Click here to view the full version of the FSC’s submission to the FSI.
Summary of Financial Services Council (FSC) recommendations:
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• – The FSC supports raising levels of professionalism and enhancing ASIC’s power to ban individuals
from managing financial services organisations.
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• – The FSC supports the enhanced register of advisers, as well as increasing minimum education
requirements for those who provide personal advice to retail clients on Tier 1 products/or ‘relevant
financial products’.
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• – The FSC supports relabelling ‘general advice’ with ‘general information’ and supports disclosure of
licensee ownership of the financial advice register.
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• – The FSC recommends replacing ‘general advice’ with ‘general information’.
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• – The FSC recommends that consideration be given to ‘general advice’ remaining a subset of ‘financial
product advice’ or relabel ‘financial product advice’ to remove the word advice, to ensure that
someone providing ‘general advice’ or ‘general information’ cannot hold themselves out as
providing advice in the form of ‘financial product advice’.
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• – The FSC is not supportive of replacing ‘personal advice’ with ‘financial advice’ on the basis that
‘personal advice’ better reflects the nature of the advice provided.
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• – The FSC is supportive of limiting the provision of ‘personal advice’ to someone who provides
personal advice to retail clients on Tier 1 product or ‘relevant financial products’ and who has met
the minimum education and competency requirements set out on page 22-25 and Table 1 of this
submission.
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•- The FSC is supportive of restricting the terms ‘financial adviser’ and ‘financial planner’ to those who:
provide personal advice to retail clients on tier 1 products/relevant financial products;
are included on the new financial adviser register; and
meet the minimum education and competency requirements set out on page 22-25 and Table 1
of this submission.
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• – Subject to the FSC’s feedback provided in response to the PJC’s recommendation 5, the FSC is
supportive of many aspects contained within this recommendation.
Specifically, the FSC is supportive of:
the enhanced adviser register and a unique identifier which follows an adviser throughout their
career (even where they have a break and re-join the industry);
a new adviser being added to the register when the new adviser has met the minimum
education and competency requirements set out on page 22-25 and Table 1 (noting that
advisers will be added to the register once they pass the registration exam, even where this
takes place during the professional year);
the inclusion of higher qualifications awarded by a professional body;
the inclusion of information about any bans, disqualifications or enforceable undertakings by
ASIC, as well as recommending targeted consultation on including material censures or
limitations imposed by AFSLs, Professional Bodies on the adviser register to ensure further
disclosure is meaningful to consumers; and
the register noting that an adviser is no longer authorised to provide personal advice if their
membership of their nominated professional body is suspended or revoked.
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• – The FSC is supportive of organisational licensee fees reflecting the scale of the advice organisation
subject to broader industry consultation on fees.
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• – The FSC is supportive of increasing the mandatory education requirements as outlined in Table 1:
Education and Competency Requirements and for an independent body to establish the initial and
ongoing education and competency requirements.
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• – The FSC is supportive of ASIC listing advisers on the register when they have met the minimum
education and competency requirements in Table 1 as confirmed by the nominated Professional
Association.
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• – The FSC is supportive of ongoing professional development being set by their professional
association, with the Independent Body facilitating cross industry standardisation. The CPD
framework should encompass core CPD requirements for all to complete and cater for
specialisations (such as SMSF or risk insurance advice).
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• – To ensure appropriate funding, the FSC is supportive of an independent body being funded by an
ASIC industry levy with Ministerial appointees. It is recommended that the Board be comprised of:
representatives from ASIC and the TPB;
education providers with knowledge of financial advice;
experienced individuals from the industry/advisers; and
independent chair such as an academic.
To support input from key stakeholders the FSC also recommends that stakeholders have direct
involvement with the Independent Body via a variety of sub-committees which include:
professional associations;
consumer representation; and
licensees (given regulatory responsibilities imposed on licensees for adviser competency it is
important for licensees to be able to provide input).
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– • The FSC supports Professional Associations establishing Codes of Ethics which meet Professional
Standards Council (PSC) requirements. Codes of Ethics should be approved independently of any
application for recognition as a Professional Association.