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What Is A Regulatory Business Plan? Why Is It Important?

what is regulatory business plan

All financial services firms experience the same hurdle as virtually any other new business: how to influence investors and lenders that your business has a worthwhile model, can create adequate returns and can pay back its liabilities. FSMA Part IV Permissions, Payment Services or Consumer Credit Act businesses (Authorisation, Certification or Registration) face this challenge and one more; they must convince the regulators of the viability and durability of their business through their planning and preparation.

The PRA/FCA Regulatory Business Plan (RBP) is born

A coherent and well-researched Regulatory Business Plan (RBP) is one of the most vital documents on the path to reaching authorisation. In fact, many who start the process of starting a new financial services firm hardly ever get as far as formally making an application for the FCA authorisation, Certification or Registration expected to start trading; the RBP is simply too weak, incoherently articulated or is not able to demonstrate a robust and viable business model.

In fact, for applicants that achieve success, the process can be arduous and painful; therefore starting with a strong RBP is essential to keeping momentum.

While there is consistently a reasonable degree of uncertainty in how the firm will work, the plan must stay away from including imprecise or unverified information. The RBP should demonstrate that the goals set by the candidate are reasonable, together with financially and operationally manageable.
Although this seems like sound judgment, reality often testifies that it is not that straightforward in practice.

Before you consider completing an FCA application form, you must have a good regulatory business plan.

Some basic questions that the RBP must answer

From a regulator’s perspective, mentioning all the possible expenses and prospective financial needs in the RBP provides a beneficial starting point into assessing business model viability. It also proves that the applicant has a sound grasp of its figures and market. A start-up may not have all the information to-hand on day-one when it meets the regulator, but it should have realistic estimates and a plan of the timeline and actions to obtain this information and must include it into the plan before submitting it.

New entrants will need to describe in their plan how they will abide by complex prudential and conduct regulations. This is not easy,; even the UK’s most established institutions have got themselves into significant difficulties as a result of regulatory breaches.

Many of these breaches could have been avoided if their risk and compliance measures had been proactive instead of reactive and had sufficient resources to do their job initially. Although investment in Compliance is seen as a sunk cost, the inverse is hugely costly and damaging not only financially but also from a reputational viewpoint.

Balancing optimism with pragmatism: without optimism and a belief in the business plan, the process would not even have commenced, but the RBP needs a heavy dose of pragmatism. The regulator sees a large number of implausible, ambitious, cost-heavy proposals that only could generate income if unrealistic growth plans paid off. Unrealistic plans stick out like a sore thumb

Being clear: Provide only relevant data; an overly long submission filled with generic or irrelevant data will not fulfil the RBP’s purpose to the regulator. In reality, extra detail can disorientate and make the reviewer’s job frustrating. The RBP should only present relevant information that answers the question why the particular candidate ought to be authorised.

So how can candidates maximise their chances to submit a persuasive RBP?

Compliance Consultant can arrange for a Business Plan to be created for you, but we will need your data, your Market Research, your perceived Risks and your Operational Plan (including software platform details if applicable) for us to help identify the regulatory elements that will need to be added and highlighted.

Call us on 0207 097 1434 or email businessplan@complianceconsultant.org


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