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SMCR: How To Get It Wrong: SMCR Conduct Rules and Requirements

SMCR: How To Get It Wrong

SMCR: just forms and box-ticking, right?

Well, actually, no. And we can see that this assumption is an almost guaranteed way to threaten your implementation of the new regime.
The spirit of SMCR Conduct Rules is that it’s a holistic rethink of the compliance culture in your firm. If you think about it as just a singular task you’re likely really going to miss things out.
You need to be sure SMCR Conduct Rules are embedded deep into your governance framework. Committing to it in the roots of how you work will encourage staff to commit to it too. And staff who really comprehend the reasons for the regulation will act appropriately, meaning you’re less likely to get left exposed to risks.
It’s no coincidence that SM&CR is all about cultural change when a priority for the FCA continues to be culture and governance. SM&CR is an extension of this particular fundamental focus.
The prospective impact of SM&CR is far-reaching. It’s a huge change that will require a lot of careful planning time and resource. It is estimated that it will take over 32 management days to implement SMCR, according to KPMG.
And even the absolute best laid plans face difficulties.
Although SM&CR is a replacement for the current Approved Persons Regime, it requires a completely different mindset and approach. It’s likely to demand a lot of changes to operational infrastructure, policies and processes. But such wide-reaching change can’t happen overnight. There’s no magic switch. It will require time to implement.
SM&CR involves departments throughout an organisation, not just compliance. So communication is key to guarantee you’ve considered all business functions, from the Board down.

So what can you do about this?

The most effective thing you can do is act right now. Take immediate steps to adapt your processes, and embed the new regime into your governance arrangements, systems and controls. Pay particular attention to your board and management structure.
Consider any potential conflicts of interest that may develop as a part of the embedding process.
Key Points are;
You may need to factor in additional time to consider these SMCR requirements:

The sooner you embed the new regime into your processes, the quicker you’ll have the capacity to identify weaknesses and issues. Then you can make the changes you really need to get on top of the new regulation asap.

We’ve made this sound really simple, but we know it’s not that easy. We have spent a lot of time and money on creating a 90+ point project plan for all three forms of firm. Luckily we’re here to help you plan and implement your approach, assuring you that you’re fully ready for the SMCR requirements.

Call us today on 0207 097 1434

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