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Treating Customers Fairly – TCF Checklist

Treating Customers Fairly – TCF

The FCA no longer carries out TCF specific visits, however this does not mean that they think it is any the less important. It does mean that by now they expect the principles of TCF to be embedded in all firms and to be the bed rock of their business models. The principle is to ‘put the customer first’ in everything which we do. Therefore, if during a visit or an interview they get the impression that TCF is no longer a priority, they will certainly investigate further and this is where you will need FCA compliance consultant by your side.

TCF applies to both Product Providers and Intermediaries. Broadly, the Regulator intends that:

Product Providers should ensure that:
An Intermediary’s primary responsibility is to ensure that:
the customer has all appropriate information in an understandable format, which means;
For advice sales:
The TCF exercise, which all regulated firms should undertake no less than annually, is essentially a “Gap Analysis.” For the purposes of Risk Management, the FCA expectations could be broken down into 6 key areas:
  1. Senior Management Responsibilities
  2. Communication with Clients
  3. The Advice Process
  4. The Post Advice Process
  5. Disclosure and Payment for Services
  6. Staff Competence
The following is a non-exhaustive list for your guidance.
The TCF Outcomes Management Statement
Products and services marketed….meet the needs of identified customer groups and are marketed accordingly 
Consumers are provided with clear information and are kept appropriately informed before, during and after the point of sale
Advice is suitable and takes account of their circumstances
Consumers are provided with products that perform as firms have led them to expect and the associated service is both of an acceptable standard and as they have been led to expect
Consumers do not face unreasonable post-sale barriers imposed by firms to change product, switch provider, submit a claim or make a complaint 

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This guide is only an aide memoire and intended for information only for anyone appraising the documentation needed in an audit/compliance check. It is not to be considered as direct advice or intended to replace specific 1 to 1 engagement with your compliance and risk professional.
Other Posts In This Series
Business Risk Assessment Methodology
Compliance Audit: What To Look For In Strategy Document
Thoughts on Organisational Charts 
Regulatory Complaint Handling & The FCA
Compliance Annual Reporting Requirement
The Importance of Good Management Information (MI)
Directors and/or Partners Responsibilities and Further Training
Compliant Financial Promotions – Advertising
Governance Risk & Compliance Frameworks
Key Committee Meeting Minutes
The Importance and Value Of The MLRO’s Report
Compliance Bench-Mark Check: Annual Policy Review
Treating Customers Fairly – TCF Checklist
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