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CELTIS STATUTORY DISCLOSURE

CONTACT DETAILS

Kloofzicht Building, Unit 7
28 Koorsboom Avenue
Rustenburg
0299

 

Work: 014 533 1021

Fax2email: 086 626 6067

E-mail: celtis@celtis.co.za

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Post Box 20823

Protea Park

Rustenburg

0305

PRODUCT PROVIDERS

Long Term Insurance Solutions

Old Mutual, Sanlam, Liberty, Momentum, Brightrock, Discovery Life, BidvestLife (ex FMI), Hollard, Clientele Life, Capital Legacy & Professional Provident Society (PPS)

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Investment & Retirement Solutions

AIMS, Old Mutual, Sanlam, Glacier, Liberty, Momentum, Boutique Collective Investments, Discovery Invest, Ninety One, Fedbond, Stanlib, Allan Gray and Investec

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Short-Term Insurance Solutions

Consort Underwriters, Old Mutual Insure, Santam, Discovery Insure, CCIRC, CIA, Quicksure, Firedart Underwriting, Senate, AC&E, Cyclesure, SHA, Taylor-Made and Mirabilis.

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Declaration regarding remuneration and income

Celtis Financial Services does not receive more than 30% of its income and/or remuneration from any one product provider listed above.

FSCA LICENCE CATEGORIES

Category I

Long-Term Insurance subcategory A

Long-term Insurance subcategory B1

Long-Term Insurance subcategory B2
Long-term Insurance subcategory B2-A
Long-term Insurance subcategory B1-A
Long-term Insurance subcategory C 
Long-Term Insurance subcategory 
Retail Pension Benefits

Pension Funds Benefits

Shares

Participatory interests in a collective investment scheme  

Short-Term Insurance Personal Lines    
Short-Term Insurance Personal Lines A1
Short-Term Insurance Commercial Lines
Health Service Benefits    
Long-term Deposits    
Short-term Deposits

 

Category II

Long-term Insurance subcategory B1

Long-term Insurance subcategory B2-A

Long-term Insurance subcategory B1-A

Long-term Insurance subcategory C

Long-term Insurance subcategory B2

Retail Pension Benefits

Pension Funds Benefits

Long-term Deposits

Short-term Deposits

Participatory interests in one or more Collective investment schemes

COMPLIANCE OFFICER

Infinitus Risk Management Service

Erika Botha

6172/6399

erika@infinitus.co.za

082 413 8579

DIRECTORS

Gideon Petrus Louw

Key Individual

Managing director

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Pieter Nicolaas Esterhuizen

Key Individual

Non-executive director

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Stefan Helgard Kruger

Non-executive director​

PROFESSIONAL INDEMNITY AND MISAPPROPRIATION OF TRUST FUNDS COVER

Professional indemnity

AC&E Commercial Underwriting Managers (Pty) Ltd

Policy number: ACE98659PPI

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Fidelity Cover

Santam

Policy number: 63121897060

OMBUD CONTACT DETAILS

FAIS OMBUD

125 Dallas Avenue,

Menlyn Central,

Waterkloof Glen, Pretoria

012 762 5000

info@faisombud.co.za

www.faisombud.co.za

Managing director

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National Financial Ombudsman Scheme South Africa (NFOSA) / “NFO”

(Amalgamation of Ombud for Short-term and Long-term Insurance)

Johannesburg
110 Oxford Rd, Houghton Estate, Johannesburg, Gauteng, 2198
Cape Town
Claremont Central Building, 6th Floor, 6 Vineyard Road, Claremont, Western Province, 7700
0860 800 900
info@nfosa.co.za

www.nfosa.co.z

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COUNCIL FOR MEDICAL SCHEMES

Block A, Eco Glades 2 Office Park,

420 Witch-Hazel Avenue,

Eco Park, Centurion

012 431 0500

information@medicalschemes.co.za

www.medicalschemes.co.za

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FINANCIAL SECTOR CONDUCT AUTHORITY

River Walk Office Building B,

41 Matroosberg Road,

Garsfontein, Pretoria

012 428 8000

info@fsca.co.za

www.fsca.co.za

FINANCIAL ADVISOR INTERMEDIARY SERVICES (FAIS)

The FSP warrants that any adviser that renders financial services to a client complies with the fit and proper requirements in terms of the FAIS Act. Without in any way limiting and subject to the provisions of the services agreement, the FSP accepts responsibility for the lawful actions of the adviser in rendering financial services within the course and scope of their employment.

CONFLICT OF INTEREST

The FSP is not an associated company of any life assurer/product provider and does not own shares in any life assurer/product provider. In the event where an ownership interest exists, or financial interests are received, it will be disclosed in the Register of Conflict of Interest. The FSP will place the interests of the client first when rendering advice to clients.

TREATING CUSTOMERS FAIRLY (TCF)

TCF is a set of principles introduced by the Financial Services Conduct Authority (FSCA) to aid and underpin existing financial services legislation aimed at the protection of consumers and clients.  The FSP values its relationship with its clients and acknowledges that without any clients it would not have a business.  The TCF principles are embedded in the culture of the FSP, and it continuously strives to enhance the quality of its service offering to clients and through its interaction with contracted product suppliers. The TCF principles are:

  1. Clients can be confident that they are dealing with a FSP where the fair treatment of customers is central to the corporate culture.

  2. Products and services marketed and sold in the retail market are designed to meet the needs of identified consumer.

  3. Clients are provided with clear information and are kept appropriately informed before, during and after the point of sale.

  4. Where clients receive advice, the advice is suitable and takes account of their circumstances.

  5. Clients are provided with products that perform as the company or service supplier have led them to expect, and the associated service is of an acceptable standard and as they have been led to expect.

Clients to not face unreasonable post-sale barriers imposed by the company or service supplier to change product, switch supplier, submit a claim or make a complaint.

ADVICE

The adviser is required to analyse clients’ requirements and needs during the provision of advice.  The financial advice provided will be based on the information provided by the client and the FSP will not be held liable for any financial advice that was provided in respect of incorrect, inaccurate or incomplete information provided by the client.

FINANCIAL INTELLIGENCE CENTRE ACT (FICA)

The FSP is registered as an accountable institution with the Financial Intelligence Centre and shall be obliged to record and verify client information prescribed by FICA. The FSP is also required to report unusual and suspicious financial activities.

COMPLAINTS

Any queries and complaints are to be addressed to the Key Individual as per the contact details provided. A copy of the FSP’s complaints procedure is available on request. Should a complaint not be addressed to the satisfaction of the client, it may be referred to the offices of the relevant Ombud, as per the details herein contained.

CONFIDENTIALITY AND PROTECTION OF PERSONAL INFORMATION (POPI)

All information received from the client will be treated as confidential by the FSP and its personnel. Such information will only be made available if consent thereto is provided in writing or is required by any law. The POPI Act requires us to inform you how we use and disclose personal information we obtain from you.  We are committed to protecting your privacy and will ensure that your personal information is used appropriately, transparently, and according to applicable law.

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