In Focus: When things go wrong  

What the FCA is looking for in its retirement income advice review

  • Outline why the FCA is conducting a retirement income advice review
  • Explain what the regulator is looking for in its review
  • Describe what you can do to prepare for the FCA review
CPD
Approx.30min

A wide variety of approaches exist for areas such as risk-profiling, cash flow modelling, calculating sustainable withdrawal rates, and structuring income withdrawal strategies.

And while it is unrealistic to expect there to be single “solutions” that all companies should be following, the multiplicity of approaches and the differing rationale underpinning them will be on the regulator’s radar. 

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The FCA will also be keen to explore the extent to which companies are reliant on third-party tools and software to help them deliver their advice.

Again, this is no bad thing: it is positive that companies seek the support of expert providers to help them deliver more complex parts of the advice process.

But the regulator will want to check whether companies understand the tools they use, have satisfied themselves that the outputs are fit for purpose, and are taking account of any limitations when they integrate them within their advice processes. 

Potential for conflicts of interest

It is no coincidence that the FCA is kicking off its thematic review of retirement income advice at the point that its work on DB pension transfer advice nears completion. Part of this is practical: the regulator has limited resources for proactive work and so needs to plan accordingly.

But that is not the only area where its work on pension transfer advice is likely to have a bearing on the retirement income advice review.

The FCA has already noted the potential conflicts of interest from how some DB transfer advice companies charged for their advice and their ability to influence the nature, and the quality, of the advice given.

This led it to introduce a ban on contingent charging for pension transfer advice (except in very limited circumstances). Given this context, the FCA will be keen to explore whether there are similar risks for retirement income advice. 

The focus will be on whether the revenue companies generate from delivering ongoing services to clients has any impact on the suitability of the solutions they recommend.

This is a key issue for retirement income advice given the recommendation of certain products – such as annuities – are likely to exclude or reduce companies’ ability to levy an ongoing adviser charge. 

FCA data on the importance of ongoing services to advice companies will have informed this. Its evaluation of the Retail Distribution Review found that 90 per cent of new clients were placed in services that included ongoing advice, and its fee data shows that ongoing adviser charges make up around three-quarters of company revenue.