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Vulnerable Consumer Policy

AIM OF THIS POLICY

The aim of this policy is to outline the practice and procedures for staff in London Camera Exchange to contribute to the prevention of detriment to clients who find themselves in vulnerable circumstances.

The policy covers all staff and areas of work directly with the customer.

DEFINITION OF VULNERABLE

The Financial Conduct Authority in its publication “Consumer Credit and Consumers in Vulnerable Circumstances” of April 2014 (pub ref 00489) defines consumers in vulnerable circumstances as follows:

“We consider a vulnerable consumer to be someone who, due to their personal circumstances, is especially susceptible to detriment.” With the most significant detriment occurring when, “…through the use of consumer credit, they get into unmanageable or problem debt.

London Camera Exchange Limited is a credit broker, not a lender and is authorised and regulated by the Financial Conduct Authority (FRN 742719).

Clients who might be considered as being in vulnerable circumstances could include:

  1. Clients with mental capacity deficiencies (including language or communication)
  2. Clients who are “underbanked” or “financially unsophisticated”
  3. Clients with low income
  4. Clients already in a distressed financial situation
  5. The nature of London Camera Exchange Limited business makes it unlikely that new customers will be in vulnerable circumstances or that the nature of their circumstance may limit or remove the availability of facilities to the extent that the firm might be unable to accommodate their requirements.

The nature of London Camera Exchange Limited business makes it unlikely that new customers will be in vulnerable circumstances or that the nature of their circumstance may limit or remove the availability of facilities to the extent that the firm might be unable to accommodate their requirements.

We must however remain mindful of the potential for enquiry by these clients and the potential for any change of circumstance in respect of existing customers.

IDENTIFICATION OF CLIENTS IN VULNERABLE CIRCUMSTANCES

  1. Mental capacity deficiencies - The FCA provides clear guidance on the identification of mental capacity issues in its Handbook under CONC 2.10.8 Appended to this policy,
  2. Underbanked, Financially Unsophisticated -can be identified through interview and credit profile
  3. Low income - can be identified through interview and credit profile
  4. Financial Distress, can be identified through interview and credit profile
  5. The nature of the need area to be addressed, for example, in connection with arranging mortgages and/or home finance, equity release, sale and rent back, right-to-buy, or where the main purpose of raising funds is to consolidate debt, or advising on and / or facilitating the provision long-term care.

ASSESSMENT AND MANAGEMENT OF RISK

London Camera Exchange Limited will not discriminate against clients in vulnerable circumstances by way of adjustment to fees or any refusal to assist purely on the grounds of the client’s circumstance (unless that circumstance creates a situation which is likely to lead to detriment or a risk that removes the availability of any finance facility).

The following table illustrates mitigating actions for clients with mental capacity deficiencies (for the avoidance of confusion “competent person” means an individual without the limitation presented by the client.

Capacity IssueRiskMitigation
LanguageClient cannot fully understand important features of their agreement with London Camera Exchange Limited their recommendation or the consequences of that recommendationClient to instruct a competent person to act as interpreter.
Other communication problem created by disabilityAs above
  • Client to instruct a competent person to act as interpreter.
  • Client to nominate a reasonable communication medium suitable for their disability.
  • Client to instruct a competent person to communicate on their behalf. Legal agreement must be reached outside of any period of incapacity.
Mental incapacity (temporary) e.g. intoxication, mental illnessAs above plus the potential for reckless disregard for consequence
  • Client should be encouraged to seek independent professional advice.
  • If legal agreement cannot be reached outside of any incapacity, client must provide “Power of Attorney” for a competent individual to act on their behalf.
Mental incapacity (Permanent)As above plus the possibility that any agreement might be unenforceable as a result of known incapacity.Client must provide “Power of Attorney” to a competent individual to act on their behalf

RIGHTS & RESPONSIBILITIES

Responsibilities of London Camera Exchange Limited

  1. To ensure staff are aware of this policy and are adequately trained once per quarter
  2. To support individuals in relation to identified risk and vulnerability
  3. To provide means of reporting any instance where they believe that a client might be in vulnerable circumstance

Responsibilities of London Camera Exchange Limited employees

  1. To be familiar with this policy and procedures
  2. To take appropriate action in line with the policies of London Camera Exchange Limited
  3. To report any instance where they believe that a client might be in a vulnerable circumstance.
 
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London Camera Exchange Limited is company registered in England & Wales under Company Registration 02697309 and our registered office address is 15 The Square, Winchester, Hampshire, SO23 9ES. London Camera Exchange Limited is authorised and regulated by the Financial Conduct Authority and is the broker and not the lender. Our FCA registration number is 742719. London Camera Exchange Limited offers credit products from Secure Trust Bank PLC trading as V12 Retail Finance. Credit is provided subject to affordability, age and status. Minimum spend applies. Not all products offered by Secure Trust Bank PLC are regulated by the Financial Conduct Authority.