a written Conflicts policy
  • Firms to identify potential conflicts and how
    these are to be managed
  • Also applies to Conflicts that employees might
    have or cause the firm to have
  • Firm should create appropriate procedures to
    manage Conflicts

23
MiFID
  • Conflicts of Interest
  • Examples when Disclosure not an appropriate
    measure
  • Firms trades as a principal and has advisory or
    discretionary clients
  • Firm is advising an issuer and has advisory or
    discretionary clients interested in investing in
    the offer

24
MiFID
  • Conflicts of Interest
  • Firms clients have competing interests
  • Conflicts affecting retail clients
  • Disclosure appropriate only in limited
    circumstances affecting professional clients
  • When a firm is a member of a Group the interests
    of other parts of the Group need to be considered

25
MiFID
  • Conclusion
  • Increased documentation and procedures
  • Greater responsibilities for Senior Managers
  • Greater Responsibility for Compliance Officer and
    Internal Auditor
  • Mostly revised policies but some IT implications
  • Especially the need for greater MI

26
MiFID
  • William Macdonald
  • Managing Director
  • Craigcrook Management Services
  • 198 Craigcrook Road, Edinburgh
  • Tel 0131-312-7501 Mobile07889-534743
  • Email william.macdonald_at_craigcrookms.co.uk
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