Delivering good outcomes for customers in vulnerable circumstances – good practice and areas for improvement

Good and poor practice Published: 07/03/2025 Last updated: 07/03/2025

See examples of good practice and areas for improvement to help your firm support customers in vulnerable circumstances.

1. Summary

In February 2021, we published FG21/1, 'Guidance for firms on the fair treatment of vulnerable customers' (the Guidance).

We introduced the Consumer Duty in July 2023, which raised standards, requiring firms to act to deliver good outcomes for all customers, including those in vulnerable circumstances.

Last year, we set out to evaluate firms’ treatment of customers in vulnerable circumstances. This report sets out our findings on good practice and areas for improvement.

We have also published our review of firms’ treatment of customers in vulnerable circumstances.

We are publishing this work as part of our ongoing commitment to share more information on how firms are embedding the Consumer Duty, so firms can learn from the good practice and areas for improvement we have seen.  

1.1. What we did

We gathered data and insight from firms and consumers and engaged with key stakeholders to explore firms’ treatment of customers in vulnerable circumstances. This included:  

  • Analysis of multiple-choice firm survey responses of 725 firms.
  • Multi-firm work on outcomes monitoring with 29 firms.
  • Multi-firm work into power of attorney and bereavement customer journeys with 7 retail banks and building societies.
  • Analysis of Financial Lives survey (FLS) data.
  • Consumer research with 1500 consumers.
  • Interviews with experts on vulnerability and financial services.

This report sets out examples of good practice and areas for improvement so that firms can learn how others are supporting customers in vulnerable circumstances under the guidance and the Consumer Duty.  

There is no one-size-fits-all approach. The approach that firms take will differ according to their business model, size and customer base. 

1.2. What we found

We have set out our findings against key expectations and requirements under the Consumer Duty:  

  • governance and outcomes monitoring
  • consumer support
  • consumer understanding
  • products and services

 

Areas of good practice

Areas for improvement

2. Governance and outcomes monitoring

2.1. Our requirements and expectations

Under the Consumer Duty, firms must:  

  • Monitor and regularly review the outcomes their customers are experiencing.  
  • Identify where customers or groups of customers are not getting good outcomes and understand why.  
  • Have processes in place to adapt and change products and services, or policies and practices, to address any risks or issues identified and stop them occurring in the future.  

Where a firm chooses to outsource elements of its consumer support to a third party, it should have systems and controls in place to monitor and provide assurance it is meeting regulatory obligations.  

Firms should act where they identify that any group of retail customers are receiving worse outcomes than another group for the same product.  

Under the Guidance, to measure and ensure that customers in vulnerable circumstances are receiving outcomes as good as those for other customers, firms should:  

  • Implement appropriate processes to evaluate where they have not met the needs of customers in vulnerable circumstances, so that they can make improvements.  
  • Produce and regularly review relevant management information on the outcomes they are delivering for customers in vulnerable circumstances.  
  • Ensure that firms they work with treat customers in vulnerable circumstances fairly, particularly where they rely on third party providers and outsourcers, through ongoing due diligence.  

Both the Guidance and the Consumer Duty provide examples of the types of management information (MI) firms could collect to monitor outcomes.  

2.2. Good practice

We saw that firms doing best at monitoring outcomes tend to:  

  • Clearly define a good outcome.  
  • Use good quality data to understand the outcomes of customers in vulnerable circumstances.
  • Have clear escalation processes to identify poor outcomes.  
  • Have strategies to make improvements.
  • Be able to show what they did where they identified poor outcomes and evaluate whether those actions are effective.
  • Have senior leadership that is engaged on outcomes for customers in vulnerable circumstances.  

Clearly define good outcomes  

Firms that could effectively monitor outcomes for customers in vulnerable circumstances tended to set out what a good outcome for a particular product or service looked like. This helped support and structure how firms monitor whether customers receive good outcomes.  

Use good quality data

Firms who collected relevant data to make evidence-based assessments of their customers’ experiences were better able to understand whether they were delivering good outcomes. They could then use this to inform their approach to improving outcomes.  

Escalate issues and act to improve outcomes

Some firms proactively reviewed customer experience and outcomes. Where outcomes monitoring tended to be better, firms acted where they saw poor outcomes, responding flexibly to customers’ circumstances.

Such firms escalated issues to senior leadership, adapted processes as needed, and evaluated the impact of their interventions.  

Senior leadership engagement

Some firms’ senior leaders set clear, consistent strategies across business lines, giving appropriate priority to the delivery of good outcomes for customers in vulnerable circumstances. Those leaders also engaged with key management information (MI) and decision-making.  

Our firm survey showed 79% of respondent firms said their senior leadership had active involvement such as reviewing governance arrangements, processes and systems. And 70% said their senior leadership was responsible for delivering good outcomes for customers in vulnerable circumstances. 

We saw that genuine engagement by senior leaders – rather than only in principle – improved the quality and cohesion of a firm’s approach to vulnerability, and the prominence of vulnerability in firm culture.  

2.3. Areas for improvement

While the Consumer Duty has focused firms on this area, most firms were unable to effectively monitor outcomes for customers in vulnerable circumstances. 

This aligns with findings in other work on Consumer Duty Board Reports and our multi-firm review of life insurers’ bereavement claims process.  

We saw the following as key areas for improvement:  

  • Lack of clarity on what firms consider to be good and poor outcomes.  
  • Poor quality or insufficient data preventing firms from effectively measuring customer outcomes, and how these differed for customers in vulnerable circumstances.  
  • Unclear and inconsistent approaches regarding when to act and what actions to take in response to poor outcomes for particular groups.  
  • Lack of engagement, challenge and direction from senior leaders.  

Clearly defining good outcomes and use of good quality data

Several of the larger firms we engaged with as part of our multi-firm work on outcomes monitoring – including some retail banks and building societies – were undergoing transformation programmes to improve their outcomes testing and monitoring. This is a positive step, but as they are still in progress, we could not assess the effectiveness of these improvements.  

What we have seen indicates that firms either find it challenging to monitor outcomes for customers in vulnerable circumstances, have underestimated the depth of monitoring required, or choose only to monitor readily available data. For example, data on whether staff have handled customer calls in line with the firm’s processes, which does not directly measure customer outcomes.  

Outcome definition  

Firms could not always show a clear understanding of the needs and characteristics of customers within their target market and a clear vision for what good looks like for customers with different or additional needs.  

Use of data  

In our multi-firm work on firms’ outcomes monitoring, we found firms often relied on data that lacked breadth and granularity. This limited their ability to compare and reach conclusions about outcomes of different groups of consumers.  

In our firm survey, respondent firms told us they frequently used MI on:

  • complaints data (79% of firms)
  • staff feedback (78% of firms)
  • quality assurance findings (64% of firms)

Far fewer respondent firms said they were using:

  • Customer feedback directly from customers in vulnerable circumstances (49% of firms).
  • Behavioural insights data (36% of firms).
  • Referral and take up rates of additional support (29% of firms).

These wider sources of data may help firms understand the experience of customers in vulnerable circumstances, including how they use products and the potential harms they face.  

In our multi-firm work, firms often monitored outputs of processes – such as call metrics, time taken to transfer funds (eg in bereavement cases) and staff training records. But this alone may not give a full understanding of the outcomes for customers in vulnerable circumstances.  

We also saw that firms had gaps in data from distributors and third parties in their distribution chains – or that this MI was less developed. This limited firms’ understanding of customer outcomes across the distribution chain.  

Escalating poor outcomes and acting to improve outcomes

Firms were not always able to demonstrate how they use data to identify areas for improvement and establish clear and effective escalation processes where poor outcomes are identified.

It was often hard to see when or how escalations would happen in response to poor outcomes for customers in vulnerable circumstances, due to unclear policies, processes and thresholds for taking action based on ongoing outcomes monitoring.

Acting to improve outcomes

Many firms pointed to actions they had taken to make improvements for customers in vulnerable circumstances. But we saw limited evidence of firms consistently reviewing the effectiveness of actions.

While firms evidenced interventions to improve individual customer outcomes, they often did not consider improvements across the whole product or service. 

Lack of engagement, challenge and direction from senior leaders

Our firm survey found that most respondent firms had established organisation-wide vulnerability policies. But only 39% of firms had formal governance bodies or committees that oversee and can influence outcomes for customers in vulnerable circumstances.  

We saw that firms with such mechanisms tended to have more effective approaches to measuring and responding to outcomes for customers in vulnerable circumstances. Such mechanisms tended to indicate the presence of more comprehensive and firm-wide vulnerability strategies.  

Firms may want to consider what forms of governance are appropriate for their size and business model. And, where they do put governance bodies and committees into place, they should consider how much impact these have on the fair treatment and outcomes of customers in vulnerable circumstances.  

Smaller firms in particular may not find committees or multi-layered approaches appropriate for their business. They may want to consider how else they can oversee and influence outcomes for customers in vulnerable circumstances within simpler business structures.  

2.4. Monitoring outcomes for customers in vulnerable circumstances

Where firms are struggling with outcomes monitoring, firms may wish to consider the example and prompts below to develop meaningful management information (MI) to monitor outcomes effectively.  


Example: consumer support for mortgage intermediaries

In this example, a mortgage intermediary clearly defines good customer outcomes, actions to achieve those outcomes, and monitoring to inform its approach.

  1. 1

    Define good customer outcomes

    • Identify a customer’s mortgage requirements and deliver a recommendation and application to support them in achieving their financial objectives.
    • Recommend the most suitable mortgage at the lowest possible cost available to the customer.
    • The customer gets a mortgage without unnecessary friction in the process.
    • The customer fully understands the mortgage product they are taking, the process they are undertaking and what is required of them.
  2. 2

    Identify actions to achieve good outcomes

    • Highly skilled and qualified advisers recommend products from a wide range of lenders.
    • Deliver advice directly to the customer to support consumer understanding.
    • Digital and telephone services are available to customers 7 days a week.
    • Systems support robust fact finding to identify the most appropriate products and services for the customer.
    • Customer experience team responds efficiently to customer queries.
    • Customers receive a full suitability report before applying for a mortgage.
    • Mortgage advice is fee free and does not impact the price paid by the customer.
    • Submit customer applications to the mortgage lender swiftly and accurately.
  3. 3

    Identify metrics to monitor outcomes

    • Quality control checks make sure advice is consistent and the correct product is recommended.
    • MI dashboards, which are reviewed at monthly and quarterly governance meetings, include:
      • Customer feedback.
      • Trustpilot scores and comments.
      • Complaints data and root cause analysis.
      • Review of supporting documents for mortgage applications.
      • Telephone call and appointment quality assurance (QA) data.
      • Post-application QA reviews focused on customers with characteristics of vulnerability and whether support needs have been met.
      • Consumer insight interviews.
      • Staff training and knowledge testing.
      • Data on application errors and process checks.
  4. 4

    Identify consumers experiencing poor outcomes

    • Have staff identified customers that have shown characteristics of vulnerability and discussed their support needs appropriately?
    • What percentage of customers’ applications proceed to completion; has this reduced?
    • Are customers taking out a product with the most competitive rate as interest rates fluctuate?
    • Does early customer journey feedback indicate trends in customer satisfaction?
    • Does negative customer feedback, customer complaints and root cause analysis indicate areas for improvement or feedback?
  5. 5

    Take action to continuously improve

    • Customer care manager gives feedback to relevant team managers, and frontline staff work with individual customers to resolve poor outcomes where required.
    • Proactively contact customers to ensure they are making use of the firm’s services, and that products they have applied for remain at the most competitive interest rate.
    • Put in place a booking system, so customers have choice and appropriate time for appointments.
  6. 6

    Evaluate actions taken

    • Has the percentage of completed customer applications increased?
    • Has early customer journey feedback improved since putting in place the appointment booking system?
    • Have overall customer satisfaction feedback and trends in customer complaints improved?

Prompts for all sectors: outcomes monitoring

Where firms are struggling to monitor outcomes for their customers in vulnerable circumstances, they may consider some of the below prompts to understand what 'good' looks like for customers and how to test this.

  1. 1

    Clearly define customer outcomes

    • What is the overall outcome the firm wants all customers to receive when taking out this product?
    • What are the identified needs, characteristics and objectives within the target market?
    • How will the firm ensure that customers with different needs and characteristics can receive the intended product outcome?
    • What does 'good' look like for customers with additional or different needs?
    • What does a good outcome look like at the different stages of the customer journey – for instance, pre-sale, post-sale?
  2. 2

    Identify actions to achieve these outcomes

    • What support do customers need to use the product?
    • What information do customers need to understand the product?
    • How does the support and information customers need differ for those with different needs or characteristics?
    • What actions does the firm need to take to provide this support and information?
    • What different or additional actions will the firm need to take, considering customers with different needs or characteristics? 
  3. 3

    Identify a suite of metrics to monitor outcomes

    • What data is needed to test whether:
      • We have met that need or objective?
      • Customers understand our product and/or communications?
      • Customers are getting the support they need, when they need it?
      • The distribution channels are ensuring products reach the intended target market?
    • Where part of this journey is outsourced, what data is needed to test whether this outcome is being delivered via the outsourced service provider?
    • What are reasonable trigger points for action?
  4. 4

    Identify consumers experiencing poor outcomes

    • Is the product being used as intended?
    • Is the product meeting customers’ financial objectives?
    • Is the intended target market taking up the product?
    • Are customers receiving the support they need?
  5. 5

    Investigate and where needed, take action

    • What is the driver(s) behind poor outcomes? Is it the product itself, communications around the product or the support provided?
    • Does this driver also impact other products and services, communications or customer service support?
    • What action is necessary to address the driver of poor outcomes?
    • Is remedial action necessary for customers who have experienced a poor outcome?
  6. 6

    Evaluate customer outcomes to test effectiveness of action

    • How should we monitor data to identify whether outcomes improve, for example how often to review data, who is responsible for this?

3. Consumer support

3.1. Our requirements and expectations

Under the Consumer Duty, the ‘consumer support’ outcome rules set overarching requirements about how to support customers.

Firms should read these with other rules that cover specific elements of customer service, such as our rules on dispute resolution: complaints (DISP).

Firms must:  

  • Design and deliver support that meets the needs of customers, including those with characteristics of vulnerability.  
  • Ensure that customers do not face unreasonable barriers during the lifecycle of a product or service.  
  • Include appropriate friction in customer journeys to mitigate the risk of harm and provide opportunities for customers to understand and assess their options.  
  • Monitor the quality of their support provision.  
  • Ensure they do not disadvantage particular groups of customers, including those with characteristics of vulnerability.

Under the Guidance, firms should:  

  • Ensure all relevant staff understand how their role affects the fair treatment of customers in vulnerable circumstances.  
  • Ensure frontline staff have the skills and capability to recognise and respond to a range of characteristics of vulnerability.  
  • Set up systems and processes in a way that will support and enable customers in vulnerable circumstances to disclose their needs.  
  • Put in place systems and processes that support the delivery of good customer service, including systems to note and retrieve information about a customer’s needs.  
  • Make customers aware of support available to them, including relevant options for third party representation and specialist support services.  

3.2. Good practice

We found that the firms that provided consumer support that effectively meets the needs of customers in vulnerable circumstances tend to:  

  • Take steps to identify signs of vulnerability and encourage customers to disclose their needs.  
  • Take a variety of actions to make sure staff have the appropriate skills and capabilities to recognise and respond to vulnerability. This includes empowering and supporting frontline staff and having clear processes to refer customers to specialist teams where appropriate.
  • Tailor consumer support to respond flexibly to customers’ identified needs.  

Identification and disclosure

In our multi-firm work on power of attorney (PoA) and bereavement customer journeys in retail banks and building societies, we found that most firms were taking steps to identify signs of vulnerability and encourage customers to disclose their needs.  

We saw several examples of good practice:  

  • Using centralised systems to store information about a customer’s circumstances or needs, which could be accessed by colleagues across almost all of a firm’s retail business areas. This meant customers did not have to repeat potentially sensitive information.  
  • Using artificial intelligence (AI) to help identify potential characteristics of vulnerability. 

Skills and capability of staff

Of the firms that responded to our survey, 88% reported taking full or strong action to make sure staff understand how their role affects customers in vulnerable circumstances, and to make sure frontline staff are trained to recognise and respond to vulnerability.

Through our multi-firm work on outcomes monitoring and our multi-firm work on PoA and bereavement customer journeys, we identified examples of good practice:

  • Providing internal guidance documents and process manuals for frontline staff on how they should respond to customers with particular characteristics of vulnerability.
  • Sharing materials created by charities or trade bodies with relevant staff and signposting the availability of third-party support to customers or customer representatives where appropriate.
  • Removing or adjusting performance targets related to call times and volume of cases for frontline staff dealing with customers in vulnerable circumstances.
  • Managing the wellbeing of staff who deal with customer trauma by allowing them to step away from call-handling if they have dealt with challenging calls.
  • Having specialist support teams to support customers with particularly complex needs. For example, some firms had a specialist team that handled all bereavement cases. This enabled staff to better understand and more effectively respond to the needs of customer representatives affected by bereavement.

Tailored consumer support

The positive experiences identified in our consumer research tended to come where firms provided tailored support that responded flexibly to customers’ needs. This included adapting standardised processes where appropriate to deliver good consumer outcomes.  

Our consumer research showed that most consumers who disclosed their circumstances to their provider reported a positive experience. Of those that disclosed their circumstances to their provider, 74% agreed that the provider asked the right questions following disclosure. 

3.3. Areas for improvement

In our review, we saw some firms failing to:

  • Take steps to identify signs of vulnerability and encourage customers to disclose their needs.  
  • Respond flexibly to customers’ needs and act with an appropriate level of care when engaging with customers in vulnerable circumstances.

Identification and disclosure

We found that taking steps to identify signs of vulnerability and encourage customers to disclose their needs was challenging for most firms. In particular, we saw this in firms that have primarily digital customer journeys. 

Our multi-firm work on outcomes monitoring highlighted that a small number of firms, predominantly in the wealth and asset management sector, had identified zero or very few customers in vulnerable circumstances. This is consistent with our 2023/24 Wealth Survey, which found that 24% of portfolio managers with retail clients and 49% of firms with stockbroking retail clients failed to identify any customers in vulnerable circumstances.

According to our consumer research, only:

  • 4 in 10 consumers with characteristics of vulnerability have disclosed their circumstances to any of their financial services providers.
  • 19% felt their provider encouraged them to do so. 

Consumers may choose not to disclose for different reasons but where relevant, firms should take active steps to encourage consumers to share information about their circumstances or needs.  

Where consumers did disclose, some reported having to do so repeatedly because their provider failed to make appropriate adjustments. 

In our multi-firm work on PoA and bereavement customer journeys, we found that call handlers in some firms were not using their firm’s systems to check the information recorded on a customer’s circumstances or needs. In some cases, this meant appropriate support was not provided, putting customers at risk of receiving poor outcomes.  

Failing to respond flexibly to customers’ needs and act with an appropriate level of care

In our multi-firm work on PoA and bereavement customer journeys, we saw some firms adhere rigidly to standardised processes for PoAs and fail to respond flexibly to customers’ or customer representatives’ needs. 

For example, in some instances, staff did not tailor their approach for acutely distressed representatives.

In other instances, inflexibility in processes led to staff making unsuitable suggestions or requests. For example, a customer was required to visit a branch to verify their identity when this was not feasible. This could leave some customers without access to bank accounts and vital funds.

We also found evidence indicating limitations in the skills and capability of frontline staff and in some firms’ systems capabilities.

In our consumer research, some consumers described feeling like their provider did not understand or empathise with their circumstances. Of the consumers who disclosed their circumstances:

  • 57% felt their provider cared.  
  • 58% said their provider made changes as a result.  

Some consumers were transferred to several call-handlers before receiving the support they needed. This made some consumers feel discouraged from disclosing their circumstances.  

4. Consumer understanding

4.1. Our rules and guidance

Under the Consumer Duty, firms must:

  • Ensure they support and enable consumers to make informed decisions about financial products and services.
  • Give consumers the information they need, at the right time, and presented in a way they can understand.
  • Develop an approach to testing communications which provides assurance that consumers can identify and understand the information needed to make effective decisions.
  • Ensure communications are likely to be understood by the firm’s intended customers.
  • Tailor communications to retail customers, considering their characteristics, including any characteristics of vulnerability.

Under the Guidance, firms should:  

  • Ensure all communications and information about products and services can be understood by consumers in their target market and customer base.
  • Consider how they communicate with consumers in vulnerable circumstances, thinking about their needs and, where possible, offer multiple channels so customers in vulnerable circumstances have a choice. 

4.2. Good practice

During this review, we saw that firms best supporting consumer understanding tend to:

  • Make sure communications are clear and written in plain English.
  • Communicate in a timely way.
  • Tailor communications to target markets / customer bases and offer channels that meet the particular needs of customers in vulnerable circumstances.
  • Test consumers’ understanding of communications and make changes where required. 

Make sure communications are clear and written in plain English

Most firms reported taking action to provide communications in plain English and minimise jargon. 

Some firms made written communications and information easier to understand by applying readability and plain numbers checks.

Communicate in a timely way

Timely communications are important to give consumers in vulnerable circumstances enough time to fully consider the information they need to make informed decisions at key points in the customer journey. 

Of the firms that reported taking significant action to improve communications, 90% said they had taken steps to provide communications in a timely manner and at appropriate touchpoints in the customer journey. 

Tailor communications to target markets

Our consumer research highlighted the importance of tailoring communications to the needs of consumers and avoiding one-size-fits-all approaches.

In our firm survey, many firms told us they provide tailored communications to their customers where necessary. This included enabling consumers in their target market and existing customers, including those in vulnerable circumstances, to access information through communication channels that met their needs. 

Consumer research respondents provided examples, such as:

  • Consumers with health conditions reported that some firms were able to adapt to their particular needs, including providing video calls with sign-language and enhanced mobile apps.
  • Some consumers who were digitally excluded provided positive examples of firms offering face-to-face visits / in-person communications and sending communications through the post. 

Test consumers’ understanding and make changes where needed

Firms that demonstrated best practice used consumer testing or third-party reviews to assess whether their communications met the needs of consumers in vulnerable circumstances. They used this insight to make changes.

They also periodically test their communications on an ongoing basis.

4.3. Areas for improvement

Although we saw some good practice in the areas specified above, we also saw areas for improvement:

  • Consistency in providing clear information.
  • Timeliness of communications.
  • Tailoring communications and offering appropriate channels to meet customers’ needs.
  • Testing and reviewing communications with consumers via feedback or insight-gathering. 

Consistency in providing clear information

Our consumer research found that consumers in vulnerable circumstances (15%) were more likely than others (13%) to report that they had failed to get the information they needed from firms. For consumers with a combination of poor health, negative life events and low resilience, this figure increased to 32%. 

Timeliness of communications

Our consumer research found that a greater proportion of customers in vulnerable circumstances (16%) reported a slow response to enquiries compared to other customers (11%). 

Timeliness can be subjective and customers’ expectations may vary. For example, where their circumstances create a heightened sense of urgency, such as when a customer needs to pay a bill. It’s important for firms to consider this in their approach to communications.

The consumer research found a number of negative outcomes were caused by firms not communicating in a timely way. These included consumers not being able to plan ahead and feelings of low self-worth.

These findings demonstrate the importance of timely communication to good consumer outcomes.  

Tailoring communications and offering appropriate channels to meet customers’ needs

In our consumer research, customers in vulnerable circumstances were less likely than others to say their financial service provider’s communication channels met their needs. This applied across all main drivers of vulnerability and was particularly pronounced for those who had low confidence in managing their money. 

Chart

Data table

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Chart showing the percentage of UK adults who find financial service provider’s communication channels met their needs, answering ‘excellent or good’.

In line with this, FLS 2024 found that 61% of customers in vulnerable circumstances felt there are suitable ways to contact their financial services provider, compared to 72% of other customers.

Further to this, consumers with multiple characteristics of vulnerability were more likely to have difficulty interacting with financial services providers. 

In FLS 2024, 51% of UK adults with 4 characteristics of vulnerability found dealing with customer services on the phone difficult and confusing specifically because of their health condition(s) or illness(es), compared to 16% of those with 2 characteristics, 7% of those with 1, and 3% of consumers with no characteristics of vulnerability.

Chart

Data table

Download

Chart showing the percentage of UK adults who find dealing with customer services on the phone confusing and difficult due to health condition(s) or illness(es), by number of vulnerabilities (2024).

These figures indicate that tailoring communications and providing a choice of channels might better meet consumers’ needs. However, firms were not always able to show how they did this. 

Areas for improvement included:

  • Overloading communications on specific products with generic information (for example, about all account options and tariffs).
  • Failing to provide useful guidance, such as signposting to information about product switching. 

Testing and reviewing communications with consumers via feedback or insight-gathering

Testing the relevance, clarity and timeliness of communications is likely to help firms to ensure consumers in vulnerable circumstances understand the information they need to make decisions in their best interests. 

Despite this, our firm survey found that consumer testing was a less commonly taken action.  

Where appropriate, firms must test their communications before sharing them with customers, to identify whether they are supporting good outcomes. They should also monitor their communications to check whether they are effective.  

If communications are found to be leading to poor consumer outcomes, firms should take remedial action and continue to monitor whether outcomes improve.

5. Products and services

5.1. What we expect

Under the Consumer Duty, firms must make sure the design of products: 

  • Meets the needs, characteristics and objectives of the target market.
  • Does not adversely affect groups of customers in their target market, including groups of customers with characteristics of vulnerability.
  • Avoids causing foreseeable harm in their target market.  

Under the guidance, firms should take customers in vulnerable circumstances into account at all stages of the product and service design process, to ensure products and services meet their needs. This includes:

  • idea generation
  • development
  • testing
  • launch
  • review

Firms should use their understanding of vulnerability within their target market and customer base to support their product and service design process, considering the potential positive and negative impacts of a product or service on customers in vulnerable circumstances.  

Firms should design products and services to avoid potential harmful impacts, as well as making sure products and services meet the needs of customers in vulnerable circumstances.  

They should ensure all relevant staff have the appropriate skills and capability, as well as support from appropriate systems and processes, to understand and take into account the needs of customers in vulnerable circumstances in their work. This includes product and service design staff. 

5.2. Good practice

Our review shows that firms are yet to make significant progress in product and services design. Firms should consider this as a focus area as they continue to embed the Consumer Duty.

We have seen some examples of good practice, including:  

  • Firms providing apps and features designed to block gambling transactions.
  • Product design teams engaging with third parties (eg charities for specific disabilities) with relevant knowledge when reviewing and designing products.
  • Firms embedding inclusive design principles into the product design process.
  • Insurers designing products to take account of customers’ pre-existing medical conditions.

It was positive to see some firms looking at how customers in vulnerable circumstances are using products, as part of product reviews.

5.3. Areas for improvement

We saw the following areas for improvement.

Training product and service design staff 

In our firm survey, we asked firms to tell us about the vulnerability-related training they have available for staff. 

Just over half (54%) of respondent firms who told us they have training in place for non-frontline staff answered that training or internal guidance for those staff included how vulnerability is relevant to their specific role and how to implement this in practice.  

This may indicate that product and service design staff rarely receive vulnerability training. When they do, it is likely to be insufficient to help them consider vulnerability in their role and processes.  

Designing products and services to meet the needs of customers in vulnerable circumstances

More than 85% of firms in retail markets that took part in our survey indicated they had taken significant action to consider the needs of customers in vulnerable circumstances throughout the product and service design process.  

But looking more closely at firms’ specific actions on key aspects of the Guidance, the numbers of firms taking action were low. For example, only 29% said they tested the impact a product or service has on customers with characteristics of vulnerability and whether the product meets the needs of such customers in their target market.  

Where we saw real examples – for instance, as part of our outcomes monitoring multi-firm work – they were often short on detail, providing little assurance that sufficient action had been taken.

The experiences reported by customers in vulnerable circumstances show they still struggle to find products and services that meet their needs.

Our consumer research suggested that certain groups of customers in vulnerable circumstances, compared to other customers, were less likely to agree that:

  •  It was easy to find financial services products and services that are suitable for them (49% of consumers with poor health and 33% of consumers with low capability agreed, compared to 75% of consumers not in vulnerable circumstances).
  • They understand which products are designed to meet their needs (56% of consumers with low financial resilience and 52% of consumers with poor health agreed, compared to 81% of consumers not in vulnerable circumstances).
  • They can take out financial services products that meet their needs (60% of consumers experiencing negative life events and 35% of customers with low capability agreed, compared to 80% of consumers not in vulnerable circumstances).