Order Execution Policy Sample Clauses

Order Execution Policy. 12.7.1 We provide you with price quotes and you may place Orders on the basis of those price quotes. Under the Financial Transaction and Reporting Act, 2018, INFINOX is required to take all reasonable steps to obtain the best possible result (or “best execution”) on behalf of our clients when we transmit orders to our liquidity providers for execution. When selecting the venue on which to transmit trades, INFINOX will take reasonable measures to ensure that the selected venue obtains the best possible trading result for you.
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Order Execution Policy. This Order Execution Policy (the “Policy”) is available to both retail and professional clients upon request and is also made available on our Website. The Policy serves to enable clients to make a properly informed decision about whether to utilize the services offered by the Company.
Order Execution Policy. 9.1 The Company shall use best endeavors to obtain the best possible results for the Client (namely, best execution) when executing orders or when receiving and transmitting execution orders.
Order Execution Policy. 15.1. The Company takes all reasonable steps to obtain the best possible results for its Clients, either when executing Client orders or receiving and transmitting orders for execution in relation to financial instruments. The Company’s Order Execution Policy sets out a general overview on how orders are executed as well as several other factors that can affect the execution of a financial instrument.
Order Execution Policy. Orders shall be executed in accordance with our Order Execution Policy which is an integral part of the Agreement and Policies. 🟏 When executing your Orders we shall adhere to our duty of Treating Customers Fairly. 🟏 Under the Applicable Laws and Regulations, we are required to take sufficient steps to obtain the best possible result when executing your order. In our Order Execution Policy we set out the process we implement in seeking to achieve Best Execution for you, our dealing capacity and potential conflicts. 🟏 In respect of Retail Clients, the best possible result is determined in terms of the total consideration, representing the price of the CFD in the underlying Financial Instrument and the costs related to execution, which shall include all expenses incurred by you which are directly related to the execution of the order. 🟏 Notwithstanding the provisions of this Clause, whenever there is a specific instruction from you, we shall aim to execute the order following the specific instruction, subject to the provisions contained herein, having however regard to the types of order and Price Slippage and Market Gapping as set out within this Agreement. It is noted though that specific instructions may prevent the Company from taking sufficient steps in order to obtain the best possible result for the execution of the relevant orders. In discharging our obligations to you with respect to execution of your orders we take into account the factors of price, costs, speed, likelihood of execution and settlement, size, nature and any other consideration relevant to the execution of the order. We draw your attention to the fact that once you open a position with us, you will have to transact with us to close the position i.e. you cannot close the position with another firm which may provide different pricing or transfer your position to such w party firm. Where you trade in CFDs with a fixed expiry, you will be subject to our pricing arrangements at the expiry of the derivative contract, including our rollover arrangements into new contracts.
Order Execution Policy. The Company takes all reasonable steps to obtain the best possible results for its Clients when executing Client orders in relation to financial instruments. The Company’s “Order Execution Policy” sets out a general overview of how orders are executed as well as several other factors that can affect the execution of a Financial Instrument. The Company’s “Order Execution Policy” forms part of the Client’s agreement with the Company and therefore by entering into this Agreement with the Company the Client also agrees to the terms of the “Order Execution Policy”. The Client acknowledges and accepts that he has read and understood the “Order Execution Policy” document, which was provided to him/her during the account opening process and which is uploaded on the Company’s Website. By entering into this Agreement the Client shall deemed to have given his/her express consent to the Company to execute or receive and transmit for execution Client’s orders outside of a regulated market or MTF.
Order Execution Policy. GCMT SA acts as an agent for GCMT Limited in Seychelles. GCMT SA will deal with you as an agent in relation to any Orders, while GCMT Seychelles will deal with your trades as a principal. Notwithstanding that we deal with you as principal and that we may provide you with two-way price quotes we acknowledge that if you are a Retail Client that you may rely upon us to provide or display bid and offer prices which are the best available prices for retail investors on a consistent basis. Your Orders will be handled in accordance with our Order Execution Policy a summary of which is in the Trading Handbook on the CMTrading website. While we seek to ensure that the prices, we display are competitive CMTrading is not able to give a warranty, express or implied, that the bid and offer prices displayed on CMTrading Trading Systems always represent the best prevailing market prices for retail investors. Our quoted prices may reflect market volatility or additional costs and charges which may result in an increase in the Spread as well as per Transaction or per-lot Commission.
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Order Execution Policy. Order Execution Policy Summary: The company must provide a retail client with a summary of its order execution policy (focused on the total cost the client incurs). This summary must provide a link to the most recent execution quality data for each execution venue listed in the policy. Companies are not obliged to provide a summary that complies with these specific requirements to professional clients. Information on a company’s MiFID order handling & execution policy is, however, required to be provided to professional clients and our MiFID order handling & execution policy is available at xxx.xxxxx.xxx.xx .
Order Execution Policy. In case the liquidity of the underlying Future for the CFD that is due to expire is low, we may, at our discretion, effect the rollover on an earlier date that the prescribed one. All rollover adjustments are calculated in the currency the underlying financial instrument is denominated in. In case the Account is in a different currency, we will, through our Electronic Trading System, automatically convert this to the Base Currency of the Account. The provisions of this Clause 14 are subject to the provisions of the Order Execution Policy which you are asked to refer to. our quoted Xxxxx was at the time at which you bought from us.
Order Execution Policy. The Company takes all reasonable steps to obtain the best possible results for its Clients when executing Client orders in relation to financial instruments. The Company’s “Order Execution Policy” sets out a general overview of how orders are executed as well as several other factors that can affect the execution of a Financial Instrument. The Company’s “Order Execution Policy” forms part of the Client’s agreement with the Company and therefore by entering into this Agreement with the Company the Client also agrees to the terms of the “Order Execution Policy”. The Client acknowledges and accepts that he has read and understood the “Order Execution Policy” document, which was provided to him/her during the account opening process and which is uploaded on the Company’s Website. By entering into this Agreement the Client shall deemed to have given his/her express consent to the Fullerton Markets International Limited First Floor, First St. Xxxxxxx Bank Ltd Building Xxxxx Street, P.O. Box 1574 Kingstown, VC0100 St. Xxxxxxx and the Grenadines Phone: +00 00 0000 0000 Email: xxxxxxxxx@xxxxxxxxxxxxxxxx.xxx Web: xxx.xxxxxxxxxxxxxxxx.xxx Company to execute or receive and transmit for execution Client’s orders outside of a regulated market or MTF.
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