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

Leapfrog Investments

PRI reporting framework 2018

You are in Direct - Inclusive Finance » PIIF Principle 5: Transparency

PIIF Principle 5: Transparency

IFD 25. How mission and investment objectives are communicated to stakeholders (Private)


IFD 26. Investors and/or the public provided with information aligned with industry standards

Possible action:

Fully disclose policies, criteria and related conditions of products and services to investees and other relevant stakeholders.

26.1. Other than the PRI/PIIF, indicate if you provide your investors and/or the public with information aligned with industry standards.

26.2. Do you provide information aligned with:

          Global Impact Investing Rating System
        

26.3. Additional information. [Optional]


IFD 27. Transparency of pricing, terms and conditions among investees

Possible action:

Ensure that investees adequately disclose the pricing, terms and conditions of financial products and services offered, and that the pricing, terms and conditions are understood by clients.

27.1. Indicate if you encourage the retail institutions in which you invest to ensure that the following are transparent and fully explained to their clients (i.e. those seeking financial services from them) in a form they can understand.

Pricing

27.2. Indicate how you ensure this for pricing and provide examples.

Benchmarking of product price to competitors.  

Other terms and conditions

27.3. Indicate how you ensure this for other terms/conditions and provide examples.

LeapFrog pioneered a set of Client Protection Principles for Insurance, and aligns to the SMART Campaign Client Protection Principles for Microfinance for credit institutions.  We use an in-house Product Quality Index to assess policies and procedures in place that ensure client protection is upheld in all companies.  LeapFrog's Client Protection Principles for Insurance cover: transparency and pricing of terms, appropriate claims payment days, ethical staff behaviour, redress of greivances, and integrity of client data.  

27.4. Additional information. [Optional]


Top