Complaint Handling and Treating Customers Fairly 

Our relationship with our clients is at the heart of everything that Praetura Servicing do and is a core strategy. Treating Customers Fairly is vital for compliance with Praetura Servicing’s regulatory obligations and is core to the Financial Conduct Authority’s (“FCA”) consumer protection objectives.  Whilst Praetura Servicing is not a regulated activity and we are not regulated by the FCA, we wish to follow their principles as far as possible.

We take our client’s feedback seriously and it allows us to improve the service that we provide.

Whilst there are rules in the FCA Handbook which prescribe the way that customers should be treated (e.g., sales requirements, complaints handling) the principle of fair trading goes beyond the detailed rules and has a bearing on all dealings with clients.

The impact of the following should be considered: –

Complaints should be monitored for trends and for any ambiguous or misleading communications so that these can be remedied;

It is PIF’s policy to be open and transparent in the handling of complaints. It follows good practice by setting out clearly what the process and procedures are for reviewing a complaint.

Some complaints may be relatively straightforward and others more complex. It represents a better outcome for the complainant and Praetura Servicing that when complaints arise that they are resolved as quickly as possible. Efficiency is an important determinant of a complainant’s perception of how well his/her complaint was handled.

Praetura Servicing has in place robust procedures:

It is essential that clients understand the policy and are given realistic expectations about what can be achieved and the time scales involved.

There are a number of options for redress:

When reviewing a complaint, consideration should be given to the degree to which a client/person has contributed to the complaint, the implications for Praetura Servicing, in particular any impact on their reputation.

Appropriate resources are allocated to the examination of each complaint and complaints are dealt with in a reasonable time scale. It is important to Praetura Servicing that the client/individual feels that they have been listened to, taken seriously, that they have been given a clear explanation and that their complaint has been addressed in a fair way. A positive perception is an important outcome for Praetura Servicing especially in the retaining of clients and their future relationship and dealings with clients.

UK Finance

As a member of UK Finance, Praetura Servicing is required to adhere to UK Finance’s ‘Code of Conduct’ which includes an independent complaints process which is designed to be independent, accessible, focused and effective.

Accessing UK Finance’s complaints process is free to the complainant, regardless of whether the complaint is ultimately upheld. Any cost associated with dealing with a complaint will be paid for by the Member (Praetura Servicing) involved.

The following must have occurred before a complaint is formally accepted into the independent Complaint process:

made to resolve it, or the Member (Praetura Servicing) has issued a ‘Deadlock Letter’ (this is an official letter from the Member) to the Complainant confirming that it has not been possible to resolve the complaint); and

It is a requirement of UK Finance that:

Handling a complaint

What is a Complaint?

A complaint is “any oral or written expression of dissatisfaction, whether justified or not, from or on behalf of a person about the provision of, or failure to provide, a financial service or redress determination, which:

A complaint may be received in writing (including electronically) or discussed verbally.

Complaints are productive:

Client Complaint handling:

On the day, the complaint is received by Praetura Servicing it will be logged on the Complaints Log by a director this allows for a description of the issue and who has raised the complaint.  The managing of a Complaints Log enables Praetura Servicing to identify any common issues or themes that may arise in respect of their dealings or the service provided to clients. It highlights areas where staff would benefit from training.

Implementing guidelines

The client has a number of options when deciding to raise a complaint; it can be raised with any member of staff in writing, email or telephone.

Logging the complaint

Upon receipt of the complaint, director will:

Record Retention

It is essential that all complaints are recorded in order to allow monitoring of promptness and resolution All conversation and actions should be documented. Effective records are required to ensure that all data is accurate and there is a clear audit trail.

Extending the date for Resolution

In the event that Praetura Servicing has not been able to resolve the issue within the target of 9 working days of receipt, A director will provide both the client and the MD with an update. The decision to extend the investigation will be notified to the client in writing and a copy forwarded to the MD.

Escalation

Conclusion of the Complaint

Compensation

Compensation may be payable where a complaint is upheld in the client’s favour and the client has incurred a loss attributable to the complaint. Compensation should as far as possibly put the client back in the position they would have been in had the matter complained about not occurred. Compensation may include:

Vulnerable Customers

A vulnerable customer is someone who, due to their personal circumstances, is especially susceptible to detriment, particularly when a firm is not acting with the appropriate levels of care.

The way that Praetura Servicing deliver their services is important and they aim to: –

What does it mean by a vulnerable client?

Vulnerability can come in a range of guises; and can be temporary or permanent in nature. Many people in vulnerable situations do not diagnose themselves as vulnerable. Vulnerability is not a straightforward matter and Praetura Servicing employees need to consider each case individually. In some cases, these difficulties may be short lived.

For example, a client may experience changes in their circumstances such as, bereavement, depression or serious illness.

At the core of Praetura Servicing’s business philosophy is a dedication to delivering good outcomes for our clients and this can only happen by ensuring that clients are confident that they are dealing with an organisation that behaves in a fair way.

Every client circumstance will be individual and Praetura Servicing will need to understand and approach in a sensitive manner. Some may be reluctant to discuss their situation and Praetura Servicing need to reassure them that ay sensitive personal information will be stored and processed in a respectful way.

Recording sensitive personal data

Once a vulnerable client has made Praetura Servicing aware of their circumstances we will need to record this information and in accordance with the current Data Protection Act (DPA) it must be treated a sensitive personal data. The presumption under the DPA is that because information about sensitive personal data could be used in a discriminatory way and is therefore likely to be of a private nature, it needs to be treated with greater care than other personal data. Praetura Servicing must obtain explicit consent form the individual before recording and processing this information.

Praetura Servicing must make it clear to the individual the need for the information and how it will be processed and always reassure the individual that the information will be held securely. Oral or written confirmation from the individual should be obtained. If the individual declines consent, then this should be documented and saved in the client file.

Should you have any complaints, please email: enquiries@praeturaservicing.com