Questions from study text - Chapter Seven Flashcards
List the key ways in which brokers can demonstrate good conduct when dealing with their clients.
- 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
Identify four ways in which brokers can achieve service excellence.
- 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.
List four characteristics that companies with a strong corporate culture are likely to have.
- 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
What is the FCA’s definition of a complaint?
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.
What are the FCA’s rules for brokers in relation to complaint handling?
- 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.
State three reasons for brokers to take care to avoid E&O claims.
- 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
List four examples of mistakes that may lead to E&O claims.
- 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
What are the four fundamental rules for brokers when dealing with E&O claims?
- 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.