This page contains information on matters that Mercuria Investment Co., Ltd. should inform in connection with its business activities and the company's policies.
If you have any inquiries about the contents of this page, please contact Mercuria Investment Co., Ltd., directly.
Solicitation Policy
Mercuria Investment Co., Ltd. has prescribed its "Solicitation Policy" under Article 10 of the "Act on Sales of Financial Products" as follows.
We will observe laws and ordinances and our following Solicitation Policy in soliciting financial products.
- Matters to be considered in light of the knowledge, experience and financial situation of the person being solicited
・We will endeavor to solicit appropriate products in light of the customers' knowledge, experience, condition of property and purpose of transaction.
・We will endeavor to explain the important matters related to products and risks to customers in an easy-to-understand manner so that customers will have a thorough understanding of such products and risks. We will not engage in any inappropriate solicitation by making definitive claims or providing false information.
- Matters to be considered for those targeted by solicitations regarding solicitation policy and hours
・We will always place the highest priority on securing the trust of our customers, observe the Financial Instruments and Exchange Act and other applicable laws and ordinances as well as the various rules and regulations of the Investment Management Association of Japan and the Type II Financial Instruments Firms Association, and endeavor so that solicitation is performed appropriately.
・We will engage in phone or door-to-door solicitation in accordance with the schedule of customers, and will not engage in any solicitation during inconvenient hours.
- Other matters related to ensuring the appropriateness of solicitation
・We will observe the Financial Instruments and Exchange Act and other applicable laws and ordinances as well as the various rules and regulations of the Investment Management Association of Japan and the Type II Financial Instruments Firms Association, and endeavor to reinforce our internal control system so that solicitation is performed appropriately.
・In order to implement this Solicitation Policy and promote proper solicitation, we will offer sufficient training to our officers and employees so that they can acquire knowledge related to this Solicitation Policy and proper solicitation activities.
・We will endeavor to properly answer inquiries from customers related to our sales and solicitation activities.