NLA-MKT-01-2025 — Market Conduct: Fair Disclosures & Client Communications
Circulars & Notices / NLA-MKT-01-2025
NLA CIRCULAR

Market Conduct — Fair Disclosures & Client Communications

This circular sets minimum expectations for clear disclosures, fair communications, promotions, conflicts management, and complaints signposting. Materials should be accurate, balanced, and consistent with license scope.

Circular no.
NLA-MKT-01-2025
Category
Market Conduct
Issue date
01 March 2025
Effective from
01 March 2025

1. Purpose

fair communications

The purpose of this circular is to establish baseline market conduct expectations for client-facing communications. Public materials should be fair, not misleading, and capable of being substantiated.

2. Core communication standards

minimum
  • Accuracy: claims must be factual, current, and supportable with evidence.
  • Balance: benefits must be accompanied by relevant risks and limitations.
  • Clarity: plain language, prominent risk notices, and avoid buried disclaimers.
  • Scope alignment: do not describe activities outside the licensed scope.
  • Consistency: website, brochures, emails, ads, and partner materials must not contradict each other.
Simple test: If an average client can misunderstand the claim in a way that benefits the firm, rewrite it.

3. Promotions and performance claims

marketing
Area Expectation Evidence / records
Returns Do not imply guaranteed profits or “risk-free” outcomes. Maintain substantiation files; avoid unverifiable screenshots.
Backtests Backtests must be labelled as hypothetical and include key assumptions. Store parameters, datasets, and method summaries.
Testimonials Do not present atypical outcomes as typical. Label paid endorsements. Retain consent records and payment disclosures.
Bonuses Bonus terms must be prominent, not hidden in fine print. Keep term versions and change logs.
Examples of high-risk wording

“Guaranteed payout”, “No risk”, “100% win rate”, “Authority approved profits”, “Officially protected funds” — these are typically misleading and should be avoided.

4. Conflicts and dealing model transparency

disclosure
  • Where the firm acts as principal / market maker, disclose conflicts and how they are managed.
  • Explain execution approach (agency vs principal) in a way clients can understand.
  • Disclose fees, spreads, commissions, and any material charges in a prominent location.

5. Complaints signposting

client protection

Licensees must provide clear signposting for complaints handling, including minimum response timelines and escalation routes.

  • Provide a dedicated complaints page/link in the footer and help sections.
  • Explain how clients submit complaints and what evidence is required.
  • Where NLA offers a public complaints interface, link to it clearly.
NLA link: Complaints can be submitted via the NLA portal where applicable. Use: /complaints.

6. Records & retention

evidence
  • Maintain a register of published marketing materials (date, channel, version, targeting).
  • Retain substantiation evidence for factual claims and comparisons.
  • Store approvals for high-impact campaigns and affiliate/introducer materials.

7. Cross-references

related