Legal Mentions
Intermediary selection policy
All investment service providers are subject to an obligation to act in the best interests of their clients for the execution of orders resulting from investment decisions relating to portfolios.
In this context, in its capacity as a management company, and in view of the characteristics of its activity, Crypto Invest Management has more particularly the obligation to select intermediaries whose execution policy will ensure the best possible result when execution of orders.
In accordance with the regulations, Crypto Invest Management has established an order execution policy allowing it to obtain the best possible result.
The order execution policy provides in particular for orders to be recorded and processed quickly and accurately, taking into account market conditions.
This order execution policy is based on:
– a standardized process for selecting financial intermediaries and counterparties;
– a process for selecting execution venues;
– a process of analysis and selection of reports provided by service providers in the context of best execution.
Crypto Invest Management has adopted a multi-criteria approach to select intermediaries guaranteeing the best execution of stock market orders.
The criteria used are both quantitative and qualitative.
They depend on the markets on which the intermediaries offer their services, both in terms of geographical areas ("global", pan-European, local intermediaries) and financial instruments traded (intermediaries specialized in equity markets, interest rates, convertibles, derivatives).
Each analysis criterion is the subject of an evaluation affected by a weighting coefficient making it possible to assign an overall score and then to develop a ranking of all the intermediaries analyzed in order to determine the list of intermediaries actually selected.
The analysis criteria relate in particular to financial solidity, speed, quality of processing and execution of orders, intermediation costs as well as the availability and pro-activity of the interlocutors.
Intermediary rating grids are updated every year.
On this basis, the list of selected intermediaries is also subject to an annual review.
Remuneration policy
Crypto Invest Management has implemented a compensation policy and practices consistent with sound and effective risk management.
It is based first of all on the employment contract which governs, among other things, remuneration.
In addition, the Management Company establishes the rules and practices that are compatible with sound and effective risk management and promote such management.
It does not encourage risk taking that is incompatible with the investor profiles, rules or constitutive documents of the Company and does not harm compliance with the duties of the Management Company to act in the best interests of the shareholders.
The remuneration policy is aligned with the business strategy, objectives, values and interests of the Management Company and the funds it manages as well as the people who invest in these funds, and this policy includes measures aimed at to avoid conflicts of interest.
With regard to the internal organization of the Management Company, the performance evaluation is carried out within a multi-annual framework.
The Remuneration Policy provides for duly balanced variable components of discretionary salaries, and the fixed component represents a sufficiently high proportion of total remuneration to allow the implementation of a fully flexible policy with regard to variable remuneration components, including the possibility of not paying any variable compensation component.
The Remuneration Policy applies to categories of personnel comprising senior management, risk takers, control functions and any employee whose remuneration falls within the category of remuneration of senior management and risk takers whose activities have a significant impact on the risk profile of the Management Company.
For staff whose activities have a material impact on the risk profile.
The current variable compensation policy is based on principles compatible with sound and effective risk management.
The compensation policy is reviewed annually by the management body.
There is no guaranteed variable compensation.
In the event that the costs of the Funds include the calculation of an outperformance, these are paid to the Management Company which disposes of them.
Handling customer complaints
Crypto Invest Management has established and maintains an operational procedure for the rapid and efficient processing of complaints sent by its clients. Complaints are addressed to:
support@crypto-investmanagement.org
We undertake to send you an acknowledgment letter within a maximum of 10 working days from receipt of the complaint and to respond to you within a maximum of 1 month from the same date.