Information on the financial services offered by
EDURAN AG
Any references in this text to the singular or male form (he/his/him) also apply to female individuals and scenarios involving more than one individual.
Dear Sir/Madam,
This information brochure is designed to provide you with information about EDURAN AG (hereinafter referred to as the “Asset Manager”), the measures we take to avoid any loss of contact or dormant assets, the financial services we offer and the risks they entail, how we deal with conflicts of interest and how mediation proceedings can be initiated before the ombudsman’s office. The information in this brochure is subject to change from time to time. You can find the latest version of this brochure on our website at www.eduran.ch or you can obtain a physical copy from our business address.
Information on the costs and fees associated with the financial services we offer can be found in the relevant appendix to the financial services agreement.
Information on the risks generally associated with financial instruments is available in the brochure entitled “Risks Involved in Trading Financial Instruments” published by the Swiss Bankers Association. This brochure is available on the Internet at https://www.swissbanking.ch/en/downloads or on our website.
This brochure fulfills the information obligations set out in the Swiss Financial Services Act and is intended to give you an overview of the Asset Manager’s financial services. Should you require any further information, we would be more than happy to arrange a face-to-face meeting with you.
EDURAN AG
Content
1.3 Supervisory status, responsible authority and supervisory organisation. 2
1.5 Economic ties with third parties. 2
3.1.1 Nature, characteristics and functioning of the financial service. 3
3.1.2 Rights and obligations. 3
3.1.4 Range of products on the market taken into account. 4
3.2 Comprehensive investment advice. 5
3.2.1 Nature, characteristics and functioning of the financial service. 5
3.2.2 Rights and obligations. 5
3.2.4 Range of products on the market taken into account. 6
3.3.1 Nature, characteristics and functioning of the financial service. 7
3.3.2 Rights and obligations. 7
3.3.4 Range of products on the market taken into account. 8
4.2 Compensation received from third parties in particular. 9
Name | EDURAN AG |
Address | Zeughausgasse 18, 6300 Zug
Schützengasse 7, 8001 Zürich Hauptgasse 7/9, 8620 Lichtensteig |
Tel. | +41 44 488 44 80 |
Fax | +41 44 488 44 81 |
eduran@eduran.ch | |
Website | www.eduran.ch |
Commercial Register no. | CHE-105.994.869 |
The Asset Manager has its registered offices in Zurich, Switzerland, as well as in Lichtensteig with headquarters at Zeughausgasse 18 in Zug. It offers comprehensive financial services, in particular asset management and execution only.
1.3 Supervisory status, responsible authority and supervisory organisation
The Asset Manager is a member of AOOS, www.aoos.ch, an officially recognised organisation in accordance with the Swiss Anti-Money Laundering Act (AMLA) with officially recognised rules of conduct (code of conduct) for asset managers.
The Asset Manager is subject to professional secrecy obligations in accordance with the Swiss Financial Institutions Act.
1.5 Economic ties with third parties
The Asset Manager has economic ties to third parties which could result in a conflict of interest. These involve retrocessions and trailer fees. The third parties include custodian banks, issuers of structured products and fund providers. This creates a risk for clients that custodian banks, issuers and fund providers will be given preferential treatment as a result of their remuneration. The Asset Manager has put a number of safeguards in place to mitigate these risks. It has established internal directives that set out clear regulations regarding the investment process. In addition, the risk and compliance management functions are separated from the operating units and from the functions that provide financial services in both functional and hierarchical terms.
Situations can arise in which contacts with clients is lost and the assets subsequently become dormant. These assets can end up be permanently forgotten by clients and their heirs. The following measures are recommended to avoid any loss of contact or dormant assets:
The Asset Manager will be happy to answer any questions you may have. Further information can be found on the website of the Swiss Bankers Association under “Dormant assets”. This information is available on the Internet at https://www.swissbanking.ch/en/financial-centre/information-for-bank-clients-and-companies/dormant-assets
3.1.1 Nature, characteristics and functioning of the financial service
Asset management involves the Asset Manager managing assets that client has deposited at a custodian bank on behalf and for the account of the client, and at the latter’s risk. The Asset Manager executes transactions at its own discretion and without consulting the client first. As part of this process, the Asset Manager ensures that the transaction it executes is suitable in light of the client’s financial circumstances and investment objectives, and is consistent with the investment strategy agreed with the client, and also ensures that the portfolio structure is suitable for the client.
Clients who have commissioned the Asset Manager to provide asset management services have the right to the management of the assets in their portfolio. Within this context, the Asset Manager selects the investments to be included in the portfolio from the range of eligible products on the market exercising due care. The Asset Manager is responsible for ensuring appropriate risk diversification to the extent that the investment strategy permits. It monitors its assets under management on a regular basis and ensures that the investments are consistent with the investment strategy agreed in the investment profile and are suitable for the client.
The Asset Manager provides the client with regular information on the asset management services that have been agreed and provided.
In general, the following risks are associated with asset management. These lie within the client’s risk sphere, meaning that they are borne by the client:
Asset management also gives rise to risks that lie within the Asset Manager’s risk sphere and for which the Asset Manager is liable vis-à-vis the client. The Asset Manager has taken appropriate measures to counteract these risks, in particular by observing the principle of good faith and the principle of equal treatment when processing client orders. The Asset Manager is also responsible for ensuring the best execution of client orders.
3.1.4 Range of products on the market taken into account
The range of products on the market that are taken into account includes financial instruments. financial instruments offered by third-party providers that are reputable counterparties as well as Instruments or products managed by the asset manager are considered. The client can choose from the following financial instruments for asset management purposes:
3.3.1 Nature, characteristics and functioning of the financial service
The term “execution only” refers to all financial services that involve the Asset Manager merely transmitting client orders, without providing any advice or management services. With execution only, orders are initiated exclusively by the client and are then transmitted by the Asset Manager. The Asset Manager does not check the extent to which the transaction concerned is commensurate with the client’s knowledge and experience (appropriateness) or with his financial circumstances and investment objectives (suitability). Whenever orders are placed by the client in the future, the Asset Manager will not remind the client that no appropriateness or suitability check will be carried out.
With execution only, the client has the right to place orders to buy or sell financial instruments from the range of eligible products on the market. The Asset Manager has a duty to transmit orders issued for execution applying the same degree of care that it generally applies in its own affairs.
The Asset Manager informs the client of any material circumstances that could affect the correct processing of the order without delay. The Asset Manager also provides the client with regular information on the orders that have been agreed and executed.
In general, the following risks are associated with execution only. These lie within the client’s risk sphere, meaning that they are borne by the client:
Execution only also gives rise to risks that lie within the Asset Manager’s risk sphere and for which the Asset Manager is liable vis-à-vis the client. The Asset Manager has taken appropriate measures to counteract these risks, in particular by observing the principle of good faith and the principle of equal treatment when processing client orders. The Asset Manager is also responsible for ensuring the best execution of client orders.
3.3.4 Range of products on the market taken into account
The range of products on the market that are taken into account when it comes to selecting financial instruments is based on the products offered by the custodian bank selected by the client.
Conflicts of interest can arise if the Asset Manager:
Conflicts of interest can arise in connection with execution only, comprehensive investment advice and asset management. In particular, they arise when the following coincide:
The Asset Manager has issued internal directives and taken organisational precautions in order to identify conflicts of interest and to prevent them from having a detrimental impact on clients.
4.2 Compensation received from third parties in particular
The Asset Manager accepts compensation from third parties in connection with the provision of financial services. The Asset Manager provides its clients with information on the nature, scope and ranges of, and the calculation parameters for, compensation paid by third parties that the Asset Manager may receive in connection with the provision of the financial service. The client waives the right to be paid this third-party compensation, which is retained by the Asset Manager. The Asset Manager has taken appropriate internal measures to avoid any resulting conflicts of interest. The amount of compensation received by third parties (retrocession) will be disclosed if required by the client.
The Asset Manager will be happy to provide further information on potential conflicts of interest in connection with the services provided by the Asset Manager, and on the precautions it takes to protect its clients, on request.
Your satisfaction is important to us. If the Asset Manager has nevertheless rejected a legal claim that you have asserted, you can initiate mediation proceedings before the ombudsman’s office. In such cases, please contact:
Name | OFS Ombud Finance Switzerland |
Address | Rue du Conseil Général 10 |
Postcode/town or city | 1205 Geneva |
Tel. | +41 22 808 04 51 |
Website | www.ombudfinance.ch |