Lyxor's Conflicts of Interest Policy
The purpose of this document is to present the management procedure for conflicts of interest, which is implemented within Lyxor to prevent clients’ interests from being harmed through a conflict of interest.
Lyxor Asset Management, a fund management company and a 100% subsidiary of Societe Generale, observes the remuneration policy of the Société Générale group, which seeks to make remuneration an effective means for attracting and retaining employees who contribute to the company’s long-term performance while ensuring appropriate risk management and compliance on the part of all employees.
Lyxor's Best Execution Policy
The obligation for best execution constitutes a fundamental part of the MiFID. Lyxor complies with this obligation by the implementation of the present policy, which aims to obtain the best possible results for its clients in the execution of their orders in view of the different criteria mentioned hereafter. The present document is thus destined to inform clients of the measures which have been taken concerning the best execution of orders.
Lyxor's Voting Policy
In accordance with articles 319-21 and 321-132 of the AMF General Regulation, Lyxor has specified the rules governing the exercise of voting rights. The purpose of this document is to recall the General Regulation of the Autorité des Marchés Financiers (AMF – Financial Markets Authority) with regard to the exercise of voting rights and to present the policy for the exercise of voting rights applied by Lyxor Asset Management and Lyxor International Asset Management.
Lyxor's Personal Data Protection Policy
Complaint Management Policy