Richtlinie zu Interessenkonflikten
Sun Investing Global Ltd, Registered Office: 1/F River Court 6 ST DENIS STREET PORT LOUIS 11328, Mauritius. Authorized and Regulated by the FSC.
1. Introduction
Sun Investing Global Ltd is entrusted with the stewardship of our client’s assets and this is a responsibility that we take very seriously. Our reputation as responsible, considered investment professionals is important to us and we seek to be above reproach when investing for our clients. A conflict of interest prejudices or can be seen to prejudice an individual’s objectivity and ability to act in the best interests of the company or our clients.
Sun Investing Global Ltd seeks to comply with all relevant legislative obligations but aims to set higher standards when it comes to protecting our reputation.
This policy sets out the standards set by Sun Investing Global Ltd in respect to avoiding or, where this is not possible, mitigating potential and actual conflicts of interest. It encompasses conflicts that can manifest as a result of the staff member’s personal interests and relationships as well as businesses interests and associations.
This policy has been approved and adopted by the Board of Directors.
Our Obligation
We are obliged to manage fairly conflicts of interest, both those that arise between ourselves and any of our clients and those that arise between two or more of our clients.
Consequently, we maintain and operate effective organisational and administrative arrangements to take all reasonable steps to identify conflicts of interest and to prevent such conflicts from constituting or giving rise to a material risk of damage to the interests of our clients. We also maintain a written conflicts of interest policy appropriate to the size of our firm and the nature, scale and complexity of our business.
Scope
This policy applies to all staff of Sun Investing Global Ltd
Oversight
This policy is subject to monitoring and oversight by the Sun Investing Global Ltd Compliance function.
Accountability
- Staff are accountable for reading, understanding and complying with the standards and processes contained in this policy. Staff are encouraged to bring any situations where significant conflicts of interest exist and which are not covered by this policy to the attention of the Heads of departments.
- Management is accountable for ensuring that the processes and controls in their departments are designed to avoid and manage conflicts of interest for their teams.
- Compliance is accountable for ensuring that this policy is aligned with regulation, as they may change from time to time; for monitoring processes and controls to ensure compliance with this policy and for reporting any breaches of this policy according to the Sun Investing Global Ltd compliance escalation framework.
- Executive Management are accountable for resolving any agreed breaches of this policy and for maintaining business structures and functions that enhance Sun Investing Global Ltd’ reputation.
Breaches and Enforcement
Non-Compliance with this policy may be handled in terms of Sun Investing Global Ltd’ disciplinary procedures.
2. Legislation and Regulation
Definitions
A conflict of interest is:
- Any actual or potential conflict;
- That may manifest while rendering a financial service (i.e. either advice OR brokerage service);
- To a client (or potential client);
- That may influence the objectivity of the obligations to that client;
- Or prevent an unbiased and fair financial service to that client;
- Or prevent Sun Investing Global Ltd from acting in the best interests of that client.
A conflict of interest includes a financial interest; an ownership interest or a relationship (personal or business) with a third party.
A financial interest is:
- Cash, Cash equivalent or Voucher;
- Gift;
- Service;
- Advantage;
- Benefit;
- Discount;
- Travel;
- Hospitality;
- Accommodation;
- Sponsorship;
- Incentive.
A Supplier includes but is not limited to:
- suppliers of equipment, products, services, market and economic data, research, banking, custody, administration, legal, accounting, marketing, office; or
- other consulting services, regardless of whether a fee is paid directly or indirectly or whether the fee is for Sun Investing Global Ltd’ account or for the client account.
Advice is:
- Any recommendation, guidance or proposal
- On a financial product (i.e. insurance policy; unit trust; cash or financial instrument)
- In respect of the purchase, sale or variation of that product
It excludes factual, legal or administrative information. It is accepted that Sun Investing Global Ltd does not generally provide advice.
Guiding Principles of the Policy
All employees and Associated Person/s with the Company covered under this Policy shall adhere to following principles and practices to avoid conflict of interest at all points:
- To maintain high standards of integrity in the conduct of business at all times;
- To ensure to communicate policies, procedures and code to all concerned;
- To ensure fair treatment of clients and not to discriminate amongst them;
- To ensure that Company’s personal interest does not, at any time conflict with our duty towards our clients and clients’ interest shall always takes primacy in our advice, investment decisions and transactions;
- To make appropriate disclosure to the clients of possible source or potential areas of conflict of interest which would impair our ability to render fair, objective and unbiased services;
- Endeavor to reduce opportunities for conflicts through prescriptive measures such as through information barriers to block or hinder the flow of information from one department/ unit to another, etc.;
- To place appropriate restrictions on transactions in securities while handling a mandate of issuer or client in respect of such security so as to avoid any conflict;
- Not to deal in securities while in possession of material non published information;
- Not to communicate the material non published information while dealing in securities on behalf of others;
- Not to contribute in manipulating the demand for or supply of securities in the market or to influence prices of securities;
- Not to provide incentive structure that encourages sale of products not suiting the risk profile of clients;
- Not to share information received from clients or pertaining to them, obtained as a result of our dealings, for our personal interest.
Effective Mechanism
All are advised to adhere to various principles stated hereinabove to avoid any conflict of interest situation. Further, Board of directors of the Company will endeavor from time to time to put in place effective system in place for proper implementation of this circular.
Board from time to time will also provide necessary guidance enabling identification, elimination or management of conflict of interest situations and shall review the compliance of this circular periodically.
3. Personal Conflicts of Interest
We have identified the below particular personal conflicts of interest as the most important.
- Anti-Bribery Policy;
- Personal Account Dealing Policy;
- Disclosure of Director Interests;
- Disclosure of Staff Interests;
- Second Jobs;
- Remuneration.
3.1. Anti-Bribery Policy
Sun Investing Global Ltd prohibits the offering, the giving, the solicitation or the acceptance of any bribe, whether in the form of cash or other inducement, to or from any person or company, wherever they are situation and whether they are a public official or body or private person or company by any individual employee, agent or other person or body acting on Sun Investing Global Ltd’ behalf in order to gain any commercial, contractual or regulatory advantage for Sun Investing Global Ltd in a way which is unethical or in order to gain any personal advantage, pecuniary or otherwise, for the individual or anyone connected with the individual.
3.2. Personal Account Dealing Policy
It is Sun Investing Global Ltd’ policy to permit personal account dealing by staff members in a managed and controlled process.
Personal Account dealing by staff members of an investment manager can and does result in conflicts of interest. There are also advantages for clients when their own investment interests and those of their managers are appropriately aligned and when personal dealing is managed and controlled.
In brief, Sun Investing Global Ltd’ staff are not permitted to trade in any instrument while client portfolios are in the market with respect to those instruments, regardless of the direction. Nor are they permitted to trade while an instrument is under consideration for inclusion, exclusion or variation in client portfolios.
All personal dealing performed or influenced by a staff member, including dealing by an associate of the staff member, must be disclosed and pre-approved in terms of a defined process.
The policy and process are available at: Personal Account Dealing Policy.
3.3. Disclosure of Director Interests
All Directors and officer who attend Board meetings or audit committee meetings must regularly disclose their personal financial interests to the Board regardless of whether such interests represent an actual or potential conflict with Sun Investing Global Ltd’ interests. This disclosure is noted by the Company Secretary and retained as a record of proceedings.
3.4. Disclosure of Staff Interests
Staff members with interpersonal relationships with suppliers or counterparties and who have any decision-making influence over the commencement, continuation or termination of the business relationship, or are involved in the provision of services or products by that supplier or counterparty, must:
- disclose such relationship in email to their direct line manager; and
- ensure independent oversight by someone with knowledge of the interpersonal relationship over processes such as tenders, appointments, reviews, benchmarking or contractual negotiations.
3.5. Second Jobs
A second job may create a conflict of interest for staff members. The conflict can be direct (e.g. a potential competitor) or indirect (e.g. impacting work performance or Prudential’s reputation). Depending on the nature of the second job, it can also attract legal liability to Prudential. All staff members with second jobs must have their direct line manager’s express permission to accept any second job regardless of whether or not it is short term, temporary, does not involve work during normal office hours or is unrelated to financial services.
3.6. Remuneration
All staff are remunerated with a mix of guaranteed pay and variable compensation.
All staff, including Compliance staff, also participates in a short-term variable compensation pool that is driven exclusively by business profits. New business consultants are partly incentivised by means of commission driven business targets. These targets include achieving new business targets as well as servicing and supporting existing business.
4. Business Conflict of Interest
- Sponsorships and Reciprocal Agreements;
- Investment Independence;
- Commission Sharing;
- Fair treatment of Clients following are the key business conflicts of interest as determined by the board.
4.1. Sponsorships and Reciprocal Agreements
Sun Investing Global Ltd does not enter into agreements to supply investment services to a fiduciary client that includes reciprocal commercial provisions involving the client, its sponsoring employer or organisation or its consultants and advisors.
Sun Investing Global Ltd may make donations or sponsorships to clients or their sponsoring employer or body, intermediaries; not-for profit organisations and social development organisations subject to:
- Prior approval by Executive Management;
- The recipient organisation not being directly or indirectly associated with a political party, government body or religious organization;
- The purpose for the donation or sponsorship is defined and is not likely to negatively impact Sun Investing Global Ltd brand and reputation.
Sun Investing Global Ltd does not make political donations of any kind.
4.2. Investment Independence
Sun Investing Global Ltd is not associated with any Mauritius financial service company, banking institution or stockbroker or any issuer company into which we can invest or deal on behalf of clients.
4.3. Commission Sharing
Sun Investing Global Ltd does not engage in the practice commonly known as “softing”. Sun Investing Global Ltd does however negotiate, on behalf of its clients, bundled brokerage fees that include research and execution services. The execution services may include trading platforms and the research services include investee company research, market and bespoke research and recommendations. These services may be provided by way of software, platforms or electronic research feeds.
4.4. Fair treatment of Clients
Sun Investing Global Ltd is committed to treating clients fairly and ensuring that no client receives preferential treatment that may prejudice another client.
The following specific processes exist in order to achieve and demonstrate the fair treatment of clients:
- The fair and automated allocation of trades to client portfolios;
- Consolidation of orders to avoid unintended impacts of order priority;
- Limited discretion to investment decision makers to exclude orders where trading costs cannot be justified;
- Cross trading between client portfolios, while permitted and encouraged as a means of minimising client trading costs and maximising exposure;
- to desired illiquid assets, is subject to the trade being performed at an established and fair market price and the Company’s decision-making model;
- The remuneration structures for investment professionals support performance without preferring specific clients;
- The remuneration structures for client sales and services support new business and servicing without preferring specific clients within various products.
5. Implementation and Distribution
This policy is not subject in its entirety to an initial or annual acknowledgement by all staff as the primary control for the avoidance and management of conflicts of interests is internal business processes and controls. Certain aspects of the policy impose personal obligations on staff members and these sections will be subject to active acknowledgement by all staff members.
Examples of potential situations of conflict and relevant measures
| Examples of potential situations of conflict | General arrangements or ad hoc measures |
|---|---|
| Sun Investing Global Ltd or a Relevant Person may have an interest in executing its/his personal orders or orders of a client in more favorable conditions than the orders of another client, or in maximizing the client’s losses (e.g. if the client is a competitor of Sun Investing Global Ltd or of the Relevant Person) |
Sun Investing Global Ltd has implemented policies and procedures for the monitoring and (when necessary) restriction of personal transactions of the Relevant Persons. Transactions are processed through automated means, based on the time priority of the reception of such order, thus ensuring that the relevant employees will not be allowed to intervene in your transactions. Conflicts related to the personal capacity of the Client are reported to the compliance function as soon as they are identified. |
| A Relevant Person may have an interest in recommending to a client a particular transaction, in respect of which Sun Investing Global Ltd or the said Relevant Person may receive a benefit from a third party or taking into account the interests of another client. | Sun Investing Global Ltd does not provide investment advice with respect to FX and CFDs transactions and thus cannot recommend you any particular transactions. |
| A Relevant Person may recommend to the client a transaction based exclusively on the remunerations to be received by Sun Investing Global Ltd or by the employee. | |
| Sun Investing Global Ltd may be regarded as having an interest in maximizing your trading volumes or in maximizing your losses in order to achieve higher remunerations. |
The remuneration that Sun Investing Global Ltd receives for the execution of your transactions, may depend either on the volume of your transactions (when a Liquidity Provider remunerates H International Ltd by providing a percentage of the spread of your trades) or on the amount of your losses (when a Liquidity Provider trading on its own account against your positions remunerates Sun Investing Global Ltd based on the profits generated by the Liquidity Provider from your trades and therefore from the amounts that you lose when trading through Sun Investing Global Ltd). However:
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