2012-06-29 | FPR/DIR/GEN/EXP/01/002

Exposure Draft, Competency Framework for the Nigerian Banking Industry

An Approved Person (AP) performing a significant influence function, as outlined in the CBN's Approved Standard 6 and 7, is responsible for maintaining an environment of integrity within their company. This involves establishing and maintaining appropriate systems and controls to ensure regulatory compliance, overseeing and monitoring compliance with relevant requirements and standards, and ensuring that any breaches or suspected violations are investigated thoroughly and appropriately addressed. An AP must act diligently and responsibly in their role, taking all reasonable steps to identify potential issues and prevent them from escalating. This includes being aware of the systems and controls in place, regularly reviewing them, and making necessary improvements where required. It is also crucial for an AP to delegate responsibilities effectively, ensuring that those they delegate to possess the necessary competence, knowledge, skill, and time to handle the issue at hand requires a proactive approach, consistently assesses and adapts to changing regulatory environments.

Central Bank Of Nigeria

Financial Policy & Regulation Department Central Business District P.M.B. 0187 Garki, Abuja.

Tel: +234-9462-37402. E-mail: fprd@cbn.gov.ng FPR/DIR/GEN/EXP/01/002 June 26, 2012

Exposure Draft Competency Framework For The Nigerian Banking Industry

In line with the on-going banking sector reforms and as part of efforts to promote, standardize and sustain skills and competency development in the Nigerian banking industry, the Central Bank of Nigeria (CBN), in collaboration with the Bankers' Committee, has developed and hereby issues the attached draft competency framework for stakeholder comments/inputs. The draft framework can be accessed at the CBN website www.cbn.gov.ng All responses in soft copies should be mailed to knamugo@cbn.gov.ng or mcakuka@cbn.gov.ng within two weeks from the date of this circular. However, where the response is in hard copy, this should be sent to the Director, Financial Policy & Regulation Department, Central Bank of Nigeria, Head Office, Abuja.

CHRIS O. CHUKWU DIRECTOR, FINANCIAL POLICY & REGULATIONS DEPARTMENT June 12, 2012

1

CENTRAL BANK OF NIGERIA

DRAFT COMPETENCY FRAMEWORK FOR THE NIGERIAN BANKING INDUSTRY Banking Supervision Department/ Financial Policy & Regulation Department

Contents

1.0 Introduction 2.0 Objectives 3.0 Country Experiences 4.0 Banking Industry Job Families/Roles/ Controlled Functions 5.0 Approved Persons Database 6.0 Code of Practice for Approved Persons 7.0 Training and Certification 8.0 Accreditation of Training Service Providers 9.0 Role of the Other Relevant Stakeholders 10.0 Appendices

1.0 Introduction

The recent global financial crisis exposed the inadequacy of skills and dearth of executive capacity in the banking industry. The skill gap manifested in, among others: The lack of in-depth knowledge of core banking functions and poor understanding of basic banking operations; Poor understanding of banking regulations; Poor risk management and corporate governance practices; Knowledge gaps in financial markets and treasury management; Knowledge gaps in business development practices; and Poor relationship management techniques.

Reasons advanced for these inadequacies include the lack of: i. A coordinated industry-recognised training accreditation and certification system; and ii. Competency standards for practitioners in the industry.

From the foregoing, the development of staff competencies has become important in addressing these inadequacies, underscoring the need to train a new generation of banking professionals that is customer-centric, technologysavvy and flexible. With stability now restored to the Nigerian banking system following several measures and initiatives taken by the CBN under the on-going banking sector reforms, it is imperative that immediate steps be taken to consciously re-direct the banking industry towards the path of entrenching a sequenced competency development programme. The development of a competency framework for the Nigerian banking industry is predicated on the need for banks to accord high priority to the continuous enhancement of human capital and lifelong learning. This will imbue banking professionals with the requisite skills and expertise not only at the strategic and management levels, but also at the technical and operational levels. The availability of appropriately trained and competent human resources is a critical factor in supporting the effective performance of the banking industry. This, in essence, implies that continuous strengthening of intellectual resources and capabilities must be undertaken to create a pool of talented and high calibre professionals in the banking industry. The framework is expected to address the competency challenges in the banking industry, explore growth opportunities as well as critically facilitate improvement in the quality of the industry"s human capital. Under the framework, successful banks will be those that distinguish themselves by according high priority to continuous enhancement of human capital and lifelong learning. The proposed framework leverages on the practices in other jurisdictions such as Singapore, Hong Kong, Malaysia and Dubai which provide a useful guide and template for the Nigerian banking industry (See Appendix A for a review of country experiences).

2.0 Objectives Of The Framework

The objectives of the competency framework are to: i. Define the minimum knowledge, skills and competencies needed for operators and regulators to perform optimally on their various jobs/tasks.

ii. To standardize capacity and competency development with a view to nurturing and producing a knowledgeable, skilled and competent workforce for the Nigerian banking industry iii. To establish standard competency requirements for each job role to serve as a guide to Nigerian banks for their talent recruitment and development programs iv. To provide standards for training certification, evaluation and accreditation to ensure the provision of quality training in the Nigerian banking industry v. To serve as a guide to practitioners to plan their careers and on the skills and competencies they need to stay employable and competitive vi. Serve as a tool for banks to assess their overall human capital capabilities; vii. Identify competency gaps and develop required learning interventions to bridge identified gaps.

viii. Provide a basis for sustaining career development in the Nigerian banking industry.

3.0 Banking Industry Job Families/Roles/Controlled Functions

In this framework, jobs in the banking industry have been classified into job families, roles and controlled functions. For each class of banking (commercial, merchant or specialised), there exists generic job families. These are occupational groups or clusters of closely-related jobs that capture the essence of an underlying business function; while job roles capture the essence of what must be done and how it should be done to achieve the required level of performance. On the other hand, controlled functions are roles within a business that have a particular operational and/or regulatory significance. A function may be designated as a controlled function if an individual exerts significant influence on the conduct of the financial institution"s affairs, in relation to controlled activities. Controlled functions are further classified into Significant Influence Functions and Customer Functions.

3.1 Significant Influence Functions

Significant influence functions are those functions that materially impact on the activities of the financial institutions. These can be divided into the following sub-groups: i. Governing functions: These include entity significant influence roles such as Chairman, Managing Director, Deputy Managing Director, Executive Directors, Non-executive Directors, Independent Directors, ii. Regulatory functions: These include the Audit and Compliance functions.

iii. System and control functions: These include Finance, Risk, Internal Audit and Information Technology functions.

6 iv. Significant management functions: These include key management functions such as company secretariat, investment business, financial resources functions, Settlement and other key business operations functions.

v. Parent entity significant influence functions: This is applicable where a financial institution is a subsidiary and there are directors or employees of the parent company whose decisions or actions significantly impact the decisions of the board and management of the financial institution.

vi. Significant shareholders: These are investors with shareholding of 5% or more in the financial institution.

3.2 Customer Functions

These are functions that can influence customers" decisions on investments and service adoption. They apply to advisers who communicate with the customers or deal with their assets. They include: i. Specialized lending officers, ii. Ombudsman, iii. Branch managers, iv. Private banking adviser, and v. Customer service/contact centre managers vi. Retail advisory officers

CodeFunctionCategory
CFC0aSignificant parent entity functions
CFC0bSignificant shareholders
CFC1Chairman of the BoardSignificant
CFC2Chairman of Board Risk Committee
CFC 3Chairman of Audit committeeInfluence
CFC 4Chairman of Board Human Resource committeeFunction
7

Table 1: List of Controlled Functions

CFC 5Chief Executive Officer/Managing Director
CFC 6Deputy Managing Director
CFC 7Executive Directors
CFC 8Non-Executive Director
CFC 9Chief Risk Officer,
CFC 10Chief Financial Officer
CFC 11Chief Internal Auditor
CFC 12Chief Compliance Officer
CFC 13Senior Credit Risk Officer
CFC 14Senior Operational Risk Officer
CFC 15Senior Market Risk/ALM Officer
CFC 16IT Auditor
CFC 17Chief Information Officer
CFC 18Business Information Security Officer
CFC 19Company Secretary
CFC 20Treasurer
CFC 2121a.ChiefDealer/FinancialMarketsOfficer
21.b. Dealers
CFC 22Senior Corporate Finance Officer
CFC 23Chief Economist /Senior Economist
CFC 24Senior Lending Officer - RetailCustomer
CFC 25Senior Lending Officer - CorporateFunction
CFC 26Senior specialized Lending Officer
CFC 27Senior Agricultural Lending Officer
CFC 28Senior Operations Officer - Trade FinanceSignificant Influence
CFC 29Senior Operations Officer - Electronic Banking
CFC 30Senior Operations Officer (General)Function
CFC 31Ombudsman
CFC 32Customer Service/Contact Centre Manager
CFC 33Private Banking AdviserCustomer
CFC 34Branch ManagerFunction
CFC 35Retail Advisory Officer

Details of the banking industry job families\roles\functions and their minimum qualifications are provided in Appendix B.

4.0 Approved Persons Database

4.1 To ensure that only Fit and Proper persons man the different job roles and control functions within the banking industry, all persons for the position of Assistant General Manager and above as well as critical operational positions shall be approved for appointment in line with the Assessment Criteria for Approved Persons Regime issued and reviewed from time to time by the CBN.

4.2 In furtherance of this objective, a central database for approved persons shall be created and maintained at the CBN. All banks as reporting institutions shall update the database with details of approved persons and access it as part of their due diligence prior to the engagement and appointment of persons within the industry.

4.3 The Database Will:

i. Assign a unique identifier to each banking practitioner.

ii. Be accessed prior to the engagement or appointment of persons to board, top management or critical operational positions in the banking industry.

iii. Provide reference information to relevant stakeholders - regulators, employers, employees, auditors, business partners, etc - for the assessment of the continuous Fitness and Propriety of approved persons in the industry iv. Encourage transparency in the recruitment and appointment process.

4.4 Details in the database will include: Full Names - surname, other names Commonly known names/alias names Identification number - National ID, International passport, drivers" licence number Controlled functions currently being performed The institution"s reference number History of previous approvals for the individual Disciplinary history Career history Credit points garnered from attendance and certification at accredited training programmes.

5.0 Code Of Practice For Approved Persons

5.1 An approved person, performing a controlled function, must act with integrity, due skill, care and diligence. He/she must observe proper standards of market conduct and deal with regulators in an open and cooperative way, disclosing any information of which regulators would reasonably expect to be notified.

5.2 An approved person performing a significant influence function must: i. Take reasonable steps to ensure that the business of the financial institution for which he is responsible is organized so that it can be controlled effectively.

ii. Exercise due skill, care and diligence in managing the business of the financial institution for which he is responsible in his controlled function.

iii. Take reasonable steps to ensure that the business of the financial institution for which he is responsible complies with relevant laws, rules, guidelines and other regulatory requirements.

Details of the proposed code of practice for approved persons under this framework are provided in Appendix C.

6.0 Training And Certification

6.1 The framework seeks to ensure that persons engaged in the various job families/controlled functions have adequate skills and competencies to carry out the roles for which they have been certified.

6.2 There shall be structured generic and function or role-specific training and certification process that provides a reliable and objective assessment of an employee"s competence and ability to perform and meet the demands of a job consistently over time. Competencies and their related certifications will be based on job roles rather than job titles.

6.3 Training and certification will be provided by industry-recognized and/or accredited local and overseas training service providers. The minimum requirements for certification of each job role/control function are as indicated in Appendix B. 6.4 A training service provider could be any of the following: An individual A profit-oriented consultancy outfit or commercial entity A not-for-profit entity The training/learning centres of banks Relevant professional bodies A university, polytechnic or other relevant educational institutions of higher learning.

6.5 Banks are expected to put in place policies that ensure quality and equitable training for all their staff. In this regard, training programmes attended by bank personnel over a period will be evaluated on the basis of total credit points obtained within a given period of time.

6.6 To attain and maintain competency in a particular job role, the individual responsible for a controlled function is expected to accumulate a minimum number of predetermined credit points, through attendance at and successful completion of accredited training programmes.

6.7 The credit points for training programmes attended shall be awarded by designated accreditation agencies, taking into cognisance such factors as: Duration and coverage of the programme, The faculty of the programme, Quality and relevance of the programme, The pedigree of the training provider.

6.8 To ensure objectivity and credibility in accumulating the required credit points, not more than 25 per cent shall be obtainable through an institution"s in-house training programmes.

6.9 The number of relevant accredited training attended and credit points accumulated shall be one of the assessment criteria in determining the suitability of approved persons for specific job roles/functions. Consequently, banks shall be required to populate the Approved Persons Database with details of credit points earned by approved persons in their employ.

7.0 Accreditation Of Training Service Providers

7.1 The accreditation of a training service provider will be conducted by an industry-recognized accreditation agency. The agency will carry out extensive review and evaluation in order to ascertain if the provider has the competence to conduct the training programme(s) envisaged under the Framework.

7.2 An agency shall be designated as an accreditation agency, subject to meeting the qualifying criteria to be prescribed by the Bankers" Committee and approved by the CBN from time to time.

7.3 An accreditation agency could be any of the following: i. A recognized professional institute/body ii. A recognized educational institution of higher learning iii. A recognized training consultancy outfit iv. Other duly recognized body, institution or company.

7.4 The accreditation of training providers is a quality assurance mechanism to ensure that the training provider is qualified to provide the desired training and the programmes of the training provider meet the learning objectives and will impact the requisite knowledge, skills and competencies required for each job role.

7.5 The accreditation agency shall be responsible for accrediting training service providers. This will involve the endorsement of the training provider and its programmes based on an assessment of its curricula, competence, capacity, capability, faculty, resources, facilities, credibility, independence and integrity among other criteria, in carrying out specific training programme(s). The accreditation agency shall: Register training service providers Undertake an annual review of all training service providers and periodic review of their facilities for continuous quality assurance and relevance 7.6 There shall be two types of accreditation of training service providers, namely Solicited or Unsolicited.

7.7 Accreditation may not be solicited in respect of: well established and/or industry-recognized training and certification programmes offered by qualified and eligible training service providers under this framework.

A training service provider duly accredited by a competent accreditation agency in Nigeria.

7.8 In every other case, training service providers wishing to offer their services in the Nigerian banking industry shall solicit and be duly accredited by a competent accreditation agency under this framework. Where accreditation is solicited, the cost of accreditation shall be borne by the service provider.

8.0 Role Of Stakeholders

The following stakeholders are expected to play various roles under the framework:

I. Central Bank Of Nigeria

The CBN will provide supervisory oversight, monitoring and regulatory guidance to ensure banks" compliance with the framework. In addition, the CBN will perform the following roles: Coordinate the development of the Framework; Maintain the database of approved persons and financial institutions; Withdrawal of approvals where necessary; Application of sanctions for breaches by approved persons.

Ii. Nigeria Deposit Insurance Corporation

The Corporation will provide supervisory oversight in the implementation of the framework.

Iii. The Bankers' Committee

The Bankers" Committee would act as a coordinator alongside the CBN for the development and implementation of the framework.

Iv. Financial Institutions (Fis)

The financial institutions will provide specification of minimum competencies needed for each job role along with inputs for the specification of career paths, job descriptions and training curriculum needed for the development of the framework. Furthermore they are expected to: Comply with data protection requirements.

Update the database with details of training programmes and credit units obtained by each officer performing a controlled function.

Periodically review the requirements of each controlled function.

Financial institutions are expected to continually satisfy themselves that the persons performing controlled functions have the necessary qualifications, experience, competence and capacity to carry out their duties.

V. Financial Institutions Training Centre (Fitc)

FITC is expected to provide inputs for the specification of competencies for job roles, career paths, job descriptions, and training curriculum. It will also act as a major training service provider and accreditation agency under the Framework.

Vi. Chartered Institute Of Bankers Of Nigeria (Cibn)

CIBN is expected to provide inputs for the specification of minimum competencies for job roles, career paths, job descriptions, and training curriculum. It will also issue ethical and professional guidance as wells as monitor the conduct of its members. It will also act as an accreditation agency and monitor the performance of the accredited training services providers.

Vii. Other Professional Bodies

These include professional bodies such as the Institute of Chartered Accountants of Nigeria (ICAN), Risk Management Association of Nigeria (RIMAN), Committee of Compliance Officers of Banks in Nigeria (COCOBIN), etc. They will also issue ethical and professional guidance and monitor the conduct of their members. They are also expected to develop training curricula and provide professional and other relevant training to their members and practitioners in the banking industry.

Viii. Accreditation Agencies

The accreditation agency will be responsible for registering and accrediting training service providers in the industry.

Ix. Training Service Providers

These are entities accredited to provide training services under the framework. These include professional bodies, educational institutions and other entities that are expected to design appropriate curricula oriented to the talent and skills needs of the Nigerian banking industry.

Country Experiences

To leverage international best practices and benefit from the experience of other countries, we reviewed the competency framework of the following jurisdictions:

A. Hong Kong

In 2008 Hong Kong established the Qualifications Framework (QF), which defined the standards for different qualifications. The framework was to help Hong Kong set clear goals and directions for continuous learning in order to obtain quality-assured qualifications. The QF applies to all sectors in the country; however, each industry (including the banking sub-sector) established an Industry Training Advisory Committee (ITAC) that developed the industry "specification of competency standards" (SCSs). Upon the acceptance of the SCSs by the industry, accredited training providers developed appropriate training programmes. The QF was designed to enhance the overall quality and competitiveness of the local workforce. The QF is set up as a hierarchy of qualifications encompassing seven levels. Each level is characterized by outcome-based generic descriptors, which describe the common features of qualifications at the same level. The generic level descriptors describe the requirements of each level in four aspects: "knowledge and Intellectual Skills", "Processes", "Application, Autonomy and Accountability" and "Communications, IT and Numeracy". The training programmes developed by training providers are only recognised under the QF if they are quality-assured by the Hong Kong Council for Accreditation of Academic and Vocational Qualifications. The Hong Kong Government subsidises QF programmes through the Qualifications Framework Support Scheme (QFSS), which was launched to assist and encourage educational and training providers in seeking accreditation of their programmes as well as registration of the programmes in the Qualifications Register. QFSS are time-bound and nonrecurrent financial assistance schemes approved by the Finance Committee of the Legislative Council.

B. Singapore

The Financial Industry Competency Standards (FICS) Framework, a comprehensive quality assurance framework with a certification and accreditation system that aims at raising the quality of the financial workforce and training providers, was set up in Singapore. The FICS comprises a set of standards with associated curriculum guide that relates to the competencies required for practitioners in specific job roles. The FICS framework encompasses job families across all functional and business areas, including Compliance, Corporate Banking, Corporate Finance, Financial Markets, Fund Management, General Insurance, Life Insurance, Private Equity, Risk Management, Securities & Futures and Wealth Management. The Framework covers the whole of Singapore"s financial system - banking, insurance, pension, and the capital market.

The FICS was developed by the industry, for the industry with the support of leading financial institutions and industry associations, the Monetary Authority of Singapore and the Singapore Workforce Development Agency. It is aligned with the structure and requirements of the Singapore Workforce Skills Qualifications (WSQ) system and recognised as the basis for WSQ awards for the financial services industry. Generally, the Singapore Financial Sector Development Fund refunds 70% of the cost of training and assessment. The Institute of Banking and Finance (IBF), which developed the Framework, is the national accreditation and certification agency for financial competency under the FICS. The FICS certification is an industryendorsed quality mark that distinguishes a certified practitioner from others in the same occupation. Apart from recognising a practitioner's professional competence and capacity to undertake a specific occupation, the certification also signifies the practitioner's commitment to adhere to the relevant code of ethics and rules of professional conduct. The IBF maintains a database of all certified practitioners in the Singaporean financial system.

C. Dubai

The Dubai Model was aimed at evolving strategies for developing human capital for the financial sector. A two-layered approach was adopted for developing human capital in the financial services industry, on the one hand, and the educational system, on the other. Strategies for developing human capital for the financial services industry included: Establishment of the Human Resources Development Award to encourage banks to invest in human capital development Implementation of an "Emiratisation" policy to give preference to the citizens of the emirates working in financial institutions Establishment of an inter-agency committee to identify and address skill gaps in financial institutions Setting up of an Office of Financial Education to stimulate mass financial education Strategies to enhance the development of the educational system included: Establishment of a body to match the real needs of employers to qualifications of UAE nationals seeking employment by aligning the educational curricula to provide skills required by employers Placing emphasis on vocational education to boost human capital development through the establishment of vocational centres by government.

S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies
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S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies
and future risk strategyonalSkills
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InfluenceFunctionAuditoftheAuditunderstanding of auditSkills/Influencing skillsequivalentinanyAccounting or Audit
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which identifies high level control issues of Group Level significance that require or are subject to remedial action and ensures that the Committee considers whether necessary actions are being taken to remedy any24
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies
significant failings or weaknesses. The chairman presides at meetings of the Committee and ensure that the work of the Committee is performed in an efficient and timely manner.
4SignificantGoverningChairman ofTo lead the Human* knowledgeable about*GeneralleadershipA first degree or its12yearspost
InfluenceFunctionBoard HumanresourceCommitteecurrent best practice inSkills/Influencing skillsequivalentinanyqualification
FunctionsResourceindevelopingandHRpoliciesand*Teambuilding/discipline.experience.
committeeimplementinghumanexecutive recruitmentconflictmanagement5 years experience in
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andpracticesthatexecutive*PeopleSkills
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andwhichtherebyimportance of aligningtakingownership
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S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies
5SignificantGoverningChiefResponsible for the*Knowledgeand*General managerial/A first degree or itsMinimum of 15 years
InfluenceFunctionExecutiveconduct of the wholeunderstanding of theadministrationequivalentinanypostgraduation
FunctionsOfficer/Managof the business of theNigerianbanking*Teambuilding/discipline.experiencewithat
ing Directorcompany under themarket.conflictmanagementleast 10 years in the
immediate authority of*Strongstrategic*Coaching/RelevanthigherBankingSector.
theBoard.orientationLeadership/degreesand
*ExcellentcustomerInfluencingprofessionalA minimum of 8 years
To develop strategiesrelationship*Organizationandcertificationsmust have been spent
that enable the bank todevelopment/managecoordinationskillse,g ACIBat senior management
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objectives and to co*Goodnegotiation,*InitiativeforBusiness
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control current to longconflictresolutiontakingownershipCustomer relationship
term development of*Creativeand*AnalyticalSkills/Managementor
marketpenetrationinnovativeProblemsolvingCustomerService
strategieswhile*Knowledgeand*Selfmanagement
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exceeding customer'scommercialfinancialonalSkills
requirement as well asproducts*AdvancedCredit
maximizing profit and*GoodproductSkills
minimizing cost anddevelopmentand
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To carry out the day*Visibility ofmarket
to-day running of therelevance&
company; guiding thenetworkingability
developmentand* Knowledge of risk
growth of the companymanagement
andacting as the
company'sleading26
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies
representative in its dealings with its stakeholders.
6SignificantGoverningDeputyResponsible for the*Knowledgeand*General managerial/A first degree or itsMinimum of 15 years
InfluenceFunctionManagingconduct of significantunderstanding of theadministrationequivalentinanypostgraduation
FunctionsDirectoraspect of the businessNigerianbanking*Teambuilding/discipline.experiencewithat
of the company undermarketconflictmanagementRelevanthigherleast 10 years in the
the supervision of the*Strongstrategic*Coaching/degreeandBankingSector
CEO. In the absenceorientationLeadership/professional
of the CEO, he takes*ExcellentcustomerInfluencingcertificationsA minimum of 8 years
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roles withapproveddevelopment/managecoordinationskillsat senior management
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*Goodnegotiation,*Initiativeforbusiness
problem-solvingand*Entrepreneurship/developmentand
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innovativeProblemsolving
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understandingofManagement/Interpers
commercialfinancialonalSkills
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*GoodproductSkills
developmentand
portfolio management capabilities *Visibility of market relevance & networking ability
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies
7SignificantGoverningExecutiveResponsiblefor*Knowledgeand*General managerial/A first degree or itsMinimum of 15 years
InfluenceFunctionDirectorsmakingandunderstanding of theadministrationequivalentinanypostqualification
FunctionsimplementingNigerianbanking*Teambuilding/discipline.experienceat least
operational decisionsmarket.conflictmanagementRelevantpost10yearsinthe
andrunningthe*knowledgeablein*Coaching/graduate/professionalBankingSector.A
Group's business on arelevant areas of theLeadership/certificationsminimum of 8 years
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individualexecutiveproblem-solvingandSkills
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products *Goodproduct
developmentand
portfolio management 28
-------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
TypeSkillsand
Competencies capabilities *Visibility ofmarket
relevance&
networking ability
8SignificantGoverningNon*constructively* broad experience,*General managerial/A first degree or itsMinimum of 12 years
InfluenceFunctionExecutivechallengeandintegrity and credibility.administrationequivalentinanypostgraduation
FunctionsDirectorcontributetothe*Provenskillsand*Teambuilding/discipline.
developmentofcompetencies in theirconflictmanagement
strategy.fields;*Coaching/Membershipof
*scrutinisethe*KnowledgeoftheLeadership/Institute of Directors
performanceofoperationsofInfluencing
managementinbanks/discount houses*Organizationand
meeting agreed goalsand relevant laws andcoordinationskills
andobjectivesandregulations guiding the*PeopleSkills
monitoring, and wherefinancialservices*Initiative
necessaryremoving,industry;*Entrepreneurship/
seniormanagement*Abilitytomaketakingownership
andinsuccessionmeaningful*AnalyticalSkills/
planningcontributions to boardProblemsolving
* satisfy themselvesdeliberations;*Self
thatfinancialManagement/Interpers
information is accurateonal Skills
andthatfinancial
controls and systems of risk management are robust and defensible. * determining appropriate levels of remuneration of29
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies
executivedirectors
and have a prime role in appointing, and where necessary removing, senior management and in succession planning. * bring independent judgment as well as necessary scrutiny to the proposals and actions of the Management and executive directors especially on issues of strategy, resources, performance evaluation and key appointments and standards of conduct.
9SignificantRegulatoryChiefToimplement* Banking Operations (*Excellent* A first degree or itsMinimum of 8 years
InfluenceRequiredCompliancemeasures that wouldDomestic&interpersonalskills,equivalentinanypostqualification
FunctionsFunctionOfficerensure the adherenceInternationalwith the confidence todiscipline.experience inRisk/
toappropriateOperations)approach people at all*RecognisedControlfunctions
compliance framework*Accountinglevelsofseniorityprofessionalwithin the Financial
and procedures so as* Credit Analysis /*Anenquiringcertification such asServices Industry
to minimize loss fromAppraisalanalyticalmindsetCFA,CIS,ACCA,
non-compliancewith*Environmental/*MethodicalandACA,CFP,CFE,
thepolicies&IndustryAnalysissystematicinworkACAMS,IT
procedures* Risk ManagementapproachCertifications, etc
30
-------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
TypeSkillsand
Competencies * Operationalrisk*Excellentreport
Responsiblefor* Investment / Portfoliowritingskills
ensuring the rules andManagement* Articulate, confident
principles set by the* Assets & Liabilitiescommunicatorand
CBNandotherManagementpresenter
regulators are being* Financial analysis /*Assertiveand
adhered to, under theinterpretationpersuasive§Self
guidanceofthe*TQMmotivated with good
organisation'ssenior* Documentationteamworkskills*
managementteamAttentiontodetail
and the Board.* Knowledge of the legal and regulatory framework and the regulatory environment
10SignificantSignificantCompanyTomanagethe*Knowledgeand*StrategicFocus/A first degree
InfluenceManagemeSecretarycompanysecretariatunderstandingofOrientationProfessionalpostgraduation
Functionsnt Functionandensurebankingoperations*IntegrityandCertifications -ACA,experience within the
compliancewith(international&DiscretionACCA,orACSFinancialServices
Bank'sruleanddomestic)*Initiative/ProactiveIndustry with at least
regulation and prevent*Legalfinancial*EntrepreneurshipDegree in Law and BL4yearsatsenior
reputationalriskplanning*Analyticalskills/for those acting asmanagement level
amongtheBank's*GoodpolicyProblemsolvingLegal Advisers.
stakeholdersdevelopmentand*Resilience,Tenacity
managementandIntegrity
ToProvidelegalcapabilities*Interpersonalskills
counsel and support to* Legal documentation*Communication (oral
the Bank as it relates*LegalAdvice&written)
to contracts, litigation*Litigation*General managerial/
and dispute resolution,*Regulatoryadministration
31
----------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
TypeSkillsand
Competencies
credit and employmentKnowledge*Leadership/influencin
issues.*Corporateg
Governance*Organizationand
*Compliancecoordinationskills
Monitoring*Coaching and people
*BankingIndustrymanagement
Knowledge*Conflict management
* Financial Industry Knowledge * Knowledge and understanding of Financial Regulations (Domestic & International) * Knowledge and understanding of Risk Management and Financial Standards (Domestic & International)
11SignificantSignificantTreasurerTo effectively manage- Excellent numerate-InitiativeA first degree in anyMinimum of 15 years
InfluenceManagemethe liquidity of theskills-Entrepreneurship/disciplineandpostgraduation
Functionsnt FunctionBank in a bid to-KnowledgeandtakingownershipRelevant professionalexperienceoutof
actualizetheunderstanding of the-AnalyticalSkills/certifications e.g ACI,which 10 years must
objectives of the BanklocalandglobalProblemsolvingor Treasury Dealershiphave been spent in
while complying withfinancialmarkets- Self-ManagementCertificatetreasuryrelated
allregulatory- Excellent customerfunction.
requirements.relationship
-Developanddevelopment/
implement all policiesmanagement 32
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies
as they relate to the- Good negotiation and
Treasuryfunctionsocialskills
-Co-ordinatethe-Creativeand
Assets and Liabilityinnovative
Committee of the Bank-Knowledgeand
- Ensure complianceunderstanding of the
with regulatory andBanks'products
internalratiosand- Good knowledge of
limits as they relate toproduct development
all Treasury products-Excellent
andtheBank'srelationships with the
balancesheet.regulatory authorities
- Oversee the trading desks in the development and implementation of strategies and products to meet the Bank's trading budgets.(FX, Securities, etc..)
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies
12SignificantSignificantChief§ Monitoring market§ Broad knowledgeArticulate,clearA first degree andMinimum of 12 years
InfluenceManagemeDealer/Financperformanceabout securities andcommunicatorrelevantprofessionalpostqualification
Functionsnt FunctionialMarkets§ Monitoring incomingequities markets and§ Strong client servicecertifications such asexperienceoutof
officerelectronictradeservices, with detailedethicACIorTreasurywhich 8 years have
instructionsknowledge relating to§ Excellent IT andDealership Certificate.been spent in treasury
§Processingorthe specific area younumeracyskillsrelatedfunction.
Dealersexecuting trades asaretradingin§ Driven to work in a
per client instructions,§ Specialist knowledgeteam settingMinimum of two years
either by telephone orrelatingtospecifictreasuryexperience
onlinesecuritiesproducts,for dealers.
§ Analysing researchsuch as derivatives,
compiledbybonds and funds, and
investment analysts tosecondarytrading
identifymarketmarkets
opportunities- Quick thinking and
§Advisingfund/abilitytoperform
investment managersunderpressure
and stockbrokers on§Accurateand
significant changes inexcellent attention to
marketanddetail
recommending buy /§ Swift reactions to
sellactionschangingmarket
§ Deciding on theconditions
products to buy and§Goodanalytical
sell,usingcarefulskills, with the ability to
judgementanddigest and summarise
research to try andmultiplesourcesof
predicthowtheinformation
markets are likely to§Accountablefor
moveactions and decisions 34
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies
§Purchasingnew§ Resilient and ability
shareissuesto operate in a lively,
§ Preparing reports tofast-paced
summarisetradingenvironment
activities§Self-confident
§ Ensuring details of§ Discrete and ethical
anyproblemsor§Well-organised
delays in processing§Outstanding
instructionsarebusiness
reported promptly tocommunicationand
the relevant authorityinterpersonalskills
§ Regularly monitoring§
global economic and political developments that can affect prices § Constantly networking to maintain strong relationships with analysts, investment managers and brokers § Compliance with legal requirements, industry regulations, organisational policies and professional code
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies
13SignificantSignificantSenior*To provide innovative*Strongbusiness*Leadership/* A firstdegree inMinimum of 10 years
InfluenceManagemeCorporatefinancial solutions toorigination and dealSupervisoryrelevantdiscipline.experience in a bank
Functionsnt FunctionFinancethe bank's corporateexecutionskills.*Teambuilding/*Relevantorotherfinancial
Officerclientsincluding*Excellentproductconflictmanagementprofessionalinstitution , witha
medium to long termmanagement*Organization&certificationsinminimum of 5 years in
financing solutions*ExcellentcustomercoordinationAccounting,BankingCorporateFinance
relationship*General managerial /or Finance e.g CFAfunction
development/manageadministration
ment*Interpersonalskills
*FinancialMarkets*Computer
Knowledgeappreciation/data
*Fin.entry(word
Analysis./Businessprocessing/spreadshe
accountabilityet/graphics)
*Results/Action*Communication (oral
Orientation& written)
*PresentationSkills
*Abilitytomanage
multipletasks
*Superiorproduct
knowledge *Fin. Planning/Budgeting & Forecasting
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies
14SignificantSignificantChiefAdviseManagement* Quantitative analysis*StrategicFocus/MastersdegreeinMinimum of 10 years
InfluenceManagemeEconomist oron economic issues.andmodellingOrientationEconomics or relatedpostqualification
Functionsnt FunctionSeniorForecasteconomic* Sound and detailed*Integrityanddiscipline.relevantexperience
Economistand financial indicatorsknowledge of tradingDiscretionwith at least 5 years at
and provide outlook/dynamics, quantitative* Initiative/ Proactivea senior management
recommendationvaluation and Treasury*Entrepreneurshiplevel
operations* Analytical skills /
* Deep knowledge ofProblemsolving
the Bank's trading and* Resilience, Tenacity
treasuryproductsandIntegrity
* Sound knowledge of* Interpersonal skills
assetandliability* Communication (oral
management&written)
* Deep understanding*Leadership
of the structure and*Coaching
complexitiesof/Leadership/
market cycles (LocalInfluencing
andForeign)*
* Ability to analyse andInitiative/Entrepreneur
interpret market andship/ taking ownership
economic*Teambuilding/
information/dataconflictmanagement
* Detailed knowledge*Organization&
of regulatory policiescoordination
and objectives* General managerial /administration
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies
15SignificantSignificantSeniorTo manage the banks*Excellentcustomer*Leadership/A first degree in anyMinimum of 10 years
InfluenceManagemeLendingoverall Retail BusinessrelationshipInfluencingdiscipline.Relevantrelevantexperience
Functionsnt FunctionOfficer-withinthetargetdevelopment/manage*Teambuilding/professionalwith at least 5 years
Retailmarkets and to givementconflictmanagementcertificationsinin a management role
overall direction and*Strongstrategic*Organization&Bankingsuch asin Retail Banking.
supervisionoftheOrientationcoordinationACIB or others
Division's strategies*Advance selling skills*General managerial /
*Knowledgeandadministration
understandingof*Interpersonalskills
Nigerian Retail market*Computer
*BasicBankingappreciation/data
Operations (Domesticentry(word
&Internationalprocessing/spreadshe
Operations)et/graphics)
*Products Knowledge*TQM
*Environmental/
Industryanalysis
*Documentation
16SignificantSignificantSeniorTocoordinatethe*GoodBanking*GoodcustomerA first degree in anyMinimum of 10 years
InfluenceManagemeOperationsexecutionofOperations (Domesticservice / Relationshipdiscipline.Relevantrelevant experience , 5
Functionsnt FunctionOfficer-International trade and&Internationalmanagementskillsprofessionalyearsmustbein
TradePayments transactionsOperations)*Teambuilding/certifications such asforegin operations and
Financein efficient and cost*GoodaccountingConflict managementACIB,at least 5 years in
effective manner inlineknowledge* Interpersonal skillsmanagement role.
withbank'soverall* Products knowledge* Communication (oral
strategy .To provide* Excellent negotiation&written)
efficientforeignskills* General managerial/
banking services to*Goodfinancialadministration
customersanalysis/*Leadership/
InterpretationskillsInfluencing
38
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies * Documentation skills*Organizationand
* Good knowledge andcoordinationskills
understanding of UCR*Performance
*Needstohavemanagement
contactswith* Coaching
regulators and major international financial institutions
17SignificantSignificantSeniorDevelopand* Good knowledge &* Strategic orientationA first degree in anyMinimum of 10 years
InfluenceManagemeOperationsimplement a businessunderstandingof* Creative and takingdiscipline.Relevantrelevantexperience
Functionsnt FunctionOfficerunit plan that facilitatesbanking operations (initiativeprofessionalwith at least 5 years at
(General)the delivery of qualityDomestic&*Entrepreneurship/certifications such asseniormanagement
products and excellentInternationaltakingownershipACIB,level. Experience in
customerserviceOperations)*AnalyticalSkills/bankingoperations
deliveryacrossthe*GoodproductsProblemsolvingand customer services
bank's branch networkknowledge*Self-Management
,includingcash*Process* Interpersonal Skills
centres and Implantmanagementand* General managerial/
service .Develop anddocumentationskillsadministration
sustain a customer* Good communication*Teambuilding/
focusedserviceskills (oral & written)conflictmanagement
delivery organisation*Leadership/
Coaching/ Influencing/ Supervisory * Organization/ Coordination skills * Performance management
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies
18SignificantSignificantBranchToestablishand> Good understanding*IntegrityandA first degree in anyA minimum of 8 years
InfluenceManagemeManagermaintainpositiveofpoliciesandDiscretiondiscipline.Relevantbankingexperience
Functionsnt Functioncustomerprocedures,*Initiative/Proactiveprofessionalwith at least 2 years in
relationships, plan andCoreBusiness*Analyticalskills/certifications such asbranch operations or
deliveraneffectiveProcesses,IndustryProblemsolvingACIBretail banking.
marketing and serviceknowledge, audit and*Resilience,Tenacity
strategy and monitorfiscalanalysis,andIntegrity
the progress of newBankingOperations*Interpersonalskills
and existing products;Banking*Communication (oral
as well as provideservices/products,&written)
operationalUseofBanking*General managerial/
management supportapplications,administration
on a day-to-day basis.Accounting,Credit*Leadership/influencin
May be responsible forAnalysisg
a whole branch or a*Organizationand
number of branches.Excellentpeople,coordinationskills
leadership, motivation*Coaching and people
andcommunicationmanagement
skillsincludingthe*Conflict management
abilitytoengage,
inspire and influence others * Strong, innovative customer service ethic * Professional and credible * Flexible, able to juggle and delegate workloads * Calm and confident 40
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies in handling potential conflict situations * Understanding of financial product regulations and the legal aspects of banking * Comfortable working in an environment where adherence and quality control are essential * Business focused, with good all-round knowledge of marketing, sales, training and people management
19SignificantSignificantSeniorTo manage the banks*Excellentcustomer*Leadership/A first degree in anyMinimum of 10 years
InfluenceManagemespecializedoverallrelationshipInfluencingdiscipline.Relevantexperience in a bank
Functionsnt FunctionLendingdevelopment/manage*Teambuilding/professionalwith at least 3 years
Officermentconflictmanagementcertifications such asexperienceina
*Strongstrategic*Organization&ACIB,management role.
Orientationcoordination
*Advance selling skills*General managerial /
*Knowledgeandadministration
understandingof*Interpersonalskills
Nigerian Retail market*Computer
*BasicBankingappreciation/data
Operations (Domesticentry(word
41
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies & Internationalprocessing/spreadshe
Operations)et/graphics)
*Products Knowledge*TQM
*Environmental/
Industryanalysis
*Documentation
20SignificantSignificantSeniorTo manage the banks*Excellentcustomer*Leadership/A first degree in anyMinimum of 10 years
InfluenceManagemeAgriculturalAgriculturallendingrelationshipInfluencingdiscipline.Relevantexperience in a bank
Functionsnt FunctionLendingportfolioanddevelopment/manage*Teambuilding/professionalwith at least 3 years
Officerrelationshipsandmentconflictmanagementcertifications such asexperienceina
ensure aderence to all*Strongstrategic*Organization&ACIB,management role.
related requirements.Orientationcoordination
*Advance selling skills*General managerial /
*Knowledgeandadministration
understandingof*Interpersonalskills
Nigerian Retail market*Computer
*BasicBankingappreciation/data
Operations (Domesticentry(word
&Internationalprocessing/spreadshe
Operations)et/graphics)
*Products Knowledge*TQM
*Environmental/
Industryanalysis
*Documentation
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies
21SignificantSystem&ChiefRiskTomonitorand*Knowledgeand*StrategicFocus/* A first degree in anyMinimum of 15 years
InfluencecontrolOfficer,coordinate the overallunderstandingofOrientationdisciplinepostqualification
FunctionsFunctionriskmanagementBankingOperations*Integrityand*Recognizedexperience inrisk
function.(InternationalandDiscretionprofessionalmanagement or relaed
domestic)* Initiative/ Proactivecertification such asareawithinthe
* Strategic orientation.*EntrepreneurshipCFA,CIS,ACCA,FinancialServices
Creativity & innovation* Analytical skills /ACA, CFP,etc.Industry , of which at
*GoodpolicyProblemsolvingGARP, PRMIAleast 10 must have
developmentand* Resilience, Tenacitybeen in the Banking
managementandIntegritySector and10years
capabilities* Interpersonal skillsmust have been at a
* Financial Acumen* Communication (oralseniormanagement
*Finance&&written)level.
Accounting* General managerial
*BankingIndustry/administration
Knowledge*
* Financial IndustryLeadership/Influencing
Knowledge*Organization&
*Knowledgeandcoordinationskills
Understandingof* Coaching and people
Financial Regulationsmanagement
(Domestic&* Conflict management
International) * Knowledgeand
Understanding of Risk Management and Financial Standards (Domestic & International)
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies
22SignificantSystem&Senior CreditTomanageoverall*Credit*StrategicFocus/* A first degree in anyMinimum of 10 years
InfluencecontrolRisk Officercredit risk profile andAdministration/RiskOrientationdiscipline.postqualification
FunctionsFunctionquality of the Group byManagement*Integrityand*Recognisedexperience incredit
ensuringcompliance*CreditProductsDiscretionprofessionalriskmanagement
withtheapproved* Credit Analysis and* Initiative/ Proactivecertification such aswithin the Financial
creditriskAppraisal*EntrepreneurshipCFA,CIS,ACCA,Services Industry, 5
management* Loans administration* Analytical skills /ACA, CFP, etc.years must have been
frameworkand/ account managementProblemsolvingatasenior
processesfor*Credit* Resilience, Tenacitymanagementand
identification,Workout/RestructuringandIntegrityleadership position.
controlling, managing* Financial analysis /* Interpersonal skills
and reporting creditinterpretation* Communication (oral
risk* Facility Structuring&written)
*Leadership
*Coaching
/Leadership/
Influencing * Initiative/Entrepreneur ship/ taking ownership * Team building / conflict management * Organization & coordination * General managerial /administration
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies
23SignificantSystem&SeniorTo minimize risk of*Knowledgeof*StrategicFocus/* A first degree in anyMinimum of 10 years
InfluencecontrolOperationalloss to the Group byoperational risk bestOrientationdiscipline.postqualification
FunctionsFunctionRisk Officerdefining and ensuringpractices*Integrityand*Recognisedrelevantexperience
compliance with the* Advanced knowledgeDiscretionprofessionalwithin the Financial
approvedriskofoperationalrisk* Initiative/ Proactivecertification such asServices Industry , of
managementmeasurement*EntrepreneurshipCFA,CIS,ACCA,which at least 5 must
frameworkandmethodologies* Analytical skills /ACA, etc.havebeenat
processesfor* Banking Operations (Problemsolvingmanagementand
identification,Domestic&* Resilience, Tenacityleadership position.
controlling, managingInternationalandIntegrity
andreportingOperations)* Interpersonal skills
operational risk* Credit Analysis /* Communication (oral
Appraisal&written)
*Environmental/*Leadership
IndustryAnalysis*Coaching
* Investment / Portfolio/Leadership/
ManagementInfluencing
* Assets & Liabilities*
ManagementInitiative/Entrepreneur
* Financial analysis /ship/ taking ownership
interpretation*Teambuilding/
*TQMconflictmanagement
* Documentation*Organization&
coordination * General managerial /administration
24SignificantSystem&Chief InternalTo ensure that the* Audit & Investigation*StrategicFocus*AfirstdegreeAminimumof10
InfluencecontrolAuditorGroup's internal audit*Financialand*Integrityand*Recognizedyears experience in
FunctionsFunctionand regulatory policiesoperational audit ofDiscretionprofessionalthefinancial
are being compliedorganizations* Initiative/ ProactiveAccountingmanagement/accounti
45
-----------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
TypeSkillsand
Competencies
with and to ensure the*Financial/Banking*Entrepreneurshipcertification such asng function, 5 of which
effective and efficiencyIndustryKnowledge* Analytical skills /ACCA, ACA, etcmust be in a senior
ofoperations,* Financial AccountingProblemsolvingpositionwithinthe
safeguardofboth*Accounting* Resilience, Tenacityaudit function
physical and logicalStandardsandIntegrity
assetswhile* Policy Development* Interpersonal skills
complyingwith* Financial Reporting* Communication (oral
policies,applicable* Analytical / Problem&written)
laws and regulationssolving skills*Leadership/
Supervisory * Team building/
conflictmanagement
*Organization&
coordination * General managerial / administration
25SignificantSystem&IT AuditorToensurethat* Audit & Investigation*StrategicFocus* A First Degree inA minimum of 8 years
Influencecontrolbusiness applications*Financialand*Integrityandrelevantdiscipline.postqualification
FunctionsFunctionin various units of theoperational audit ofDiscretionRecognisedITexperience at least 4
bankmeettheorganizations* Initiative/ Proactivecertificationse.g-yearsinITaudit
intended benefits and*Financial/Banking*EntrepreneurshipCISA,etcisrelated function.
are optimally utilized.IndustryKnowledge* Analytical skills /mandatory
* Financial AccountingProblemsolving
*Accounting* Resilience, Tenacity
StandardsandIntegrity
* Policy Development* Interpersonal skills
* Financial Reporting* Communication (oral
* Analytical / Problem&written)
solving skills*Leadership/
Supervisory
46
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies*Teambuilding/
conflictmanagement
*Organization&
coordination * General managerial / administration
26SignificantSystem&Business§ To ensure measure§ Banking Operations§StrategicFocus/§ A first degree inMinimum of 8 years
InfluencecontrolInformationthat would ensure the(Domestic&Orientationrelevantdiscipline.postqualification
FunctionsFunctionSecurityadherencetoInternational§Integrityand§Recognisedexperiencein
OfficerappropriateinternalOperations)DiscretionprofessionalCompliance & Internal
control framework and§Accounting§ Initiative/ Proactivecertification such asControlwithinthe
procedures so as to§ Credit Analysis /§EntrepreneurshipCISSM, CISA, CGIT,FinancialServices
minimizelossfromAppraisal§ Analytical skills /CFA,CIS,ACCA,Industry , of which at
non-compliancewith§Environmental/ProblemsolvingACA,CFP,CFE,least 5 must have
thepolicies&IndustryAnalysis§ Resilience, TenacityACAMS,ITbeen in the Banking
procedures§ Risk ManagementandIntegrityCertifications, etcSector
§Operationalrisk§ Interpersonal skills
§Investment/§ Communication (oral
Portfolio Management&written)
§ Assets & Liabilities§Leadership
Management§Coaching
§ Financial analysis //Leadership/
interpretationInfluencing
§TQM§
§ DocumentationInitiative/Entrepreneur ship/ taking ownership § Team building / conflict management § Organization & coordination
47
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies§ General managerial /administration
27SignificantSystem&Senior MarketDefine and implement* Quantitative analysis*StrategicFocus/* A University degreeMinimum of 10 years
InfluencecontrolRisk/ALMappropriateriskandmodelingOrientationin Economics or Socialpostqualification
FunctionsFunctionofficermanagement* Sound and detailed*IntegrityandSciencesexperience in market/
frameworkandknowledge of tradingDiscretion*Recognisedliquidityrisk
policiesfordynamics, quantitative* Initiative/ Proactiveprofessionalmanagementwithin
identification,valuation and Treasury*Entrepreneurshipcertification such asthe Financial Services
management, controloperations* Analytical skills /ACIB,CFA,CIS,Industry , of which at
andreportingof* Deep knowledge ofProblemsolvingACCA, ACA, CFP, ,least 8 must have
Market and Liquiditythe Bank's trading and* Resilience, Tenacityetc.been in the Banking
risks of internationaltreasuryproductsandIntegritySector and 5 years
business* Sound knowledge of* Interpersonal skillsmust have been at a
assetandliability* Communication (oralseniormanagement
management&written)level
* Deep understanding*Leadership
of the structure and*Coaching
complexitiesof/Leadership/
market cycles (LocalInfluencing
andForeign)*
* Ability to analyse andInitiative/Entrepreneur
interpret market andship/ taking ownership
economic*Teambuilding/
information/dataconflictmanagement
* Detailed knowledge*Organization&
of regulatory policiescoordination
and objectives* General managerial /administration
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies
28SignificantSystem&ChiefTomanagethe*Knowledgeand*StrategicFocusFirstDegreeplusMinimum of 15 years
InfluencecontrolFinancialGroup'sstrategic,understandingof*IntegrityandRecognisedpostqualification
FunctionsFunctionOfficerfinancial managementbankingoperationsDiscretionprofessional charteredexperience in Finance
andregulatory(international&*Initiative/ProactiveAccounting&Performance
systemstoensuredomestic)*EntrepreneurshipCertificationManagementrole
businessintegrity,*Strategic orientation,*Analyticalskills/within the Financial
protect the company'screativity & innovationProblemsolvingServices Industry , of
bottom line, enable*Goodpolicy*Resilience, Tenacitywhich at least 10 must
profitableanddevelopmentandandIntegrityhave been at a senior
sustainablegrowthmanagement*Interpersonalskillsmanagement level
and shareholder valuecapabilities*Communication (oral
creation and increase*FinancialAcumen&written)
theefficiencyand*Financeand*General managerial/
qualityoffinancialAccountingadministration
operations*Management/Cost*Leadership/influencin
Accountingg
*BankingIndustry*Organizationand
Knowledgecoordinationskills
*FinancialIndustry*Coaching and people
Knowledgemanagement
*Financial Regulations*Conflict management
*Financial Standards
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies
29SignificantSystem&ChiefToformulateand- Banking Operations§ Leadershipand- A University degree- At least 12 years
InfluencecontrolInformationproposetheIT(Domestic&Communicationin relevant discipline.postqualification
FunctionsFunctionOfficer;strategy on the BanksInternational§Coaching/ANDRelevantITexperience. 5years in
InformationOperations)Counselingcertfication.seniorManagement
Technology,- Deep Knowledge and§Teambuildingposition and not less
complianceandunderstandingof§Organization&than 5 years in IT role
direction as well asInformationCoordination
analyzingandTechnology§ General managerial /
reworkingexisting- Understanding of theadministration
businessprocessesbusinessandIT-Entrepreneurship
that would reshape,strategy administration- Customer Service
drive and deliver the- Project Management-Performance
Bank'sstrategicSkillsmanagement
objectives-Supplier-AnalyticalSkills/
ManagementProblemsolving
-Change-Initiativeand
ManagementJudgment
30CustomerCustomerRetailResponsible for Retail- Excellent Business-Leadership/- First degree in any- Minimum of 5 years
FunctionsadvisoryAdvisoryliabilityproductsDevelopmentandInfluencingBusinessrelatedrelevantexperience
Officermanagement to drivemanagement-Teambuilding/disciplineand at least 2 years in
and generate low-cost,- Strong strategic andconflictmanagementRelevant professionalmanagement position
stable liability for theAnalyticalSkills-Organization&certifications e,g ACIBwith responsibility in
Bank- Advance MarketingcoordinationRetail&marketing
andSalesSkills- General managerial /units,relationship
- Knowledgeandadministrationmanagement, product
understandingof- Cordial Interpersonalmanagementand
Nigerian Retail marketrelationshipskillsMarketing and retail
-BasicBanking-Computersales.
Operations ( Domesticappreciation
&International
50
--------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
TypeSkillsand
Competencies Operations) - Products Management skills - Environmental / Industry analysis - Documentation
31CustomerCustomerOmbudsmanDetailingof§ Excellent verbal and*Initiative/ProactiveA first degree in LawMinimum of 8 years
FunctionsServicesCustomers'written communication*Analyticalskills/related discipline.experienceoutof
ComplaintsandskillsProblemsolvingwhich at leat 3 years
resolving of the issues§ Able to prioritise*Resilience,Tenacitymust have been in
raised by them.workloads and meetandIntegrityfinancialservices
deadlines*Interpersonalskillsindustry.
§Firstclass*Communication (oral
interpersonalskills,&written)
able to communicate*General managerial/
with a wide range ofadministration
people*Leadership/influencin
§ Ethical, focused ong
treatingcustomers*Organizationand
fairlycoordinationskills
§Courteousyet*Coaching and people
assertivemanagement
§Trustworthyand*Conflict management
reliable § Organisedand
methodical § High attention to detail § Computer literate § Respect for 51S/N
--------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
TypeSkillsand
Competencies customerand
business confidentiality good knwledgeof
legalrequirements,
industryregulations,
organisational policies and professional codes.
32CustomerCustomerCustomerProvide interface with§Excellent*IntegrityandA first degree in anyMinimum of 8 years
FunctionsServicesService/Contacustomersthroughinterpersonalskills,Discretiondiscipline.experienceoutof
ctCentrephone, email,chats.includingexcellent*Initiative/Proactivewhich at leat 3 years
Manager,Handlingcustomerquestioningand*Analyticalskills/must have been in
enquiries,promotelistening skills and theProblemsolvingfinancialservices
andmarketotherability to communicate*Resilience,Tenacityindustry.
financial services andwith a wide range ofandIntegrity
products and, whenpeople*Interpersonalskills
required,putting§Strongcustomer*Communication (oral
customersindirectserviceethic&written)
touch with colleagues§ Work well in a team*General managerial/
or specialists that aresettingadministration
qualifiedtosell§ Reliable and ethical,*Leadership/influencin
financial products.respecting customers'g
confidentiality*Organizationand
§Organisedandcoordinationskills
methodical, with good*Coaching and people
attentiontodetailmanagement
§ Confident selling and*Conflict management
marketingproducts
§Goodnumeracy
52
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
TypeSkillsand
Competencies skills § Computer literate § Adaptable to a range of activities in any given day § Flexible working, including potential evenings and weekends
33CustomerCustomerPrivateToarticulateand*Excellentclient*Leadership/*A First degree in any- 8 years relevant
FunctionServicesBankingdevelop strategies thatrelationshipSupervisorydisciplineandexperience; at least 2
Adviserwill provide directiondevelopment/manage*Teambuilding/Professionalof which must have
for the bank's wealthmentconflictmanagementcertifications such asbeenataSenior
management activities*Goodnegotiation,*Organization&ACIB,Management position
problem-solvingandcoordinationwith experience in the
conflictresolution*Interpersonalskillsmarketing of financial
*A deep understanding*Computerservices,product
ofalternativeappreciation/datadevelopmentand/or
investment strategiesentry(wordwealthmgtand
*A deep Knowledge ofprocessing/spreadsheportfolio/asset
capitalmarkets,et/graphics)management.
alternative*Communication
investments & asset(writtenandoral)
management products*TQM
*Environmental/
Industryanalysis
*Financial Analysis / Interpretation *Banking Operations ( Domestic & 53
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies International Operations) *Investment Portfolio Management *Money Market Trading *Marketing Presentations * Strong strategic orientation
34CustomerCustomerSenior-Developand-Knowledgeand-Initiative- A first degree in any- Minimum of 10 years
FunctionFunctionOperationsimplementexcellentunderstanding of the-Entrepreneurship/discipline.experience in banking/
Officer-go-to –market strategyNigerianpaymentstakingownershipfinancialservices
Electronicto increase rollout oflandscape-AnalyticalSkills/institutionwith
Bankingthebankscards,-StrongallianceProblemsolvingexperiencein
channels and othermanagementskills- Financial & businesselectronicpayments
technology-enabled- Excellent customermodellingsolutions/IT. 5 years
products and servicesrelationship-Self-Managementmust have been at
acrosstheAccessdevelopment/manage- Interpersonal Skillsmanagement level.
Groupment- General managerial/
- Consistently create- Good negotiation,administration
differentiatedeproblem-solvingand-Teambuilding/
paymentofferingsconflictresolutionconflictmanagement
through innovation and- Creative thinking and-Coaching
partnering to grow theinnovative-Leadership/
Bank's profitability and-KnowledgeandInfluencing
to deliver on strategicunderstandingof-Organizationand
objectivesalternatives paymentscoordination skills
products - Goodproduct
54
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies developmentand
management capabilities - Knowledge of how to develop, defend and execute a business case
35CustomerCustomerSeniorTo manage the banks*Knowledgeand*General managerial/A first degree in anyMinimum of 10 years
FunctionServicesLendingoverallglobalunderstanding of theadministrationdiscipline.relevantexperience
Officer-relationship with largemarket*Teambuilding/with at least 5 years in
CorporateCorporate and to give*Visibility of marketconflictmanagementa management and
overall direction andrelevance&*Coachingleadership role
supervisionofthenetworkingability*Leadership/
group's strategies*StrongstrategicInfluencing
orientation*Organizationand
*Excellentcustomercoordinationskills
relationship*Initiative
development/manage*Entrepreneurship/
menttakingownership
*Goodnegotiation,*AnalyticalSkills/
problem-solvingandProblemsolving
conflictresolution*Self-Management
*Creativeand
innovative *Knowledgeand
understandingof
consumerfinancial
products *Goodproduct
developmentand
55
S/NCategoryFunctionFunctionRolesRequired certificationsGeneric skillsMinimum QualificationsMinimum Experience
TypeSkillsand
Competencies portfolio management capabilities

Appendix C: Code Of Practice For Approved Persons:

1.1. Introduction:

1.1.1 The Code of Practice for "Approved Persons" in the financial Services Industry is issued for the purpose of helping to determine whether or not an approved person's conduct complies with the approved standards. The code sets out the following: a. descriptions of conduct which do not comply with the relevant standards.

b. certain factors which, in the opinion of the CBN, are to be taken into account in determining whether an approved person's conduct complies with a particular standard.

1.1.2 The extant Code of Practice for Approved Persons at the time when any particular conduct takes place may be relied on so far as it establishes whether or not that conduct complies with an Approved Persons Standard. 1.1.3. The significance of the conduct identified in the Code of Practice for Approved Persons as tending to establish compliance with or a breach of an Approved persons Standard will be assessed only after all the circumstances of a particular case have been considered. Account will be taken of the context in which a course of conduct was undertaken, including the precise circumstances of the individual case, the characteristics of the particular controlled function and the behaviour to be expected in that function.

1.1.4.

a) An approved person will only be in breach of an approved standard where he is personally culpable. Personal culpability arises where an approved person's conduct was deliberate or where the approved person's standard of conduct was below that which would be reasonable in all the circumstances.

b) For the avoidance of doubt, the Approved Standards do not extend the duties of approved persons beyond those which the company owes in its dealings with customers or others.

1.1.5. In particular, in determining whether or not an approved person's conduct complies with a Standard, the CBN will take into account the extent to which an approved person has acted in a way that is stated to be in breach of an approved Standard. 1.1.6 The Code of Practice for Approved Persons (and in particular the specific examples of behavior which may be in breach of a generic description of conduct in the code) is not exhaustive of the kind of conduct that may contravene the Approved Standards. The purpose of the code is to help determine whether or not a person's conduct complies with a Standard. The code may be supplemented from time to time. The CBN will amend the code if there is a risk that unacceptable practice may become prevalent. 1.1.7 There are seven Approved Persons Standards. (see section 2 below) Standards number 1 to 4 shall apply to all approved persons. A person performing a significant influence function is also subject to the additional requirements set out in Approved Standards 5 to 7 in performing that controlled function. In the Approved Standards and in the Code of Practice for Approved Persons, a reference to "his controlled function" is a reference to the controlled function to which the approval relates. 1.1.8 In applying Approved Standards 5 to 7, the nature, scale and complexity of the business under management and the role and responsibility of the individual performing a significant influence function within the company will be relevant in assessing whether an approved person's conduct was reasonable. For example, the smaller and less complex the business, the less detailed and extensive the systems of control need to be. The CBN will be of the opinion that an individual performing a significant influence function may have breached Approved Standards 5 to 7 only if his conduct was below the standard which would be reasonable in all the circumstances. 1.1.9. Financial Institutions listed on the Nigerian Stock Exchange are subject to the Code of Corporate Governance issued by the Securities and Exchange Commission (SEC) in 2011. Institutions under the regulatory purview of the CBN in this category will thus be subject to that code as well as to the requirements and standards of the regulatory system. In forming an opinion whether approved persons have complied with its requirements, the CBN will also give due consideration to compliance with the provisions of the SEC Code of Corporate Governance. 1.1.10 All CBN regulated Financial Institutions are also subject to the CBN Code of Corporate Governance.

1.2. Factors Relating To All Approved Standards

1.2.1. In determining whether or not the particular conduct of an approved person within his controlled function complies with the Approved Standards, the following factors should be taken into account: a) whether that conduct relates to activities that are subject to other provisions of any part of the code or b) whether that conduct is consistent with the requirements and standards of the regulatory system relevant to his company.

1.3. Factors Relating To Approved Standards 5 To 7

1.3.1. In determining whether or not the conduct of an approved person performing a significant influence function complies with Approved Standards 5 to 7, the following factors should be taken into account: a) whether he exercised reasonable care when considering the information available to him; b) whether he reached a reasonable conclusion which he acted on; c) the nature, scale and complexity of the company's business; d) his role and responsibility as an approved person performing a significant influence function; e) the knowledge he had, or should have had, of regulatory concerns, if any, arising in the business under his control.

2.0. Code Of Practice For Approved Persons: Specific Standards 2.1. Approved Standard 1

2.1.1. "An approved person must act with integrity in carrying out his controlled function." 2.1.2. Conduct of the type described below does not comply with Approved Standard 1: A. Deliberately misleading (or attempting to mislead) by act or omission: a) a client; or b) his company (or its auditors or an actuary appointed by his company under; or c) the CBN.

Behaviour of the type referred to above includes, but not limited to, deliberately: a. falsifying documents; b. misleading a client about the risks of an investment; c. misleading a client about the charges or surrender penalties of investment products; d. misleading a client about the likely performance of investment products by providing inappropriate projections of future investment returns; e. misleading a client by informing him that products require only a single payment when that is not the case; f. mismarking the value of investments or trading positions; g. procuring the unjustified alteration of prices on illiquid or off-exchange contracts, or both; h. misleading others within the company about the credit worthiness of a borrower; i. providing false or inaccurate documentation or information, including details of training, qualifications, past employment record or experience; j. providing false or inaccurate information to the company (or to the company's auditors or an actuary appointed by the company k. providing false or inaccurate information to the CBN; l. destroying, or causing the destruction of, documents (including false documentation), or tapes or their contents, relevant to misleading (or attempting to mislead) a client, his company, or the CBN; m. failing to disclose dealings where disclosure is required by the company's personal account dealing rules; n. misleading others in the company about the nature of risks being accepted.

B. Deliberately recommending an investment to a customer, or carrying out a discretionary transaction for a customer where the approved person knows that he is unable to justify its suitability for that customer.

C. Deliberately failing to inform, without reasonable cause: (1) a customer; or (2) his company (or its auditors or an actuary appointed by his company or (3) the CBN; of the fact that their understanding of a material issue is incorrect, despite being aware of their misunderstanding.

Behaviour of the type referred to above includes, but not limited to, deliberately: a. failing to disclose the existence of falsified documents; b. failing to rectify mismarked positions immediately.

D. Deliberately preparing inaccurate or inappropriate records or returns in connection with a controlled function.

Behaviour of the type referred to above includes, but not limited to, deliberately: a. preparing performance reports for transmission to customers which are inaccurate or inappropriate (for example, by relying on past performance without appropriate warnings); b. preparing inaccurate training records or inaccurate details of qualifications, past employment record or experience; c. preparing inaccurate trading confirmations, contract notes or other records of transactions or holdings of securities for a customer, whether or not the customer is aware of these inaccuracies or has requested such records.

E. Deliberately misusing the assets or confidential information of a client or of his company. Behaviour of the type referred to above includes, but is not limited to, deliberately: a. front running client orders; b. carrying out unjustified trading on client accounts to generate a benefit (whether direct or indirect) to the approved person (that is, churning); c. misappropriating a client's assets, including wrongly transferring to personal accounts cash or securities belonging to clients; d. wrongly using one client's funds to settle margin calls or to cover trading losses on another client's account or on company accounts; e. using a client's accounts or funds for purposes other than those for which they were provided; f. retaining a client's funds wrongly; g. pledging the assets of a client as security or margin in circumstances where the company is not permitted to do so.

F. Deliberately designing transactions so as to disguise breaches of requirements and standards of the regulatory system. G. Deliberately failing to disclose the existence of a conflict of interest in connection with dealings with a client. H. Deliberately not paying due regard to the interests of a customer.

I. Deliberate acts, omissions or business practices that could be reasonably expected to cause consumer detriment

2.2.1. "An approved person must act with due skill, care and diligence in carrying out his controlled function." 2.2.2. Conduct of the type described below do not comply with Approved Standard 2: A. Failing to inform (1) a customer; or (2) his company (or its auditors or an actuary appointed by his company; of material information in circumstances where he was aware, or ought to have been aware, of such information, and of the fact that he should provide it.

Behaviour of the type referred to above includes, but not limited to: a. failing to explain the risks of an investment to a customer; b. failing to disclose to a customer details of the charges or surrender penalties of investment products; c. mismarking trading positions; d. providing inaccurate or inadequate information to a company, its auditors or an actuary appointed by his company; e. failing to disclose dealings where disclosure is required by the company's personal account dealing rules.

B. Recommending an investment to a customer, or carrying out a discretionary transaction for a customer, where he does not have reasonable grounds to believe that it is suitable for that customer. C. Undertaking, recommending or providing advice on transactions without a reasonable understanding of the risk exposure of the transaction to a customer. Behaviour of the type referred to above includes, but not limited to, recommending transactions in investments to a customer without a reasonable understanding of the liability (either potential or actual) of that transaction. D. Undertaking transactions without a reasonable understanding of the risk exposure of the transaction to the company. Behaviour of the type referred to above includes, but not limited to, trading on the company's own account without a reasonable understanding of the liability (either potential or actual) of the transaction. E. Failing without good reason to disclose the existence of a conflict of interest in connection with dealings with a client.

F. Failing to provide adequate control over a client's assets Behaviour of the type referred to above includes, but is not limited to: a. failing to segregate a client's assets; b. failing to process a client's payments in a timely manner.

G. Continuing to perform a controlled function despite having failed to meet the standards of knowledge and skill set out by the CBN for that controlled function. reason. H. Failing to pay due regard to the interests of a customer, without good

2.3.1. "An approved person must observe proper standards of market conduct in carrying out his controlled function." 2.3.3. A factor to be taken into account in determining whether or not an approved person's conduct complies with this Approved Standard is whether he, or his company, has complied relevant market codes and exchange rules. Compliance with the code or rules described above will tend to show compliance with this Approved Standard.

2.4.1. "An approved person must deal with the CBN and with other regulators in an open and cooperative wayand must disclose appropriately any information of which the CBN would reasonablyexpect notice." 2.4.2. For the purpose of this Standard, regulators in addition to the CBN are those which have recognised jurisdiction in relation to regulated activities and power to call for information from the approved person in connection with his controlled function or (in the case of an individual performing a significant influence function) in connection with the business for which he is responsible. This may include the NDIC, SEC or an overseas regulator. 2.4.3. Conduct of the type described below do not comply with Approved Standard 4: A. Failing to report promptly in accordance with his company's internal procedures (or if none exist direct to the regulator), information which it would be reasonable to assume would be of material significance to the regulator, whether in response to questions or otherwise. There is no duty on an approved person to report such information directly to the CBN unless he is one of the approved persons responsible within the company for reporting matters to the regulator. However, if an approved person takes steps to influence the decision so as not to report to the regulator or acts in a way that is intended to obstruct the reporting of the information to the regulator, then the CBN will, in respect of that information, view him asbeing one of those within the company who has taken on responsibility for deciding whetherto report that matter to the regulator. In determining whether or not an approved person's conduct under (A) above complies with Approved Standard 4, the following are factors which, in the opinion of the CBN, are to be taken into account: i. the likely significance to the CBN of the information which it was reasonable for the individual to assume; ii. whether the information is related to the individual himself or to his company; iii. whether any decision not to report the matter internally was taken after reasonable enquiry and analysis of the situation.

B. Where the approved person is, or is one of the approved persons who is, responsible within the company for reporting matters to the CBN, failing promptly to inform the CBN of information of which he is aware and which it would be reasonable to assume would be of material significance to the CBN, whether in response to questions or otherwise. In determining whether or not an approved person's conduct above complies with Approved Standard 4, the following are factors which, in the opinion of the CBN, are to be taken into account: I. the likely significance of the information to the CBN which it was reasonable for the approved person to assume; II. whether any decision not to inform the CBN was taken after reasonable enquiry and analysis of the situation.

C. Failing without good reason to: I. inform a regulator of information of which the approved person was aware in response to questions from that regulator; II. attend an interview or answer questions put by a regulator, despite a request or demand having been made; III. supply a regulator with appropriate documents or information when requested or required to do so and within the time limits attaching to that request or requirement.

2.5.1. "An approved person performing a significant influence function must take reasonable steps to ensurethat the business of the company for which he is responsible in his controlled function isorganised so that it can be controlled effectively." 2.5.2. Conduct of the type described below do not comply with Approved Standard 5: A. Failing to take reasonable steps to apportion responsibilities for all areas of the business under the approved person's control. B. Failing to take reasonable steps to apportion responsibilities clearly amongst those to whom responsibilities have been delegated. Behaviour of the type referred to above includes, but is not limited to: I. implementing confusing or uncertain reporting lines; II. implementing confusing or uncertain authorisation levels; III. implementing confusing or uncertain job descriptions and responsibilities C. In the case of an approved person who is responsible for dealing with the apportionment of responsibilities, failing to take reasonable care to maintain a clear and appropriate apportionment of significant responsibilities among the company's directors, senior managers and approved persons performing significant functions. Behaviour of the type referred to above includes, but is not limited to: I. failing to review regularly the significant responsibilities which the company is required to apportion; II. failing to act where that review shows that those significant responsibilities have not been clearly apportioned.

D. Failing to take reasonable steps to ensure that suitable individuals are responsible for those aspects of the business under the control of the individual performing a significant influence function. Behaviour of the type referred to above includes, but is not limited to: I. failing to review the competence, knowledge, skills and performance of staff to assess their suitability to fulfill their duties, despite evidence that their performance is unacceptable; II. giving undue weight to financial performance when considering the suitability or continuing suitability of an individual for a particular role; III. allowing managerial vacancies which put at risk compliance with the requirements and standards of the regulatory system to remain, without arranging suitable cover for the responsibilities.

2.5.3. Strategy and plans will often dictate the risk which the business is prepared to take on and high level controls will dictate how the business is to be run. If the strategy of the business is to enter high-risk areas, then the degree of control and strength of monitoring reasonably required within the business will be high. In organising the business for which he is responsible, the approved person performing a significant influence function should bear this in mind.

2.5.4. Apportionment Of Responsibilities

In order to comply with the obligations of Approved Standard 5, the approved person performing a significant influence function may find it helpful to review whether each area of the business for which he is responsible has been clearly assigned to a particular individual or individuals.

2.5.5. Authorization Level And Job Description

Where members of staff have particular levels of authorisation, these should be clearly set out and communicated to staff. It may be appropriate for each member of staff to have a job description of which he is aware.

2.5.6. Suitability Of Individual

The appropriate approved person performing a significant influence function should take reasonable steps to satisfy himself, on reasonable grounds that each area of the business for which he is responsible has in place appropriate policies and procedures for reviewing the competence, knowledge, skills and performance of each individual member of staff.

If an individual's performance is unsatisfactory, then the appropriate approved person (if any) performing a significant influence function should review carefully whether to allow that individual to continue in position. In particular, if he is aware of concerns relating to the compliance with requirements and standards of the regulatory system (or internal controls) of the individual concerned, or of staff reporting to that individual, the approved person performing a significant influence function should take care not to give undue weight to the financial performance of the individual or group concerned when considering whether any action should be taken. An adequate investigation of the concerns should be undertaken (including, where appropriate, adherence to internal controls). The approved person performing a significant influence function should satisfy himself, on reasonable grounds, that the investigation is appropriate, the results are accurate and that the concerns do not pose an unacceptable risk to compliance with the requirements and standards of the regulatory system (see in particular Approved Standard 6.

2.5.7. Temporary Vacancies

In organising the business, the approved person performing a significant influence function should pay attention to any temporary vacancies which exist. He should take reasonable steps to ensure that suitable cover for responsibilities is arranged. This could include taking on temporary staff or external consultants. An approved person performing a significant influence function should assess the risk that is posed to compliance with the requirements and standards of the regulatory system as a result of the vacancy, and the higher the risk the greater the steps he should take to fill the vacancy. It may be appropriate to limit or suspend the activity if appropriate cover for responsibilities cannot be arranged. To the extent that those vacancies are in respect of one of the customer functions, they may only be filled by persons approved for that function. 2.6. Approved Standard 6 2.6.1. "An approved person performing a significant influence function must exercise due skill, care and diligence in managing the business of the company for which he is responsible in his controlled function." 2.6.2. Conduct of the type described below do not comply with Approved Standard 6: A. Failing to take reasonable steps to adequately inform himself about the affairs of the business for which he is responsible. Behaviour of the type referred to above includes, but is not limited to: I. permitting transactions without a sufficient understanding of the risks involved; II. permitting expansion of the business without reasonably assessing the potential risks of that expansion; III. inadequately monitoring highly profitable transactions or business practices or unusual transactions or business practices; IV. accepting implausible or unsatisfactory explanations from subordinates without testing the veracity of those explanations; V. failing to obtain independent, expert opinion where appropriate: B. Delegating the authority for dealing with an issue or a part of the business to an individual or individuals (whether in-house or outside contractors) without reasonable grounds for believing that the delegate had the necessary capacity, competence, knowledge, seniority or skill to deal with the issue or to take authority for dealing with part of the business. C. Failing to take reasonable steps to maintain an appropriate level of understanding about an issue or part of the business that he has delegated to an individual or individuals (whether in-house or outside contractors). Behaviour of the type referred to above includes but is not limited to: I. disregarding an issue or part of the business once it has been delegated; II. failing to require adequate reports once the resolution of an issue or management of part of the business has been delegated; III. accepting implausible or unsatisfactory explanations from delegates without testing their veracity.

D. Failing to supervise and monitor adequately the individual or individuals (whether in-house or outside contractors) to whom responsibility for dealing with an issue or authority for dealing with a part of the business has been delegated. Behaviour of the type referred to above includes, but is not limited to: I. failing to take personal action where progress is unreasonably slow, or where implausible or unsatisfactory explanations are provided; II. failing to review the performance of an outside contractor in connection with the delegated issue or business.

2.6.3. In determining whether or not the conduct of an approved person performing a significant influence function complies with Approved Standard 6, the following are factors which, in the opinion of the CBN, are to be taken into account: I. the competence, knowledge or seniority of the delegate; and II. the past performance and record of the delegate.

2.6.4. An approved person performing a significant influence function will not always manage the business on a day-to-day basis himself. The extent to which he does so will depend on a number of factors, including the nature, scale and complexity of the business and his position within it. The larger and more complex the business, the greater the need for clear and effective delegation and reporting lines. The CBN will look to the approved person performing a significant influence function to take reasonable steps to ensure that systems are in place which result in issues being addressed at the appropriate level. When issues come to his attention, he should deal with them in an appropriate way.

2.6.5. Knowledge About The Business

a. It is important for the approved person performing a significant influence function to understand the business for which he is responsible. An approved person performing a significant influence function is unlikely to be an expert in all aspects of a complex financial services business. However, he should understand and inform himself about the business sufficiently to understand the risks of its trading, credit or other business activities.

b. It is important for an approved person performing a significant influence function to understand the risks of expanding the business into new areas and, before approving the expansion, he should investigate and satisfy himself, on reasonable grounds, about the risks, if any, to the business.

c. Where unusually profitable business is undertaken, or where the profits are particularly volatile or the business involves funding requirements on the company beyond those reasonably anticipated, he should require explanations from those who report to him. Where those explanations are implausible or unsatisfactory, he should take steps to test the veracity of those explanations.

d. Where the approved person performing a significant influence function is not an expert in a business area, he should consider whether he or those with whom he works have the necessary expertise to provide him with an adequate explanation of issues within that business area. If not he should seek an independent opinion from elsewhere within or outside the company.

2.6.6. Delegation

a. An approved person performing a significant influence function may delegate the investigation, resolution or management of an issue or authority for dealing with a part of the business to individuals who report to him or to others.

b. The approved person performing a significant influence function should have reasonable grounds for believing that the delegate has the competence, knowledge, skill and time to deal with the issue. For instance, if the compliance department only has sufficient resources to deal with day-to-day issues, it would be unreasonable to delegate to it the resolution of a complex or unusual issue without ensuring it had sufficient capacity to deal with the matter adequately.

c. If an issue raises questions of law or interpretation, the approved person performing a significant influence function may need to take legal advice. If appropriate legal expertise is not available in-house, he may need to consider appointing an appropriate external adviser.

d. The CBN recognises that the approved person performing a significant influence function will have to exercise his own judgment in deciding how issues are dealt with, and that in some cases that judgment will, with the benefit of hindsight, be shown to have been wrong. He will not be in breach of Approved Standard 6 unless he fails to exercise due and reasonable consideration before he delegates the resolution of an issue or authority for dealing with a part of the business and fails to reach a reasonable conclusion. If he is in doubt about how to deal with an issue or the seriousness of a particular compliance problem, then, although he cannot delegate to the CBN the responsibility for dealing with the problem or issue, he can speak to the CBN to discuss his approach.

2.6.7. Continuing Responsibility Where An Issue Has Been Delegated

Although an approved person performing a significant influence function may delegate the resolution of an issue, or authority for dealing with a part of the business, he cannot delegate responsibility for it. It is his responsibility to ensure that he receives reports on progress and questions those reports where appropriate. For instance, if progress appears to be slow or if the issue is not being resolved satisfactorily, then the approved person performing a significant influence function may need to challenge the explanations he receives and take action himself to resolve the problem. This may include increasing the resource applied to it, reassigning the resolution internally or obtaining external advice or assistance. Where an issue raises significant concerns, an approved person performing a significant influence function should act clearly and decisively. If appropriate, this may be by suspending members of staff or relieving them of all or part of their responsibilities.

2.7.1. "An approved person performing a significant influence function must take reasonable steps to ensurethat the business of the company for which he is responsible in his controlled function complies with the relevant requirements and standards of the regulatory system." 2.7.2. Conduct of the type described below does not comply with Approved Standard 7: A. Failing to take reasonable steps to implement (either personally or through a compliance department or other departments) adequate and appropriate systems of control to comply with the relevant requirements and standards of the regulatory system in respect of its regulated activities. In the case of an approved person who is responsible for overseeing the company's obligation, failing to take reasonable care to oversee the establishment and maintenance of appropriate systems and controls. B. Failing to take reasonable steps to monitor (either personally or through a compliance department or other departments) compliance with the relevant requirements and standards of the regulatory system in respect of its regulated activities. C. Failing to take reasonable steps adequately to inform himself about the reason why significant breaches (whether suspected or actual) of the relevant requirements and standards of the regulatory system in respect of its regulated activities may have arisen (taking account of the systems and procedures in place). Behaviour of the type referred to above includes, but is not limited to, failing to investigate what systems or procedures may have failed including, where appropriate, failing to obtain expert opinion on the adequacy of the systems and procedures. D. Failing to take reasonable steps to ensure that procedures and systems of control are reviewed and, if appropriate, improved, following the identification of significant breaches (whether suspected or actual) of the relevant requirements and standards of the regulatory system relating to its regulated activities. Behaviour of the type referred to above includes, but is not limited to: a. unreasonably failing to implement recommendations for improvements in systems and procedures; b. unreasonably failing to implement recommendations for improvements to systems and procedures in a timely manner.

E. In the case of the money laundering reporting officer, failing to discharge the responsibilities imposed on him by the company F. In the case of an approved person performing a significant influence function responsible for compliance failing to take reasonable steps to ensure that appropriate compliance systems and procedures are in place. G. The CBN expects an approved person performing a significant influence function to take reasonable steps both to ensure his company's compliance with the relevant requirements and standards of the regulatory system and to ensure that all staff are aware of the need for compliance.

Where the approved person is a proprietary trader, failing to maintain and comply with appropriate systems and controls in relation to that activity.

2.7.3. Systems Of Control

An approved person performing a significant influence function need not himself put in place the systems of control in his business. Whether he does this depends on his role and responsibilities. He should, however, take reasonable steps to ensure that the business for which he is responsible has operating procedures and systems which include well-defined steps for complying with the detail of relevant requirements and standards of the regulatory system and for ensuring that the business is run prudently. The nature and extent of the systems of control that are required will depend upon the relevant requirements and standards of the regulatory system, and the nature, scale and complexity of the business.

2.7.4. Possible Breaches Of Regulatory Requirements

Where the approved person performing a significant influence function becomes aware of actual or suspected problems that involve possible breaches of relevant requirements and standards of the regulatory system falling within his area of responsibility, then he should take reasonable steps to ensure that they are dealt with in a timely and appropriate manner. This may involve an adequate investigation to find out what systems or procedures may have failed and why. He may need to obtain expert opinion on the adequacy and efficacy of the systems and procedures.

2.7.5. Review And Improvement Of Systems And Procedures

Where independent reviews of systems and procedures have been undertaken and result in recommendations for improvement, the approved person performing a significant influence function should ensure that, unless there are good reasons not to, any reasonable recommendations are implemented in a timely manner. What is reasonable will depend on the nature of the inadequacy and the cost of the improvement. It will be reasonable for the approved person performing a significant influence function to carry out a cost benefit analysis when assessing whether the recommendations are reasonable. Notes: In several places in the document, the words "he" and "his' were used to denote an approved person. This does not indicate a male person only but refers to both male and female approved persons. It means either "he" or "she" and "his" or "her'

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