Reset to Today

To access the FCA Handbook Archive choose a date between 1 January 2001 and 31 December 2004.

Content Options:

Content Options

View Options:


You are viewing the version of the document as on 2023-12-01.

Timeline guidance

Alternative versions

  1. Point in time
    2023-12-01

COCON 3.1 2General factors for assessing compliance

COCON 3.1.1GRP

Where descriptions of conduct are provided in this chapter which exemplify breaches of the rules in COCON, they are not intended to be an exhaustive list of the kind of conduct that may contravene the relevant rule.

COCON 3.1.2GRP

In assessing compliance with, or a breach of, a rule in COCON, the FCA will have regard to the context in which a course of conduct was undertaken, including:

  1. (1)

    the precise circumstances of the individual case;

  2. (2)

    the characteristics of the particular function performed by the individual in question; and

  3. (3)

    the behaviour expected in that function.

COCON 3.1.3GRP

Without prejudice to section 66A of the Act, a person will only be in breach of any of the rules in COCON where they are personally culpable. Personal culpability arises where:

  1. (1)

    a person's conduct was deliberate; or

  2. (2)

    the person's standard of conduct was below that which would be reasonable in all the circumstances.

COCON 3.1.4GRP

In determining whether or not the particular conduct of a person complies with the rules in COCON, factors the FCA would expect to take into account include:

  1. (1)

    whether that conduct relates to activities that are subject to other provisions of the Handbook;

  2. (2)

    whether that conduct is consistent with the requirements and standards of the regulatory system relevant to the person's firm.

COCON 3.1.5GRP

In determining whether or not the conduct of a senior conduct rules staff member complies with rules SC1 to SC4 in COCON, factors the FCA would expect to take into account include:

  1. (1)

    whether they exercised reasonable care when considering the information available to them;

  2. (2)

    whether they reached a reasonable conclusion upon which to act;

  3. (3)

    the nature, scale and complexity of the firm's business;

  4. (4)

    their role and responsibility as determined by reference to the relevant statement of responsibility;

  5. (5)

    the knowledge they had, or should have had, of regulatory concerns, if any, relating to their role and responsibilities.

COCON 3.1.6GRP

In assessing whether a senior conduct rules staff member may have breached a rule in COCON, the nature, scale and complexity of the business and the role and responsibility of the individual undertaking the activity in question within the firm will be relevant in assessing whether that person's conduct was reasonable. For example, the smaller and less complex the business, the less detailed and extensive the systems of control need to be.

COCON 3.1.7GRP

UK domestic firms with a premium listing1 are subject to the UK Corporate Governance Code, whose internal control Provisions1 are explained in the publication entitled ‘Guidance on Risk Management, Internal Control and Related Financial and Business Reporting (September 2014)’1 issued by the Financial Reporting Council. Therefore, firms in this category will be subject to that code, as well as to the rules in COCON. In forming an opinion as to whether a senior conduct rules staff member has complied with the rules in COCON, the FCA will give due credit if they followed corresponding Provisions1 in the UK Corporate Governance Code and related guidance.