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STANLIB Asset Management Ltd

Late Submission

PRI reporting framework 2017

Export Public Responses

You are in Strategy and Governance » Investment policy

Investment policy

SG 01. RI policy and coverage

New selection options have been added to this indicator. Please review your prefilled responses carefully.

01.1. Indicate if you have an investment policy that covers your responsible investment approach.

01.2. Indicate the components/types and coverage of your policy.

Select all that apply

Policy components/types

Coverage by AUM

01.4. Indicate what norms you have used to develop your investment policy that covers your responsible investment approach.

01.6. Provide a brief description of the key elements, any variations or exceptions to your investment policy that covers your responsible investment approach. [Optional]


SG 02. Publicly available RI policy or guidance documents

New selection options have been added to this indicator. Please review your prefilled responses carefully.

02.1. Indicate which of your investment policy documents (if any) are publicly available. Provide a URL and an attachment of the document.

02.4. Additional information [Optional].


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.

STANLIB has a Conflict of Interest Policy in terms of Financial Advisors and Intermediary Services Act (Act No. 37 of 2002 – “the FAIS Act”) to address any conflict of Interest in the investment process. In terms of the FAIS Act SYANLIB must take all necessary steps to eliminate any practices and/or services that may create a conflict between their interests and the interests of an existing or potential client. In addition, the Code requires that where it is not possible to avoid any act, action or reward that may create a potential conflict of interest, appropriate steps must be taken to mitigate the impact and it must be appropriately disclosed to the client at the earliest reasonable opportunity. In addition, our internal Proxy Voting Policy also addresses conflict resolution.

03.3. Additional information. [Optional]


SG 04. Identifying incidents occurring within portfolios (Private)


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