Ready4Compliance
Legal and Compliance Consultant
Friday, 20 November 2020
Our team member Mr, Yogesh Kumar Tailor will contest the election of the Bar Council of Rajasthan. Wish him great success. We always stand with you.
Appointment of consultant
ACS Komal Khatri (ACS. LL.B, M. Com) is appointed as our import and export consultant. She is having 5 years full experience in import and export sector. She has also attended some multinational seminar and trade fairs. Contact us for further services.
Saturday, 26 September 2020
Borrowers Alert
Who is take benefit for the debt solutions:
- Directly affected from the covid-19.
- The Loan should not be overdue for more than 30 days on 01-MAR- 2020.
Option for borrowers
- Contact the bank-branch, if face serious financial difficulties.
- Or wait the Supreme Court hearing on 28-09-2020.
Friday, 25 September 2020
SEBI Investment Adviser
THE INVESTMENT
ADVISERS
On
the date of 23th of September 2020, SEBI is issued the guideline related to the
Investment advisers. In July SEBI did the massive amendment and accept almost
all recommendations.
Let’s
discuss the amendment (July 2020) and Guidelines (December 2019 and
September 2020)
1. New Phrases:
ASSET UNDER ADVISER (AUA): Means the aggregate net asset value of
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Securities |
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Investment Products |
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Implementation
services Provide by IA |
Client
Directly |
Other
Services provider (Mutual
Fund Distributor/ Stock Brokers, etc) |
FAMILY:
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Family |
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Client |
Investment
Adviser |
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-
Individual
Client -
Dependent
Spouse -
Dependent
Children -
Dependent
Parents |
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Individual
Investment Adviser -
Spouses
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Children
-
Parents
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NON- INDIVIDUAL: A body corporate
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Limited
Company |
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Limited Liability Partnership |
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Partnership Firm |
(Earlier,
the partnership firm was being counted in individuals. This problem is occurring
at the time of application renewal)
PERSON ASSOCIATED WITH
INVESTMENT ADVICE:
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All
Client Facing Person |
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Member
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Partner
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Officer
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Director
or employee |
Any
Sale Staff |
Including
any person occupying a similar status |
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Except
the Clerical and Office Administrative |
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2. QUALIFICATION AND CERTIFICATION REQUIREMENT:
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Regulation
7(1) |
Regulation 7(2) |
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AN INDIVIDUAL INVESTMENT ADVISER OR A PRINCIPAL
OFFICER OF A NON-INDIVIDUAL INVESTMENT ADVISER (a) Professional qualification or Post
graduate degree or Post graduate diploma (Minimum 2 Years) |
AN INDIVIDUAL INVESTMENT ADVISER OR A PRINCIPAL
OFFICER OF A NON-INDIVIDUAL INVESTMENT ADVISER AND PAI Certification on financial planning or
fund or asset or portfolio management or Advisory services- (a) From NISM (b) Any other organization (including
Financial Planning Standards Board of India or any recognized stock exchange
in India |
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(b) Five years experiences in -
Financial
Product or Securities -
Fund
-
Asset
or portfolio Management |
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(c) PERSON ASSOCIATED WITH INVESTMENT: (i) Professional
qualification or Post graduate degree or Post graduate diploma (Minimum 2
Years) (ii) Two years experiences in -
Financial
Product or Securities -
Fund
-
Asset
or portfolio Management |
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Note: 1. fresh certification must be obtained
before expiry of the validity. 2. fresh certification not though a CPE
Program. |
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Note:
Existing individual IAs - above 50 years of age need not do Post Graduation,
but clear the NISM certification. |
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3. NET WORTH:
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Regulation 8(1) |
Regulation 8(2) |
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Non-Individuals IA |
Individual IA |
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INR 50,00,000/- |
INR 500,000/- |
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Note: Comply with in 3 years |
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4. REGISTRATION AS NON-INDIVIDUAL INVESTMENT
ADVISOR:
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a |
Conversation (Non- Individual to
Individual) |
On or before
reaching 150 Clients. |
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b |
Requirement |
IA shall file the
fresh form-A with fee and other requirements. |
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c |
Cap |
-
No new client engagement once the
client number reaches 150 -
During the examination of application – continue to service existing clients. -
If the application is rejected then the Individual investment advisor can work as an individual investor but the limit of 150 clients will be applicable. |
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d |
Information of
client (Latest by 15-10-2020) |
In the following format, SEBI Through sebiria@sebi.gov.in
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5. GENERAL RESPONSIBILITY:
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a |
Capacity |
Fiduciary
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b |
Consideration |
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No remuneration or compensation -
Not from any other person other than client |
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c |
Other activities |
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Maintain
an arm- length relationship -
Clear
segregation -
Disclosed
the conflict of interest |
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d |
Transaction |
An investment advisor
shall not enter into transactions on its own account which is contrary to its
advice given to clients for a period of fifteen days from the day of such
advice. |
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its own account after
giving such revised assessment to the client at least 24 hours in advance of
entering into such transaction. |
6. FEES:
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AUA
Mode |
Fixed Fee |
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-
2.5% of AUA per annum per client across all
services Note: 1) Demonstrate AUA: Demat statements, unit
statements etc. 2) Any portion of AUA held by the client under
any pre-existing distribution arrangement with any entity shall be deducted
from AUA for the purpose of charging fee by the IA |
The
maximum fees that may be charged under this mode shall not exceed INR 1,25,000
per annum per client across all services offered by IA. |
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Note 1) Family of Client = Single client 2) Mode of Fee is either way on an annual basis. Change after 12 Months. 3) Fee in advance
– Not exceed fees for 2 Quarters 4) Client shall be
refunded the fee for the unexpired period 5) IAs shall not
accept cash deposits |
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7. DOCUMENTS:
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1 |
KYC
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Compulsory |
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2 |
Risk
Profiling Assessment |
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Compulsory, clear consent on risk profiling
assessment. -
IA shall use the investment policy as approved by
board/management team of such non-individual clients for risk profiling and
suitability analysis |
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3 |
Suitability
Assessment |
Compulsory
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4 |
Copies
of Agreement |
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All terms and condition -
Compulsory before charging any investment advisory
fee. -
Completed with all the existing clients (01-04-2021)
and submit report to SEBI – 30-06-2021 -
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5 |
Investment Advice |
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Compulsory, Each written (Email, SMS) or oral -
All interactions with client or proposed client -
Five years |
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6 |
Rationales for arriving at Investment
Advice |
Compulsory |
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7 |
Register |
-
Date of Advice -
Nature of Advice -
Product and Securities -
Fee |
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8 |
Conversations with client or
prospective client |
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All written and oral conversations |
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Note: 1) Five year of
period 2) electronic form – Digitally
signed 3) Yearly audit- (within the six months
of the end of each financial years) 4) Adverse Finding – along with
approved action taken shall report to SEBI (respective local office) with one
month from the date of audit report but not later than October 31. |
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9 |
Compliance Office |
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Limited Company -
LLP -
Partnership firm |
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10 |
Redressal of client grievances |
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Adequate
procedure -
Any dispute between the investment adviser and his
client may be resolved through arbitration or through Ombudsman authorized or
appointed for the purpose by any regulatory authority, as applicable. |
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11 |
Display on Website/ Mobile App/ Written
and oral communication material/KYC Forms |
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Complete name of Investment Adviser as registered with SEBI, -
Type of Registration-Individual, Non-Individual, -
Registration number, validity of registration, -
Complete address with telephone numbers, -
Contact details of the Principal Officer –contact
no, email id etc., -
Corresponding SEBI regional/local office address. -
The details of complaint in following format: (Font
Size 12 and Updated on every 7th day of Month) Number of Complaint
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12 |
Free Trial |
IAs shall not provide free trial for any
products/services to prospective clients |
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8. CLIENT LEVEL SEGREGATION OF ADVISORY AND
DISTRIBUTION ACTIVITIES:
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Individual
Investment Adviser (hereafter “IIA”) shall not provide distribution services |
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Family of an individual investment
adviser – Shall not provide the distribution services to the client of IIA
and vice versa |
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Non-Individual Client – Segregation at
group level |
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A client can either be an advisory
client or distribution services client (At the group Level) |
“Group” means an entity which is a -
holding, -
subsidiary, -
associate, -
subsidiary of a holding company to which it is also
a subsidiary or -
an investing company the venture company for
non-individual investment adviser which is a company under the said Act and
in any other case, an entity which has a controlling interest or is subject
to the controlling interest of a non-individual investment adviser. |
maintain
an arm’s length relationship between its activities as investment adviser and
distributor |
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Note: 1. Existing clients, who wish to take advisory services, will not be
eligible for availing distribution services within the group/family of IA,
and VICE VERSA. 2. A new client will be eligible to avail either advisory or
distribution services within the group/family of IA. 3. Client, Means Individual & Non-Individual. 4. Client shall not be forced to liquidate/switch such existing
holdings. 5. Client have discretionary power.
6. PAN of client – identification and client level segregation. 7. Family of Client = Client 8. The client shall provide an annual declaration or periodic
updation as the case maybe in respect of such dependent family members. 9. IA Advice – Direct plan 10. Individual IA – annual
certificate on client segregation – from auditor 11. Non-Individual IA – annual certificate on client segregation –
from Statutory auditor (shall be obtained within 6 months of
the end of the financial year, part of yearly audit) |
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This document has not
any legal status. In case of any error or omission, Please check the
information from the website of SEBI.






