AIICO Capital Investment Managers Limited (“ACL”) is a client and service-oriented company that sees client’s satisfaction as wealth creation and views complaint management process as an avenue to continuously deliversatisfactory services to our Clients. To articulately manage the process, we have developed an approach in line with the SEC Complaint Management Framework for managing complaints which are regarded as Client Compliant Management (“CCM”).
As a Capital Market Operator (CMO), we recognize the need to establish a Complaint Management Framework which will address complaints professionally, competently, timely, and in a manner complaint with the principles of natural justice, equity and good conscience as well as upholding utmost confidentiality.
The objectives of the Complaints Management Framework are to:
It is necessary to note that Client complaints can be verbal or written. All complaints must be recorded and resolved timely in accordance with laid down rules set by the SEC.
The following highlights the key features of the AIICO Capital Investment Managers Limited’s CCMF
The aim of having an efficient Client Complaint Management procedure is to ensure proper management of complaints brought to the attention of the company for fair resolution. It is designed to improve the services offered, by helping to detect weakness, remedy unfair situations and improve operating methods within the system.
The Board and Management are highly committed to promoting an effective and efficient complaint handling process within the Company and adequate resources shall be deployed towards ensuring the achievement of this objective. All Complaints received shall be acknowledged and analyzed towards aiding and ensuring informed and continuous quality improvement initiatives.
The major aims of this Framework are to:
We recognize that Complaints may fall into one or more of the following categories:
The following issues have been identified as causes of clients‘ complaint though the list is inexhaustive:
AIICO Capital Investment Managers’s clients may lodge their complaints through any one or more of the following channels:
The recipient of the complaint in respect of clauses a, b and c above shall escalate the complaint to Senior Management for the purpose of implementing and monitoring compliance of the Complaint Management Policy. Provided that Senior Management shall assign the duty of resolution of such complaints to the Complaint Management Committee for resolution in accordance with Clause 7 below
We have categorized Client’s complaints under three board heading of low, medium and high based on internationally accepted risk rating method and for ease of treatment of complaints.
Complaints that can easily be resolved via any channel which such complaint is received or shortly thereafter. This has minimal financial or legal implications and can be handled by any staff without any specific exp
Complaints that can be resolved on the spot but require assistance of a support staff at the back office. This also has minimal financial and legal implications; and
These are Complaints that have financial, legal and or reputational implications and require the expertise of the centralized complaint management desk within Client Service and the operations team for resolution.
The procedure for managing client complaints is progressive in nature. Upon the completion of the first stage, the next stage shall commence and shall continue in that order until final resolution of the complaint. Note that as soon as a resolution is reached, subsequent stages of the CCM would be discontinued. The stages are outlined below;
7.1: Acknowledgement upon the receipt of a Client’s complaint, the immediate recipient of the complaint should take any of the following actions depending on the mode of complaint as listed under clause 7.
a: An attempt should be made to calm the offended client while an employee with better knowledge of the situation (preferably the client’s Relationship Manager) is notified;
b: Neither the employee of first contact nor the Relationship Manager is to admit liability on behalf of the Company or to apportion blame in the presence of the client. The aim here is to contain the situation until it is escalated to the next stage if required; and The complainant’s email address shall be obtained and an email acknowledging receipt of the verbal complaint shall be sent same day of receiving such complaint. Such email shall detail the nature of the complaint
c: The client should be informed of the nearest date within which the business will revert to him on the issues in dispute.
a: The recipient of the letter must send it to Client Service Desk as soon as it is received;
b.Client Service Desk shall immediately send out an acknowledgement to the client within 24 hours (in case of complaint received via email) and within three (3) working days (in case of complaint received via post) assuring the Client of the receipt of the complaint and the proposed date of communication of the findings on the issues raised by the complainant in the correspondence. Client Service Desk shall notify Compliance Unit of the complaint via the complaint register which is to be sent on a weekly basis(Friday COB). The Client Service Desk shall keep a Register of Complaints. The Compliance Unit will also send copies of the Complaint and the acknowledgment to the relevant Competent Authority as part of routine regulatory reporting obligation.
c: The client should be informed of the nearest date within which the business will revert to him on the issues in dispute.
AIICO Capital Investment Managers’s Policy is to resolve all complaints within ten (10) working days from the date the complaint is received. After resolution of the complaint, the Company shall notify the relevant Competent Authority of the resolution of the Complaint within 2 (two) working days.
7.3.1: Complaints not resolved within the time-frame of ten (10) working days shall be referred to the relevant Competent Authority within two (2) working days either by Client Service or the Complainant.
A letter and a summary of the proceedings of events leading to the referral and copies of relevant supporting documents shall be sent to the Competent Authority. Clients are hereby notified that sanctions may be imposed by the SEC for failure to forward a summary of the proceedings within the above stated timeline.
7.3.2: If the client is not satisfied with the decision of the Competent Authority, the Complainant shall have the right to refer the Complaint to the SEC within 2 (two) working days where he/she is not satisfied with the decision of the Competent.
7.4.1.Complaints referred by Compliance Unit to the relevant Competent Authority shall be resolved within 20 (twenty) working days of receipt of the Complaint.
The complainant shall refer the complaint to the SEC within two working days, if the decision of the Competent Authority is unsatisfactory.
Where there is no relevant Competent Authority or client is not satisfied by the decision reached, the Complaint shall be referred to the SEC within 3 (three) working days either by the Company or the Complainant. The summary of the proceedings of events leading to the referral and copies of relevant supporting documents shall be attached to the letter to the SEC.
The procedure for managing client complaints is progressive in nature. Upon the completion of the first stage, the next stage shall commence and shall continue in that order until final resolution of the complaint. Note that as soon as a resolution is reached, subsequent stages of the CCM would be discontinued. The stages are outlined below;
In cases where the Client had already escalated the complaint to the SEC and the Company is aware, the Company will write the Regulator within two (2) working days stating that the CCM process has commenced. The Client will be notified of this and the Company will continue with the CCM process except instructed otherwise by the Regulator.
Where complaints cannot be resolved immediately at the point the Complaint is made, such complaints will be thoroughly investigated. The head of the relevant Unit or business against whom the Complaint is levied shall be notified of the Complaint (via email) by the Client Service Officer. This shall be done on the same day on which the Complaint is received.
In all cases, the occurrence of the complaint shall be recorded in the Complaint Register by the responsible Client Service Officer within 24 hours of receipt. The issues complained about must be clearly defined and recorded. Steps taken to ensure the resolution of the complaint as well as the resolution must also be stated as soon as it occurs.
Investigations of complaints received after 5:00pm shall be initiated latest 8:00am on the next business day. The head of the Unit against whom the complaint is lodged shall investigate the true state of affairs leading to the complaint. Investigation must be concluded within 24 hours of receipt of the email notifying the Unit head of the existence of the Complaint. If a suitable resolution is reached at this stage, it must be communicated to the following officers before the client is informed of the decision:
Communication of the decision reached to the abovementioned officers is to ensure that AIICO Capital Investment Managers collectively owns the decision communicated to the client.
Any unresolved complaints as well as all complaints brought to the Company’s notice by any Regulator must be escalated to the Complaint Management Committee. The Panel is expected to take one of the following actions:
If a resolution cannot be reached immediately, the head of the Client Service Unit shall verbally and inwriting communicate with the offended client until a resolution is reached within the timeline stated in this Framework. All verbal communications must be transcribed and circulated amongstmembers of the Complaint Management Committee.
All resolutions reached must be promptly communicated to the complainant in writing. In cases where any Regulator had been informed about the situation, such Regulator must be copied on all written correspondences to the complainant.
AIICO Capital Investment Managers will always seek harmonious ways to resolve clients’ complaints. The company will encourage and pursue the use of alternative dispute resolution techniques in resolving issues to avert public court cases that may create acrimony between the company and its clients. This approach will be deployed where all available measures to resolve an issue is unsuccessful. It is the responsibility of Senior Management to choose an appropriate and independent negotiator, mediator or arbitrator to mediate. Such person must be independent and shall not;
AIICO Capital Investment Managers will always seek harmonious ways to resolve clients’ complaints. The company will encourage and pursue the use of alternative dispute resolution techniques in resolving issues to avert public court cases that may create acrimony between the company and its clients. This approach will be deployed where all available measures to resolve an issue is unsuccessful. It is the responsibility of Senior Management to choose an appropriate and independent negotiator, mediator or arbitrator to mediate. Such person must be independent and shall not;
Upon resolution of client complaint, the complaint record (which includes details of how the complaint was resolved) and associated correspondence shall be retained in the records for at least 7 (seven) years from the date the complaint was received whether or not the Complaint has been resolved. The date on which the complaint was resolved must be recorded. This record will also include information on measures taken for resolution of issues logged by Clients.
The Senior Management shall be committed to the laid down procedures. The Senior Management shall act through the Complaint Management Committee to ensure that these procedures are integrated into the culture of the organization and monitored for compliance purposes.
The Complaint Management Committee, saddled with the responsibility of executing the terms of this policy, shall sit on ad-hoc basis, with membership comprising of representatives of the following offices:
The management shall also ensure that:
At the end of every quarter, a status update of complaint filed with AIICO Capital Investment Managers shall be forwarded to the SEC.
Such report shall be sent to the SEC not later than the 20th day of a new quarter.
This Framework shall be subject to review annually or as recommended by the regulatory authority (SEC). The compliance and internal control unit shall be responsible for the periodic review.