Key Takeaways
- Review underlying principles of the FCA Consumer Duty
- Understand the FCA’s expectations of a firm’s culture in relation to Consumer Duty
- Identify key actions that firms may wish to consider when embedding Consumer Duty successfully within their culture
The importance of cultural alignment with the Duty
In Chapter 10 of the Duty’s Final Guidance – FG22/5; Culture, governance and accountability, it states that the Duty sets a higher expectation for the standard of care that firms give customers. Asserting that for many firms, this will require a significant shift in both culture and behaviour, so they are consistently focused on customer outcomes and putting consumers in a position where they can make effective decisions.
The higher standard of the Duty and the shift to focusing on customer outcomes will require a significant change in many firms’ cultures.
Firms’ boards and senior management, if they haven't already, will have to embed a culture in which good outcomes for consumers is central. People management policies and practices, including performance management, pay and bonuses will be critical to doing so.
Firms can expect at every stage of the regulatory lifecycle to be asked to demonstrate how their business model, the actions they have taken, and their culture are focused on delivering good customer outcomes.
Emily Shepperd, Chief Operating Officer and Executive Director of Authorisations (4)
In addition, in the FCA’s January 2023 review of firms’ Consumer Duty implementation plans they highlighted concerns around the embedding of the Duty within firms’ cultures. Specifically, that some firms had undertaken limited analysis or lack of planned actions.
Therefore, action will be required by many firms to ensure the successful embedding of the Duty into a firm’s culture and the enduring compliance. It is clear that the FCA expects firms to demonstrate the impact of the actions they have undertaken to ensure their culture reflects the Duty.
Organisational culture
- Identify gaps between their current culture and one that is aligned with the Duty.
- Review committee memberships. Diverse membership with the appropriate skills, knowledge and attitude to provide the right oversight and challenge.
- Empower the Duty champion to question all aspects of the firm’s practices and processes.
- Challenge data and MI to demonstrate the firm is delivering good customer outcomes.
- Consider the Duty in light of other change and transformation programmes being undertaken by the firm.
Relationship of senior leaders/employees and firm
- Review the SMCR framework to ensure it is aligned with the Duty requirements.
- Ensure that staff are aware of how Individual Conduct Rule 6 applies to their role (“You must act to deliver good outcomes for retail customers”)
- Improve feedback processes to encourage employees to share ideas and concerns.
Competence, knowledge and skills of all employees
- Review and refresh training modules to ensure the Duty is sufficiently incorporated in the content.
- Provide ongoing training and upskilling opportunities to reinforce the Duty requirements and strengthen workforce’s knowledge and skill.
- Create role‑specific peer level forums to encourage employees to share insights, experiences, and lessons learned.
- Review workforce diversity.
Motivation of employees
- Review and update remuneration and performance management frameworks and policies ensuring consistency with the Duty.
- Align reward and incentives structures with the delivery of good customer outcomes.
- Recognise customer‑focussed achievements of employees.
- Review process for variable remuneration in line with good customer outcomes.
For more information and further reading:
FG22/5: Final non-Handbook Guidance for firms on the Consumer Duty
Consumer Duty: Key questions for firms to ask themselves
FCA Consumer Duty implementation plans January 2023
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