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Rhenman & Partners Asset Management

PRI reporting framework 2020

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.

01.6. Additional information [Optional].

          Rhenman & Partners is a small firm, with nine full-time employees. Thus, we do not yet have an ESG policy in place. In the coming year, we have the ambition to implement a firm-wide investment policy that covers our responsible investment approach.
        

SG 01 CC. Climate risk (Private)


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


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.

Rhenman & Partners have guidelines set out on how to manage potential conflicts of interests with regards to several different issues, such as selecting brokers, employees' private transactions with financial instruments, employees' business endeavours outside of Rhenman & Partners, etc.

The compliance officer is responsible for documenting and managing decisions (both internal and external) of arising and potential conflicts of interest and is moreover responsible for making sure that appropriate measures are implemented to deal with potential conflicts of interest. Moreover, the employees at Rhenman & Partners are regularly educated to keep up-to-date with the company's internal rules and regulations as regards conflicts of interests.

03.3. Additional information. [Optional]


SG 04. Identifying incidents occurring within portfolios (Private)


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