Evidence Required to Prove Compliance

Fit and Proper Requirements

  • Qualifications: Certified copies of RE examinations (RE 1, RE 5, etc.) and relevant qualifications
  • CPD (Continuing Professional Development): Annual CPD certificates showing required hours completed
  • Criminal & credit checks: SAPS clearance certificates, credit bureau reports
  • Employment history: CVs and references for key individuals
  • Evidence checked through: FSCA license applications, renewal processes, and on-site inspections

Annual Compliance Reviews

  • Compliance report: Formal written report by a compliance officer (internal or external) covering all FAIS requirements
  • Board minutes: Documentation showing board review and sign-off on compliance status
  • Action plans: Evidence of remedial actions for identified deficiencies
  • Evidence checked through: Submission to FSCA (when requested), and during on-site inspections

Record Keeping (5-year retention)

  • Client files: Needs analysis forms, financial plans, risk profiles, product comparisons
  • Advice records: Record of Advice (ROA) documents for each client interaction
  • Mandate agreements: Signed client mandates and service agreements
  • Communication records: Emails, meeting notes, file notes
  • Product supplier documentation: Product provider agreements, commission statements
  • Evidence checked through: On-site FSCA inspections, ombud investigations, audits

Compliance Checking Mechanisms

1. On-Site Inspections by FSCA

  • Announced or unannounced visits to FSP premises
  • Physical review of client files (random sampling)
  • Interviews with compliance officers, representatives, and management
  • Systems and process walkthroughs
  • Frequency: Risk-based approach; high-risk firms inspected more frequently

2. Off-Site Monitoring

  • Regulatory returns: Annual financial statements, statutory returns
  • Complaint data: Analysis of complaints lodged with ombud schemes
  • Market conduct analysis: Pattern analysis across industry sectors
  • Evidence required: Timely submission of prescribed regulatory returns

3. Compliance Officer Reports

  • Quarterly/annual reports to the board and FSCA (when requested)
  • Must document: Compliance breaches, remedial actions, training completed, complaints handled
  • Evidence: Signed compliance certificates, detailed compliance registers

4. External Audits

  • Financial audits: Annual audited financial statements (for certain FSP categories)
  • Compliance audits: Independent verification of FAIS compliance
  • Evidence required: Audit reports, management letters, audit work papers

5. Professional Indemnity Insurance

  • Policy certificates: Current valid insurance certificates
  • Coverage confirmation: Letters from insurers confirming adequate coverage
  • Claims history: Record of claims made and settled
  • Evidence checked through: Annual submission to FSCA, renewal verifications

Treating Customers Fairly (TCF) Evidence

Product Design & Distribution

  • Product selection criteria and rationale
  • Suitability assessments for products offered
  • Target market definitions

Client Outcomes Monitoring

  • Client satisfaction surveys and results
  • Complaint analysis and resolution rates
  • Lapse and persistency statistics
  • Portfolio performance reviews

Evidence checked through: TCF self-assessments, FSP annual reports, thematic reviews by FSCA

Disclosure Requirements Evidence

Fee Disclosure

  • Fee schedules and pricing structures
  • Client-signed fee disclosure forms
  • Commission statements from product providers
  • Proof of fee disclosures in ROA documents

Conflict of Interest Management

  • Conflict of Interest Policy document
  • Conflict register (updated regularly)
  • Evidence of disclosure to clients where conflicts exist
  • Ownership and financial interest declarations

Evidence checked through: Client file reviews, policy documentation audits

Advice Standards Evidence

Needs Analysis

  • Completed needs analysis questionnaires
  • Client fact-finds (financial position, goals, risk tolerance)
  • Supporting documentation (payslips, bank statements, existing policies)

Suitability Assessment

  • Product comparison documents (showing why recommended product was chosen)
  • Record of Advice clearly linking needs to recommendations
  • Signed client acknowledgments

Ongoing Review

  • Annual review meeting notes
  • Updated needs analysis
  • Portfolio rebalancing documentation

Evidence checked through: File sampling during inspections, ombud complaint investigations

Complaints Management Evidence

  • Complaints register: Log of all complaints received with dates, nature, and resolution
  • Complaint resolution documentation: Letters to clients, internal investigation notes
  • Root cause analysis: Evidence of systemic issue identification and correction
  • Ombud reporting: Records of complaints escalated to FAIS Ombud
  • Evidence checked through: FSCA inspections, ombud data sharing, annual compliance reviews

Training and Competence Evidence

Initial Training

  • Induction programs for new representatives
  • Product training completion certificates
  • Systems and process training records

Ongoing Training

  • CPD certificates (minimum 30 hours annually for most categories)
  • Training attendance registers
  • Internal training materials and assessments
  • Evidence checked through: CPD records verification, representative interviews

Practical Compliance Checking Process

When the FSCA conducts an inspection, they typically:

  1. Request documentation in advance: Compliance manuals, policies, organizational charts, representative lists
  2. Sample client files: Random selection (often 20-30 files) to verify advice quality
  3. Interview key personnel: Test knowledge and understanding of compliance obligations
  4. Review systems: Check CRM systems, compliance software, document management
  5. Test processes: Walk through typical client journey from lead to advice to implementation
  6. Issue findings: Preliminary findings discussed, formal report issued with required remedial actions
  7. Follow-up: Requirement to submit proof of corrective actions within specified timeframes

Consequence of inadequate evidence: If you cannot produce required evidence during an inspection, the FSCA may assume non-compliance, which can trigger enforcement actions even if you were actually compliant but simply failed to document it properly.

The golden rule: If it isn’t documented, it didn’t happen from a regulatory perspective.