Questions from study text - Chapter Seven Flashcards

1
Q

List the key ways in which brokers can demonstrate good conduct when dealing with their clients.

A
  • provision of service excellence;
  • high quality of advice and experience;
  • transparency of earnings;
  • good quality of literature and documentation;
  • efficient handling of complaints; and
  • avoidance of E&Os
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2
Q

Identify four ways in which brokers can achieve service excellence.

A
  • Always doing what has been agreed by the agreed deadline
  • Returning client calls and messages promptly
  • Ensuring good communication at all times, in the manner that the client wishes to communicate
  • Knowing your client
  • Ensuring procedures are in place to reduce mistakes (such as a ‘second pair of eyes’ check)
  • Contributing to a client culture where the customer’s needs come first.
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3
Q

List four characteristics that companies with a strong corporate culture are likely to have.

A
  • Have a clear strategic goal, so that its staff and resources can focus on achieving it
  • Have an effective method of communicating the strategy to staff
  • Be able to monitor activity and adapt processes and procedures properly
  • Set clear targets and goals that are related to the strategic goal
  • Reward success in relation to achieving the strategic goal
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4
Q

What is the FCA’s definition of a complaint?

A

Any oral or written expression of dissatisfaction, whether justified or not, from, or on behalf of, a person about the provision of, or failure to provide, a financial service or redress determination, which alleges that the complainant has suffered (or may suffer) financial loss, material distress or material inconvenience.

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5
Q

What are the FCA’s rules for brokers in relation to complaint handling?

A
  • Have a formal procedure for dealing with complainants;
  • Inform their clients of this procedure (including the address and telephone number to write or call). They must also inform their clients of how to complain to the FOS; and
  • manage complainants in accordance with the stated procedures, which the broker should document in the authorised firm’s compliance manual.
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6
Q

State three reasons for brokers to take care to avoid E&O claims.

A
  • they are time-consuming, expensive to deal with and damaging to the broker’s reputation;
  • they imply fault with the firm’s regulatory standards;
  • they cost the business money;
  • the policy excess,
  • unrecoverable costs in defending the claim, and
  • increased E&O insurance premium following the notification
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7
Q

List four examples of mistakes that may lead to E&O claims.

A
  • Documentation failures
  • The broker’s failure to inform the insurer of a material fact that was disclosed by the client
  • The broker’s failure to appreciate the extent of cover (there may be restrictions and limitations and these must be explained to the client fully).
  • Non-compliance with warranties which were not brought to the attention of the clients.
  • Insufficient, or inaccurate, explanation of the terms to the client.
  • Acting beyond their powers
  • Failures in management and supervision
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8
Q

What are the four fundamental rules for brokers when dealing with E&O claims?

A
  • Follow set procedures stringently. Set procedures will have been written as a result of previous experience and should be trusted.
  • Do not conceal a problem or try to resolve it before it is discovered. You must raise the issue immediately. The longer the problem is avoided, the higher its potential for damage.
  • Be honest and open about the situation.
  • Engage their own professional indemnity insurers at the earliest opportunity and work with them in resolving the problem.
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