Complaints Handling 

Complaints Handling Policy

MEXEM LIMITED (“the Company”) is an Investment Firm incorporated and registered under the laws of the Republic of Cyprus, with registration number HE 351726. The Company is authorized and regulated in Cyprus by the Cyprus Securities and Exchange Commission (hereinafter referred to as “CySec”) and subject to CySec rules, with CIF license number 325/17.  The Company does its utmost to ensure the privacy, confidentiality and security of its clients are preserved both throughout their interaction with the company and afterward, to the fullest extent achievable by the Company.

The Company provides intermediary services for Interactive Brokers. As per the Company’s terms and conditions, Interactive Brokers is a company duly incorporated under the laws of SEC with registration number 47257 and registered office One Pickwick Plaza, Greenwich, CT 06830 USA. Interactive Brokers is licensed by SEC with license number 47257. The services are offered through the website mexem.com (hereinafter referred to as “The Website|”). 

 

The complaints handling policy of the Company is to be performed by the Back Office/ Account Opening Department / Compliance Department[IS1]  in order for the contact with the client to be performed and the complaint to be resolved. However, the final approval shall be provided by the Compliance Officer and the ultimate responsibility lies with the Senior Management.

The procedure which is followed by the Company, when handling with clients’ complaints is the following:

The complaint would be received from a member of staff to the Back Office/ Account Opening Department. The employee receiving the complaint shall take the necessary actions so that the complaint is properly addressed.

The complaint in the form that has been received immediately (within the same working day or within the following, if this is received after the end of the business day), should be forwarded to the head of department, where the complaint is addressed.

The member of the Back Office/ Account Opening Department shall inform the client that he/ she is not responsible to deal with the complaint and that the complaint has been forwarded to the relevant department/ personnel, providing all details so that the client is aware who is dealing with his/ her complaint.

The member of staff, in addition to the above, should make all best efforts to ensure that in the case of the complaint being of such nature that can be resolved immediately, to do so that the client will not have to pursue the filling of a formal complaint. The member of staff in such case shall not:

i.   Commit him/ herself in any way to the client.

ii.  Address any issues in relation to best execution.

iii. Address any issues relating to legal issues

iv. Commit the Company in taking any action prior to examining the issues in a formal manner

 

Procedure to be followed when a complaint is received:

a.  When the written complaint is received, this shall be forwarded to the relevant department which is the most appropriate for dealing with the complaint.

b. The head of the relevant department shall contact the client to inform him/ her that the complaint has been received and it is under investigation. The complainant shall receive a unique reference number which can be used as a reference number in all future contact with the CIF, the Financial Ombudsman and/or the CySec regarding the specific complaint if this is not resolved accordingly.

 

c. Upon receiving a written complaint, the following details should be obtained and recorded:

 

·         The identification particulars of any client having made a complaint.

·         The Service provided by the Company and related to the complaint.

·         The employee responsible for the provision of those services.

·         The department where the employee belongs.

·         Date of receipt and registration of complaint.

·         Content of the complaint.

·         The capital and the value of the financial instruments which belong to the client.

·         Reference of any correspondent exchanged between the Company and the client.

 

d. The events leading to the complaint should be examined and assessed based on the information provided by the client.

e. The facts as stated by the client have been examined and verified whether any additional information, need to be retrieved from the Company’s archive (electronic mail, recorded telephone calls, IT data, etc).

f.  All complaints shall be brought to the attention of the Company’s Senior Management.

g. All complaints are to be handled within 5 (five) working days, provided that all relevant information and documentation have been provided to the relevant Department. In case any further information are required to be provided this timeframe might be extended accordingly but necessary notification to the client must be made.

h. Upon completion, the relevant person who has handled the complaint must inform the Company’s Senior Management, which will decide on the formal response to the client and the action to be taken.

In the case where a client complaint is valid, the management shall take such necessary action together with the Head of Department(s) to which the complaint is related in order to identify and verify:

  • Reasons for failure of procedure followed.

  • Weakness of the internal controls.

  • Implementation of internal controls that would prevent any complaint in the future.

All suggested procedures shall be approved by the Board of Directors at the meeting following the completion of the investigation.

In case of a complaint you are requested to send this in writing to the email info@mexem.com. The procedure as indicated above will follow.

Financial Ombudsman

The Cyprus Financial Ombudsman is the relevant regulatory body for the purpose of monetary disputes between clients and Cyprus incorporated firms dealing in monetary transactions. Any investor has an option to contact the Financial Ombudsman in case they are not satisfied with the final decision of the CIF as to a complaint they have made in relation to the Company. It should be taken into consideration that the Financial Ombudsman handles complaints that do not exceed the amount of one hundred and seventy thousand Euro (€ 170.000).

 

Concerned Clients may contact the Financial Ombudsman within 4 months after the Company has provided its final response to the Client regarding his complaint, or alternatively in case where the Company has not responded to the Client’s complaint, the Client may contact the Financial Ombudsman after 3 months have elapsed since the date of submitting his complaint to the Company.

 

The Financial Ombudsman contact details are as follows:

·         Address: 13 Lord Byron Avenue, 1096 Nicosia, Cyprus

·         Phone: 22848900 (main number)

·         Facsimile (Fax): 22660584, 22660118

·         E-mail: Complaints: complaints@financialombudsman.gov.cy

·         Financial Ombudsman: fin.ombudsman@financialombudsman.gov.cy

·         Website: www.financialombudsman.gov.cy

1st Arch. Kyprianou St. Loucaides Building, Limassol, 3036

+357-25030447

http://www.mexem.com is a website owned and operated by Mexem Ltd.

Mexem Ltd is a European broker regulated by CySEC, license No. 325/17

 

 

Risk Warning: Mexem supplies brokerage services with regards to various financial instruments, including stocks, options, futures, futures options, ETF's, warrants, structured products, SSF's, CFD's, bonds, funds indices All types of financial trading and investments, including such that are offered by Mexem, involve risks to the invested funds, and therefore require expertise, knowledge and understanding of risks, and may not be appropriate for all investors.

 

All types of financial trading and investments, including such that are offered by Mexem, involve risks to the invested funds, and therefore require expertise, knowledge and understanding of risks, and may not be appropriate for all investors.

 

Before making any decision regarding financial trading or investment, you should carefully consider your investment objectives, level of experience and risk tolerance, and it is highly recommended that you consult an independent financial advisor before making any such decision.

Mexem may from time to time provide general market reviews, classes and/or seminars on various subjects, which do not constitute investment advice. When doing so, Mexem does not consider your investment objectives, level of experience and risk tolerance, and such services should not be seen as investment advice or any kind of recommendation. You should further note that past performances do not constitute a reliable indicator of future results.

 

Any use of the Mexem website and all trades made through it are subject to our Terms and Conditions, including all annexes thereof, which you must read thoroughly before you start trading on the website.

Options involve risk and are not suitable for all investors. Before investing in options, read the "Characteristics and Risks of Standardized Options".

For a copy visit http://www.theocc.com/about/publications/character-risks.jsp. Before trading, clients must read the relevant risk disclosure statements on our Warnings and Disclosures page - http://www.interactivebrokers.com/disclosures. Trading on margin is only for sophisticated investors with high-risk tolerance. You may lose more than your initial investment. For additional information regarding margin loan rates, see http://www.interactivebrokers.com/interest. Security futures involve a high degree of risk and are not suitable for all investors. The amount you may lose may be greater than your initial investment. Before trading security futures, read the Security Futures Risk Disclosure Statement. For a copy visit http://www.interactivebrokers.com/disclosures. There is a substantial risk of loss in foreign exchange trading. The settlement date of foreign exchange trades can vary due to time zone differences and bank holidays. When trading across foreign exchange markets, this may necessitate borrowing funds to settle foreign exchange trades. The interest rate on borrowed funds must be considered when computing the cost of trades across multiple markets.

Interactive Brokers LLC” is a registered Broker-Dealer, Futures Commission Merchant and Forex Dealer Member, regulated by the U.S. Securities and Exchange Commission (SEC), the Commodity Futures Trading Commission (CFTC) and the National Futures Association (NFA), and is a member of the Financial Industry Regulatory Authority (FINRA) and several other self-regulatory organizations.  Interactive Brokers does not endorse or recommend any financial institutions or financial service providers, including brokers, introducing brokers, third-party financial advisors, or hedge funds.  Interactive Brokers provides execution and clearing services to customers.  None of the information contained herein constitutes a recommendation, offer, or solicitation of an offer by Interactive Brokers to buy, sell or hold any security, financial product or instrument or to engage in any specific investment strategy. Interactive Brokers makes no representation and assumes no liability to the accuracy or completeness of the information provided on this website

 

 

Do not use the above suggestions or advice for purchase &/or sale &/or possession of securities &/or financial assets of any kind. Whoever violates this instruction does so on his /her own and it is his /her sole responsibility. The information provided by e-mail does not purport to contain all the necessary information for any investor, It does not purport to be a complete analysis of all the facts and information contained in it and the views expressed in it are subject to change without further notice. The Company is not responsible for any damage and/or loss caused by the use of this information.

http://www.mexem.com is a website owned and operated by Mexem Ltd.

Mexem Ltd is a European broker regulated by the CySEC, license No. 325/17