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Our Complaints procedure is intended to ensure that all complaints are handled fairly, consistently and wherever possible resolved to the complainant’s satisfaction.

Last Updated: 04/07/2024

Version Number: 1.2

Soni Transfer Complaints Procedure

Soni Transfer is regulated by The UK Financial Conduct Authority (FCA firm reference number 798474) and is registered with the HMRC for anti-money laundering purposes (Registration number XWML00000122633), is subject to the complaint handling rules set out in the Dispute Resolution (DISP) section of the FCA handbook. It is Soni Transfer policy to comply with these requirements in full including that relating to maintenance of complaint records.

While Soni Transfer takes all reasonable steps to ensure that all client experiences are positive, it accepts that inevitably there will be occasions when they are not. It therefore intends that, where a client wishes to raise a complaint, his frustration is not compounded by a dysfunctional complaint handling process.

Therefore, it is the responsibility of the board to ensure that:

Complaints Handling:

Acknowledgement

A complaint can be delivered in person, by telephone, by email, in writing or verbally. Upon receipt of a complaint, the compliance Officer shall respond promptly to the client acknowledging receipt of the complaint.

Initial Response

The Compliance Officer will check the client’s concern against Soni Transfer systems and records. If the complaint relates to a delay in a transaction, the Compliance Officer will immediately check its status and inform the client, identifying any remedial action (and redress) as appropriate.

Holding Response

If, for whatever reason, Soni Transfer is unable to conclude the investigation and provide a Final Response to the complainant within 15 business days of the complaint first being received, then the Company will issue a Holding Response. The purpose of this Holding Response is to inform the complainant.

Final Response

As soon as Soni Transfer has completed its investigation, it will write to the complainant and offer a summary outcome, including any remedial action as necessary. Where appropriate, it may also include a final offer of redress. Such letters must be marked clearly as the final response and will include details on how to contact the Compliance Officer. The Final Response must also state the complainant’s option to refer the complaint to the FOS if (s)he considers that it has not been resolved satisfactorily or that the offer of redress is insufficient. For corporate clients an appropriate arbitrator will be recommended to resolve the issue.

Where a holding response has been sent, and Soni Transfer has not been able to conclude its investigations within 15 business days of the complaint being first received, it will send its final response within 35 business days of the complaint first being received. In all other cases Soni Transfer will send its final response within 15 business day of the complaint first being received according to the Regulation 101 of the PSD2 (Payment Service Directive).

Ultimate Redress

If, after contacting all parties, the complainant remains dissatisfied with the outcome of the complaint then (s)he may seek redress through the FOS and ultimately the courts if (s)he so wishes.