The FCA will amend its Finalised Guidance for firms on how to calculate redress for unsuitable DB transfers in mid-March 2021 to reflect Government changes to the way that the Retail Prices Index (RPI) inflation measure is calculated from 2030.
In the November 2020 Spending Review, the Government announced changes to the way that the Retail Prices Index (RPI) inflation measure is calculated from February 2030. Our Finalised Guidance 17/9: Guidance for firms on how to calculate redress for unsuitable DB pension transfers refers to both the RPI and the Consumer Prices Index (CPI), an alternative inflation measure. The RPI change means that from February 2030 the -1% adjustment to the RPI assumption used in the guidance to calculate the CPI assumption will not reflect the assumed difference between the RPI and the CPI. It will be too large and some consumers may not receive the correct amount of redress. This will affect consumers who transfer out of DB pensions that are uprated annually in line with the CPI. We will therefore update the CPI adjustment in the guidance to ensure that these consumers continue to receive appropriate redress. We intend to update the CPI adjustment by mid-March 2021 and will do so without prior consultation. Consulting on this technical change would delay the correct amount of redress paid to consumers. We will backdate the change to 25 November 2020 and it applies to all calculations carried out from that date, as set out below. The actions set out below apply to calculations of pension transfer redress offers done in accordance with our guidance on or after 25 November 2020. For example, in relation to consumer complaints, reviews of past business by the firm, and complaints made to the Financial Ombudsman Service. They apply regardless of whether a redress offer has already been settled with a consumer, including on a ‘full and final settlement’ basis. If, after considering this statement, a firm believes that a calculation might have unduly disadvantaged a customer, they should revisit the calculation: Addressing unsuitable defined benefit (DB) transfers has been a key priority for us since the pension reforms, commonly known as the ‘pension freedoms’, were introduced in 2015. We published new rules and guidance for firms advising on DB transfers to improve the suitability of advice. We also take significant action where we consider that firms have not met the standards of advice and behaviour we expect when giving DB transfer advice. Find out more on our DB transfers webpage.What firms should do while we are updating the guidance
Our work on DB transfers
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UK Financial Conduct Authority: Retail Prices Index changes And DB Pension Transfer Redress
Date 03/03/2021