MiFID II Product Governance: Guidelines on Information Exchange Between Manufacturers and Distributors

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UK Finance Guidelines MiFID II Product Governance: Guidelines on Information Exchange Between Manufacturers and Distributors About UK Finance UK Finance represents nearly 300 of the leading firms providing finance, banking, markets and payments-related services in or from the UK. UK Finance has been created by combining most of the activities of the Asset Based Finance Association, the British Bankers Association, the Council of Mortgage Lenders, Financial Fraud Action UK, Payments UK and the UK Cards Association. UK Finance has an important role to play helping negotiators understand how the interests of UK and EU customers, and the financial services they all depend upon, can be best protected. Our members are large and small, national and regional, domestic and international, corporate and mutual, retail and wholesale, physical and virtual, banks and nonbanks. Our members customers are individuals, corporates, charities, clubs, associations and government bodies, served domestically and cross-border. These customers access a wide range of financial and advisory products and services, essential to their day-to-day activities. The interests of our members customers are at the heart of our work. Contact: press@ukfinance.org.uk www.ukfinance.org.uk December 2017

2 UK Finance MiFID II Product Governance: Guidelines on Information Exchange Between Manufacturers and Distributors Table of Contents The content of this document is output from the UK Finance Product Governance working group, and represents the views of the members of that working group. The content is strictly for guidance only, and has not been approved by a regulatory body. It does not represent formal or legal regulatory advice, is not binding, and does not give rise to any enforceable obligations or duties. While anyone is welcome to use the document, it is entirely at their own risk. Introduction 3 Information to be provided from the manufacturer to the distributor 4 Information to be provided from the distributor to the manufacturer 6

UK Finance MiFID II Product Governance: Guidelines on Information Exchange Between Manufacturers and Distributors 3 Introduction MiFID II sets out clear expectations for manufacturers to make available to distributors appropriate information on the financial instruments and the product approval process, including the identified target market of the instrument 1. It also requires distributing firms to have in place adequate arrangements to obtain such information, and to understand the characteristics and the target market for each financial instrument. Manufacturers will be expected to provide distributors with information on: i. the appropriate channels of distribution; ii. the product approval process; iii. a target market assessment that enables distributors to understand and recommend or sell the product. Distributors will be required to provide manufacturers with information including: i. sales; ii. reviews on whether the product and the distribution strategy remains consistent with the needs, characteristics and objectives of the target market. The key references for further reading are MiFID II, MiFID II Delegated Directive, and ESMA Final Report: Guidelines on MiFID II Product Governance Requirements. It is recommended that s these guidelines are read in conjunction with the UK Finance guidelines on target market identification. One of the challenges of complying with such requirements is that firms will need to have a reasonable expectation that the information received by the other party will provide sufficient content for that party to comply with its own obligations. With a view to facilitate the process for information exchange between manufacturers and distributors, UK Finance has developed a set of guidelines relating to the information which could be exchanged between the parties, and the potential process for such information flow. The guidelines do not set out mandatory requirements for firms, and UK Finance invites individual firms to consider whether any different or additional information might be appropriate to be shared in the context of a specific product or distribution channel. For example, users should consider that proportionality may be a factor when determining the relevant information sharing exercise for certain products or distribution scenarios. In addition, firms may wish to consider whether information detailed in these guidelines should be adapted to the specific circumstances where firms are collaborating in the design of the individual products. It is recommdended that firms should assess the likelihood of receiving any such information from firms that are non-mifid regulated firms. In such circumstances, firms should use reasonable efforts to try and obtain information that allows them to comply with their MiFID II product governance requirements. Where the non-mifid regulated firm refuses the provision of information, firms may consider adopting a conscious risk management approach and consider whether, based on public information or other information at their disposal, they are able to discharge their obligations under MIFID II rules.

4 UK Finance MiFID II Product Governance: Guidelines on Information Exchange Between Manufacturers and Distributors Information to be provided from the manufacturer to the distributor Manufacturers may wish to provide distributors with the following information: Suggested Timing Type of information Comments Pre-trade Generic Target Market Information on the potential target market should state the type of clients for whose needs, characteristics and objectives the financial instrument is compatible. Where appropriate on consideration of the product characteristics, this information should also include any applicable group of clients for whose needs, characteristics and objectives are not compatible. Pre-trade Distribution Strategy Information must be provided on the appropriate channel of distribution. Pre-trade Further information on the approval process Further information on the approval process should be provided where relevant or appropriate. For example, a manufacturer might consider the following appropriate: i. for products where scenario analysis is carried out: share or discuss information on the results of such analysis where the results are not conclusive; ii. for products that are subject to trade by trade approval: share or discuss with the distributors any significant approval consideration, conditions or requests (for example the product has received internal approval, but it was requested that any marketing material produced by the distributor are reviewed by the manufacturer before the offer period).

UK Finance MiFID II Product Governance: Guidelines on Information Exchange Between Manufacturers and Distributors 5 Following the initial launch of the product, manufacturers will be expected to review the financial instruments on a regular basis to consider whether: i. the product remains consistent with the needs, characteristics and objectives of the target market; ii. is distributed to the identified target market; iii. is reaching clients that have been included in the negative target market. Firms should determine the periodicity and the scope of such reviews, although it is not expected that firms should carry out a distributor-bydistributor or a trade-by-trade review. In order to facilitate such reviews, manufacturers will need to receive the following information from distributors: Suggested Timing Type of information Comments Post-sale Incorrectly identified target market In such a case, the manufacturer and distributor should discuss whether: i. the incorrect identification might cause detriment to the investor and, if so, whether any client outreach is appropriate; ii. a change to the distribution strategy or identified target market for products currently being distributed (open launches) or in the pipeline for distribution should be agreed; iii. termination of the distribution is appropriate.

6 UK Finance MiFID II Product Governance: Guidelines on Information Exchange Between Manufacturers and Distributors Information to be provided from the distributor to the manufacturer Distributors may wish to provide manufacturers with the following information: Suggested Timing Type of information Comments Frequency to be determined by the manufacturer in conjunction with the distributor Summary data on complaints Material variation from suggested target market or distribution channels The distributor should provide the manufacturer with summary information on complaints received by the distributor s clients relating to the product (e.g. its design or performance), including the number of such clients. The information should: i. be presented in an aggregated and anonymised format; ii. form the basis of discussion between the manufacturer and the distributor, with the purpose of assessing whether any message should be taken from such complaints is relevant when determining whether the target market and/or distribution strategy for the product was appropriate. The distributor should monitor the distribution of products based on its own identified target market. In the context of a periodic review, the distributor should provide the manufacturer with its own target market, which should be consistent with the target market provided by the manufacturer and, in relation to this, summary metrics relating to: i. variations on the intended distribution strategy (e.g. where products were intended to be sold with advice only and the distribution has occurred via alternate channel);

UK Finance MiFID II Product Governance: Guidelines on Information Exchange Between Manufacturers and Distributors 7 ii. sales outside the target market (where products have been sold to clients that are not in the target market, but are also not identified under the negative target market). Such information can be provided, for example, as a percentage of overall sale for a specific product. Sales to the negative target market The distributor should be able to provide information to the manufacturer about whether products were sold to the negative target market (if identified). It would be expected that, when the manufacturer has identified a negative target market, that such information is replicated by the distributor in its own target market. The distributor would be expected to be able to explain what considerations (e.g. the suitability assessment) have justified the distribution to the negative target market. General feedback The distributor may want to also consider the opportunity to provide additional feedback to the manufacturer with respect to any: i. marketing material (completeness, accuracy, comprehensibility) received from the manufacturer; ii. identified training needs; additional results from the distributor s internal review, for example: i. the product was sold to a wrongly identified target market; ii. the products no longer meet the needs of the identified target market (e.g. it has become illiquid, volatile, or issues with the product design have been discovered).