Arbuthnot Latham & Co., Limited Building mutually profitable relationships through a meeting of minds Preparing for FSA Visits and what to do in between.

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Presentation transcript:

Arbuthnot Latham & Co., Limited Building mutually profitable relationships through a meeting of minds Preparing for FSA Visits and what to do in between David Moland, Group Head of Compliance Arbuthnot Latham & Co., Limited 20 th October 2010

2 Who am I? Deputy Chairman of the CISI Compliance Forum Committee Compliance professional for 11 years Experience gained working for Lloyds TSB, FSA, Credit Suisse and Arbuthnot Banking Group Current Role – Group Head of Compliance covering Private Banking, Investment Banking & Retail Banking Direct and current experience of ARROW assessments and Theme Visits

3 Objectives What are the FSA’s objectives on ARROW visits? How does ARROW fit with ongoing supervision What to do in between visits How to be ready for a theme review How to measure success – and outcomes to avoid

FSA’s Objectives 4 These will depend on the themes of the day, examples may be……………… To set your regulatory period, to set your ICG To require the firm to carry out actions via the Risk Mitigation Programme To get a feel for how well the firm is managed and controlled

Ongoing Action 5 Preparation starts as soon as last ARROW is complete Clear issues raised in the letter and RMP Continue to manage the relationship (KIV change of supervisor) Always remember that your next visit could be only days away Look out for Themes, Dear CEOs etc

Preparing for ARROW (1) 6 REMEMBER, you know when it is going to be! Brief Senior Management (6 months) 1.Introduction 2.Risk Assessment Process 3.Current FSA Risk Assessment 4.Hot Topics / Expected Focus 5.Other Possible Topics 6.How to Conduct the Meetings 7.Next Steps

Preparing for ARROW (2) 7 Meeting with Group Board & Group Audit Committee (5months) Face to face meeting with Directors (4 months) – get them engaged Key action document analysis (3 months) – cover the obvious & topical issues

Preparing for ARROW – document request 8 Check your understanding of what they require Presentation is important! Try not to send documents that will result in the FSA asking further questions Get the Directors to read and review what you are going to send Provide copy documents to each Director / Interviewee Note – we had 10 working days to do this!

Case Study 1 9 You are the newly appointed Head of Compliance at a firm that is on a three year regulatory cycle, which ends in six months time. You decide that you want to start your preparation for the next ARROW visit. You are going to do this by sending a written briefing to all the Directors. What are you going to include within this briefing and what if anything are you going do prior to sending the document out? CHATHAM HOUSE RULES

Theme Visits 10 If you are lucky you will get a months notice, but will probably only have 10 days to satisfy any document request Treat with same importance as an ARROW assessment You will not have time to prepare in the same way as ARROW Demonstrates the importance of having documents in place already and building a relationship with the FSA Get the Directors / Senior Management engaged – a theme is not a gentle chat many have ended in Enforcement for at least one of the firms selected

Case Study 2 – Theme Visits 11 You are the Head of Compliance at a small firm and you have just received a call from the FSA advising that they are going to carry out a themed visit on AML. You have only been at the firm for three months and you at the early stages of reviewing the controls in place at the firm. Your first thought is (*!!*): If only I had been here longer what would have helped me? Having gone through these moments of reflection, what action would you now take? CHATHAM HOUSE RULES

FSA visits in general 12 Review documents again prior to the visit Carry out mock interviews (one month before) Brainstorm topics for discussion (one week before) Agree with FSA whether someone can sit in on interviews Debrief interviews if you don’t have someone sitting in Make the most of the feedback session but be aware things change, especially with Theme Visits

Ad hoc requests and CEO letters 13 Treat with same importance as a visit Get Directors to review Take action even if FSA do not ask for a response Look out for best practice papers (Data Security, Pension Transfers, Sanctions)

Case study 3 – How to measure success – and outcomes to avoid 14 What would you consider to be a successful visit? From whose angle are you measuring success? How would you measure this? What would be considered to be bad outcomes? Can you challenge the outcome?

Conclusion 15 Compliance have an important role to play in all interactions with the FSA In an ideal world, have all policies, procedures etc in a state you would be happy to send to the FSA tomorrow Preparation is important Get Senior Management engaged

16 Any Questions?

The information given in this document is for information only and does not constitute investment, legal, accounting or tax advice, or a representation that any investment or service is suitable or appropriate to your individual circumstances. You should seek professional advice before making any investment decision. The value of investments and the income from them can fall as well as rise. An investor may not get back the amount of money invested. Past performance is not a guide to future performance. The facts and opinions expressed are those of the author of the document as of the date of writing and are liable to change without notice. We do not make any representation as to the accuracy or completeness of the material and do not accept liability for any loss arising from the use hereof. We are under no obligation to ensure that updates to the document are brought to the attention of any recipient of this material. This document is produced for the person whose name is reproduced on the front cover. It may not be reproduced either in whole, or in part, without our written permission. The distribution of this document and the offer and sale of the investment in certain jurisdictions may be forbidden or restricted by law or regulation. In particular, it may not be sent to or taken into the United States or passed to any U.S. person. Arbuthnot Latham Arbuthnot House 20 Ropemaker Street London, EC2Y 9AR t +44(0) f +44(0) Arbuthnot Latham & Co., Limited is authorised and regulated by the Financial Services Authority