This report shows public data only. Is this your organisation? If so, login here to view your full report.

Drapac (Delisted)

PRI reporting framework 2017

You are in Strategy and Governance » Investment policy

Investment policy

SG 01. RI policy and coverage (Not Completed)

SG 02. Publicly available RI policy or guidance documents (Not Completed)

SG 03. Conflicts of interest

03.1. Indicate if your organisation has a policy on managing potential conflicts of interest in the investment process.

03.2. Describe your policy on managing potential conflicts of interest in the investment process.

Drapac Capital Partners demands full disclosure of any real or possible conflicts of interest and will not permit such conflicts to influence its management of its operations and the delivery of equitable outcomes for its investors. All Responsible Managers, staff and external service providers must make written declarations of any conflicts of interest upon appointment; or when a conflict of interest occurs after appointment. The Investment Manager is responsible for checking that conflicts of interest are adequately dealt with in a timely manner. Many conflicts of interest can be managed by a combination of internal controls and adequate disclosure. Where conflicts cannot be adequately managed through controls and disclosure, Drapac Capital Partners must either negate the conflict or refrain from providing the affected financial services. 

Drapac Capital Partners will regurlarly anylyse current and potential conflicts of interest to determine if it needs to change organisational practises and procedures. 

03.3. Additional information. [Optional]

SG 04. Identifying incidents occurring within portfolios (Private)