Andrew Procter, FSA Director of Enforcement, said:
"Firms must ensure that the products they recommend are suitable for an investor's individual circumstances and that any potentially unsuitable sales are identified. The procedure and controls to achieve this need to be especially rigorous where medium or high risk products are being offered to inexperienced investors."
LTSB did not have in place sufficiently rigorous procedures and controls for considering all of the issues surrounding the selling of the EIGP. It did not emphasise sufficiently to the LTSB branch network's financial consultants the need for investors, when buying the EIGP, to have appropriately balanced portfolios and the need for investors to retain sufficient liquid resources. (Together, these two factors are described as concentration levels.)
In particular:
Additionally, LTSB did not ensure an adequate balance between the general pressures of its sales targets and the suitability of EIGP for investors and failed to analyse the reasons for the high level of sales through the LTSB branch network of Tranche 1 of the EIGP
As a result, some 22,500 EIGP sales - 44% of the total number of policies sold - were made through the LTSB branch network to investors when it was an unsuitable product for them. In the light of these failings specifically, LTSB has agreed to pay compensation in respect of:
In relation to the EIGP, LTSB failed in the above respects to act with due skill, care and diligence and to have adequate arrangements to ensure that its financial consultants were adequately trained with regard to concentration levels and that it had sufficiently well defined compliance procedures. In so doing, LTSB demonstrated failings that are viewed by the FSA as particularly serious in the light of the following factors:
In deciding the level of penalty to be imposed, the FSA has taken into account that, while the bank's failings in this case were serious, LTSB has co-operated fully since the identification of these issues by the FSA in October 2001. It has conducted a comprehensive investigation into its sales of the EIGP and has agreed to pay the compensation as set out above. LTSBs conduct was not deliberate or reckless and the bank has put in place remedial steps to address the issues in relation to the EIGP referred to above. Were it not for the remedial action taken and for the co-operation demonstrated, resulting in the early settlement of the matter, the financial penalty would have been significantly higher.
LTSB will be contacting customers to advise them of how today's announcement will affect them. The bank has also established a consumer information line to answer any immediate questions that its investors have. The number is: 0800 328 4761.
FSA/PN/098/2003
25/09/2003