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Showing 71 to 80 of 389 search results for rules and guidance in our Consumer Credit sourcebook.
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CP17/28: Financial Advice Market Review (FAMR): implementation Part II and insistent clients [pdf]
Consultation on proposed changes to our rules and guidance on assessing creditworthiness in consumer credit. -
CP19/28: Motor finance discretionary commission models and consumer credit commission disclosure [pdf]
This consultation paper (CP19/28) seeks views on FCA plans to address consumer harm in the motor finance market by banning commission models that can incentivise a broker (including motor dealers) to increase a customer’s interest rate. We are -
CP13/9: Quarterly Consultation Paper No. 2
make minor amendments to the rules on platform charges and draft rule and guidance clarifying the treatment of legacy business in relation to cash rebates from providers to consumers;. ... defer the date that rules around the provision of fund -
Market abuse
Behaviour such as insider dealing and market manipulation can amount to market abuse. Find out more about the safeguards firms must have in place. -
Credit cards (including retail revolving credit) and coronavirus: draft guidance and rules for firms
The FCA's guidance for firms on credit cards and retail revolving credit during the coronavirus situation. -
Coronavirus (Covid-19): Information for firms
Our expectations for firms during the coronavirus pandemic, and the measures we’ve put in place to make sure customers are protected. -
Information for newly authorised firms
As a newly authorised firm, learn about the systems you'll use and important things you need to know. -
Appointed representatives and consumer credit firms
Learn about when you can be an appointed representative (AR), or act as an agent, for a consumer credit firm. -
Consumer credit - Sales and advice
Learn about the information you need to give customers when selling your products, and assessing a customer’s creditworthiness. -
The Financial Conduct Authority’s Statement on Payment Protection Insurance (PPI)
This is redress that would not be paid under our existing rules and would thus be a direct financial consequence of our proposed rules and guidance. ... We will include our assessment of the costs and benefits of the proposed rules and guidance in our