28 May 2024
Tiger Brokers (AU) Pty Limited (“TBAU”) issues spot foreign exchange (“FX”) contracts to its retail clients. Detailed information is available in the TBAU Spot FX Product Disclosure Statement, available on www.tigerbrokers.com.au under Agreements and Disclosures.
In compliance with our obligations under Part 7.8A of the Corporations Act 2001 (Cth), which relates to the product design and distribution obligations (DDO), TBAU has prepared the following target market determination (TMD) relating to the issue of spot FX contracts to our clients.
This TMD is available to the public free of charge.
DDO REQUIREMENT | APPLICATION TO SPOT FX CONTRACTS | |
Class of retail clients that comprise the target market for this product – s 994B(5)(b) | ||
1. Description of the likely objectives, financial situation and needs of consumers in the target market | Background Tiger Brokers (AU) Pty Limited (“TBAU”) is an online broker that provides financial product trading services to retail and wholesale clients. We are authorized and regulated by the Australian Securities and Investments Commission (ASIC), with license number 300767 and business office located at Suite 28.01, 25 Bligh Street Sydney, NSW 2000. TBAU does not employ any advisers or brokers who manage client accounts. Trades are entered by the client or the client’s self-selected financial representative on a personal computer or mobile device and transmitted over the internet to TBAU for execution on various market centers. All trades in TBAU client account are self-directed by the client. TBAU client service personnel are specifically prohibited from providing any investment or trading or tax advice to clients. The DDO aim to assist Clients to obtain appropriate financial products by requiring product issuers and distributors to have a consumer- centric approach to the design and distribution of financial products. If you are a retail client, you should refer to the relevant Product Disclosure Statement (PDS) before deciding whether to acquire or continue to hold the relevant product. You can get a copy of the relevant PDS from our website. You should not base any decision to trade solely on the contents of this TMD. Before deciding to open a trading account, you should read this TMD alongside the PDS and FSG. Target Market Clients who satisfy each of the following criteria: This FX product is suitable for clients who are engaging or proposing to engage in:
The categories above are not mutually exclusive. That said, the client can fall under one or all categories and it is sufficient for a client to fall within one of the categories above to be within the target market. Clients must also meet the following conditions:
Likely purposes and objectives Clients who satisfy the above criteria and wish to trade in spot FX contracts are likely for one or more of the following purposes:
Likely liquidity needs
Likely financial situations
Retail clients for whom our products are unsuitable Our products are generally unsuitable for the following classes of retail clients
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2. Description of spot FX contracts (including its key attributes) | Spot FX contracts have the following key attributes:
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3. Explanation of why spot FX contracts, including its key attributes, is likely to be consistent with the likely objectives, financial situation and needs of consumers in the target market |
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Conditions and restrictions relating to the distribution of this product – s 994B(5)(c) | ||
4. Outline of the conditions and restrictions relating to distribution of spot FX contracts |
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5. Explanation of why these distribution conditions and restrictions will make it more likely that the consumers who acquire the spot FX contracts are in the target market |
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Reviews | ||
6. Outline of the events and circumstances that would reasonably indicate to TBAU that the TMD for spot FX contracts is no longer appropriate (i.e. "review triggers" – s 994B(5)(d) | Review Triggers when:
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7. The period of time between the start of the day this TMD is made and the day that the first periodic review of the TMD will conclude – s 994B(5)(e) | The first periodic review of this TMD will occur in December 2022. | |
8. The period of time between the conclusion of a periodic review of the TMD and the start of the next periodic review – s 994B(5)(f) | TBAU will review the appropriateness of its target market on an annual basis | |
Reporting period for reporting information about the number of complaints about the product – s 994B(5)(g) | ||
9. The reporting period in which the distributors of TBAU's financial products are required to provide information about the number of complaints received about the product | TBAU will require that Distributors report information about the number and nature of complaints received about the product and whether any persons not in the target market were distributed TBAU issued spot FX contracts, within 10 business days after the end of each quarter. | |
Information Sharing | ||
10. Outline of the kinds of information that TBAU will require from distributors to promptly identify that the TMD for spot FX contracts is no longer appropriate – s 994B(5)(h) | Complaint: the number, nature, resolution and compensation of complaints about spot FX contracts Feedback: client feedback about the spot FX contract product and / or the target market Significant dealings:
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11. The distributors that will be required to provide the information specified above – s 994B(5)(h)(i) | TBAU will require all of the above data from all Distributors. No party may engage in the distribution of TBAU’s spot FX contracts unless they have entered into a service level agreement with us. | |
12. The reporting period for the relevant distributors to provide the information specified above – s 994B(5)(h)(ii) | Complaint: Quarterly Feedback: Quarterly Significant dealing: as soon as practicable and in any event within 10 business days after becoming aware. |