Sr.
No.
|
Service / Activity
|
Timeline
|
1
|
Opening of PMS account (including demat account) for residents.
|
7 days from receipt of all requisite documents from the client, subject to review of the documents for accuracy and completeness by portfolio manager and allied third party
service providers as may be applicable.
|
2
|
Opening of PMS account (including demat account) for non-individual clients.
|
14 days from receipt of all requisite documents from the client, subject to review of the documents for accuracy and completeness by portfolio manager and allied third party service providers as may be
applicable.
|
3
|
Opening of PMS account (including demat account, bank account and trading account) for non-resident clients.
|
14 days from receipt of all requisite documents from the client, subject to review of the documents for accuracy and completeness by portfolio manager and allied third party service providers as may be
applicable.
|
4
|
Registration of nominee in PMS account and demat account.
|
Registration of nominee should happen along with account opening, therefore turnaround time should be same as account opening
turnaround time.
|
5
|
Modification of nominee in PMS account and demat account.
|
10 days from receipt of requisite nominee modification form, subject to review of the documents for accuracy and completeness by portfolio manager and allied third party
service providers as may be applicable.
|
6
|
Uploading of PMS account in KRA and CKYC database.
|
10 days from date of account opening (Portfolio Manager may rely on the custodian
for updating the same).
|
7
|
Whether portfolio manager is registered with SEBI, then SEBI registration number.
|
At the time of client signing the agreement; this information should be a part of the account opening form and disclosure
document.
|
8
|
Disclosure about latest networth of portfolio manager and total AUM.
|
Disclosure of portfolio manager's total AUM - monthly to SEBI
Disclosure of latest networth should be done
in the disclosure document whenever there are any material changes.
|
9
|
Intimation of type of PMS account – discretionary.
|
At the time of client signing the agreement; this information should be a part of the
account opening form.
|
10
|
Intimation of type of PMS account - non discretionary.
|
At the time of client signing the agreement; this information should be a part of the account opening form.
|
11
|
Intimation to client what discretionary account entails and powers that can be exercised by portfolio manager.
|
At the time of client signing the agreement; this information should be a part of the account opening form.
|
12
|
Intimation to client what non- discretionary account entails and powers that can be
exercised by portfolio manager.
|
At the time of client signing the agreement; this information should be a part of the account opening form.
|
13
|
Copy of executed PMS
agreement sent to client.
|
Within 3 days of client request.
|
14
|
Frequency of disclosures of
available eligible funds.
|
All details regarding client portfolios should be
shared quarterly (point 26).
|
15
|
Issuance of funds and securities balance statements
held by client.
|
This data should be shared on a quarterly basis or upon client request.
|
16
|
Intimation of name and demat
account number of custodian for PMS account.
|
Within 3 days of PMS and demat account opening.
|
17
|
Conditions of termination of contract.
|
At the time of client signing the agreement; this information should be a part of the
account opening form.
|
18
|
Intimation regarding PMS fees
and modes of payment or frequency of deduction.
|
At the time of client signing the agreement;
this information should be a part of the account opening form.
|
19
|
POA taken copy providing to
client.
|
Within 3 days of client request.
|
20
|
Intimation to client about what
all transactions can portfolio manager do using PoA.
|
At the time of client signing the agreement;
this information should be a part of the account opening form.
|
21
|
Frequency of providing
audited reports to clients
|
Annual.
|
22
|
Explanation of risks involved in investment.
|
At the time of client signing the agreement; this information should be a part of the
account opening form.
|
23
|
Intimation of tenure of portfolio investments.
|
Indicative tenure should be disclosed at the time of client signing the agreement; this information should be a part of the account
opening form.
|
24
|
Intimation clearly providing restrictions imposed by the investor on portfolio manager.
|
Negative list of securities should be taken from the client at the time of client signing the agreement; this information should be a part
of the account opening form.
|
25
|
Intimation regarding settling of client funds and securities.
|
Settlement of funds and securities is done by the Custodian. The details of clients’ funds and securities should be sent to the clients in the prescribed format not later than on a
quarterly basis.
|
26
|
Frequency of intimation of
transactions undertaken in portfolio account.
|
Not later than on a quarterly basis or upon clients' request.
|
27
|
Intimation regarding conflict of interest in any transaction.
|
The portfolio manager should provide details of related party transactions and conflict of interest in the Disclosure Document which should be available on website of portfolio
manager at all times.
|
28
|
Timeline for providing disclosure document to investor.
|
The latest disclosure document should be provided to investors prior to account opening and the latest disclosure documents should be available on website of portfolio manager
at all times.
|
29
|
Intimation to investor about details of bank accounts where client funds are kept.
|
Within 3 days of PMS and demat account opening
|
30
|
Redressal of investor grievances.
|
Within 30 days, subject to all the information required to redress the complaint is provided
by the complainant to the portfolio manager
|