Introduction: Why the Bi-Annual Report is Your Firm’s Report Card
For every Financial Services Provider (FSP) licensed in Seychelles—including Securities Dealers, VASPs, and Insurance firms—the Bi-Annual Report under Section 8 of the Financial Consumer Protection Act, 2022 (FCPA) is non-negotiable.
This is more than a routine filing; it is your firm’s comprehensive self-assessment on its commitment to treating customers fairly. The report mandates that you disclose your internal measures, policies, and, crucially, the concrete data on client disputes. For the regulator (FSA), this report offers a clear window into your firm’s operational integrity and consumer-centric culture.
Key Deadlines for Financial Services Providers
The FCPA mandates reporting every half-year, with the following fixed deadlines:

|
Reporting Period |
Deadline for Submission to FSA |
|
First Half of the Year (January 1 – June 30) |
July 15 |
|
Second Half of the Year (July 1 – December 31) |
January 15 (of the succeeding year) |

Failing to submit these reports on time exposes your firm to financial penalties and regulatory scrutiny, demonstrating a lack of commitment to consumer welfare.
The Four Pillars of the Bi-Annual Report (Section 8 Requirements)
Preparation begins by structuring your data collection around the four mandatory content areas specified in the FCPA.
Pillar 1: Consumer Protection Policies and Monitoring

This section requires a detailed description of the systems and controls you use to enforce fair treatment.
|
Content Requirement |
Preparation Checklist |
|
Policies Adopted |
Summarise key policies: Complaint Handling, Conflict of Interest, Unfair Practices, and Mandatory Disclosure policies. |
|
Monitoring Measures |
Describe the testing conducted by the Compliance Officer (CO) or internal audit. Example: Internal testing of website risk warnings, or sampling client files for signed disclosure forms. |
|
Governance Sign-Off |
Include a clear statement that the report has been reviewed and approved by the Board of Directors or an equivalent senior management body. |
Pillar 2: Financial Education Initiatives
The FSA expects FSPs to proactively help consumers understand the financial services and products being offered.
|
Content Requirement |
Preparation Checklist |
|
Activities Conducted |
List all educational initiatives during the reporting period. Example: Webinars on trading risks, production of educational blog posts on leverage, publishing client guides on platform safety. |
|
Target Audience |
Specify who was targeted (new clients, retail clients, etc.) and what media was used (email, blog, social media). |

Pillar 3: Consumer Dispute Data (The Critical Metrics)
This is the most sensitive section, requiring hard data from your Complaints Handling Unit. This data is reviewed by the FSA to spot potential systemic issues within your firm or the industry.
|
Content Requirement |
Preparation Checklist |
|
Quantitative Data |
Total number of complaints lodged; Type of complaint (e.g., pricing, execution, withdrawals, fees); Time taken for resolution. |
|
Qualitative Analysis |
Summarize the conclusion for each dispute category (e.g., justified, unjustified, resolved by goodwill payment). Highlight any systemic issues identified and the steps taken to permanently resolve them. |

Pillar 4: Oversight of Agents and Third Parties
If your firm relies on third parties (e.g., introducers, liquidity providers, or agents) to interact with consumers, you must report on your monitoring of them.
|
Content Requirement |
Preparation Checklist |
|
Agent Activity |
List agents or third parties acting on your behalf (e.g., call centres, marketing partners). |
|
Monitoring Activity |
Describe how you ensure these parties adhere to your consumer protection policies and the FCPA. Example: Periodic audits of agent websites, review of agent training materials, monitoring commission structures for unfair incentives. |

Proactive Preparation Checklist for Q4/H2 Reporting (Due January 15)
To avoid last-minute crises, follow this actionable timeline leading up to the January 15 deadline:

-
Start Now (October): Verify that all client complaint data (Pillar 3) from July 1 to September 30 is clean, categorized, and recorded in your central complaints register.
-
Early November: Finalize all educational activities (Pillar 2) for the year-end and compile evidence (screenshots, webinar attendance). Begin drafting the narrative sections for Pillars 1 and 4.
-
Mid-December: Collect the final three months of dispute data (Oct–Dec). Consolidate all four pillars into the final report structure.
-
Late December: Distribute the draft report to your internal Compliance Officer (CO) and Legal Counsel for final review and sign-off.
-
Early January: Obtain the Board Resolution formally approving the report. Submit the final document to the FSA well before the January 15 deadline.

By viewing the Bi-Annual Report as an ongoing, six-month project rather than a year-end task, your firm not only ensures compliance but actively demonstrates the strong governance that builds lasting client trust.





