In terms of Section 3A(2)(a) of the General Code of Conduct every Provider, other than a representative, must adopt, maintain and implement a Conflict of Interest management policy that complies with the provisions of the FAIS Act (Financial Advisory and Intermediary Services Act 37/2002). The policy must be read and understood in the context of the General Code of Conduct and must be accessible for public inspection purposes.
Mercury is committed to providing the highest level of service and, coupled with this requirement, providing this service to our clients with integrity, honesty, transparency and fairness.