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COMBINED RISK DISCLOSURE DOCUMENT
FOR CAPITAL MARKET /CASH
SEGMENT AND FUTURES & OPTIONS
SEGMENT
This document is issued
by the member of the National Stock
Exchange of India (hereinafter referred
to as "NSE") / The Stock
Exchange, Mumbai (hereinafter referred
to as “BSE”) which has
been formulated by the Exchanges
in coordination with the Securities
and Exchange Board of India (hereinafter
referred to as "SEBI")
and contains important information
on tra ding in Equities and F&O
Segments of NSE / BSE. All prospective
constituents should read this document
before trading on Capital Market/Cash
Segment or F&O segment of the
Exchanges.
NSE/BSE/SEBI does neither singly
or jointly and expressly nor impliedly
guarantee nor make any representation
concerning the completeness, the
adequacy or accuracy of this disclosure
document nor has NSE/BSE/SEBI endorsed
or passed any merits of participating
in th e trading segments. This brief
statement does not disclose all
the risks and other significant
aspects of trading.
In the light of the risks involved,
you should undertake transactions
only if you understand the nature
of the contractual relationship
into which you are entering and
the extent of your exposure to risk.
You must know and appreciate that
investment in Equity shares , derivative
or other instruments traded on the
Stock Exchange(s), which have varying
element of risk, is generally not
an appropriate avenue for someone
of limited resources/limited investment
and/or trading experience and low
risk tolerance. You should therefore
carefully consider whether such
trading is suitable for you in the
light of your financial condition.
In case you trade on NSE/BSE and
suffer adverse consequences or loss,
you shall be solely responsible
for the same and NSE/BSE, its Clearing
Corporation/Clearing House and/or
SEBI shall not be responsible, in
any manner whatsoever, for the same
and it will not be open for you
to take a plea that no adequate
disclosure regarding the risks involved
was made or that you
were not explained the full risk
involved by the concerned member.
The constituent shall be solely
responsible for the consequences
and no contract can be rescinded
on that account. You must acknowledge
and accept that there c an be no
guarantee of profits or no exception
from losses while executing orders
for purchase and/or sale of a security
or derivative being traded on NSE/BSE.
It must be clearly understood by
you that your dealings on NSE/BSE
through a member shall be subject
to your fulfilling certain formalities
set out by the member, which may
interalia include your filling the
know your client form, client registration
form, execution of an agreement,
etc., and are subject to the Rules,
Byelaws and Regulations of NSE/BSE
and its Clearing Corporation, guidelines
prescribed by SEBI and in force
from time to time and Circulars
as may be issued by NSE/BSE or its
Clearing Corporation/Clearing House
and in force from time to time.
NSE/BSE does not provide or purport
to provide any advice and shall
not be liable to any person who
enters into any business relationship
with any trading member and/or sub-broker
of NSE/BSE and/or any third party
based on any information contained
in this document. Any information
contained in this document must
notbe construed as business advice/investment
advice. No consideration to trade
should be made without thoroughly
understanding and reviewing the
risks involved in such trading.
If you are unsure, you must seek
professional advice on the same.
In considering whether to trade
or authorize someone to trade for
you, you should be aware of or must
get acquainted with the following:-
1. BASIC RISKS INVOVLED
IN TRADING ON THE STOCK EXCHANGE
(EQUITY AND OTHER INSTRUMENTS)
1.1 Risk of Higher Volatility:
Volatility refers to the dynamic
changes in price that securities
undergo when trading activity continues
on the Stock Exchange. Generally,
higher the volatility of a security/contract,
greater is its price swings. There
may be normally greater volatili
ty in thinly traded securities /contracts
than in active securities /contracts.
As a result of volatility, your
order may only be partially executed
or not executed at all, or the price
at which your order got executed
may be substantially different from
the last traded price or change
substantially thereafter, resulting
in notional or real losses.
1.2 Risk of Lower Liquidity:
Liquidity refers to the ability
of market participants to buy and/or
sell securities / contracts expeditiously
at a competitive price and with
minimal price difference. Generally,
it is assumed that more the numbers
of orders available in a market,
greater is the liquidity. Liquidity
is important because with greater
liquidity, it is easier for investors
to buy and/or sell securities /
contracts swiftly and with minimal
price difference, and as a result,
investors are more likely to pay
or receive a competitive price for
securities / contracts purchased
or sold. There may be a risk of
lower liquidity in some securities
/ contracts as compared to active
securities / contracts . As a result,
your order may only be partially
executed, or may be executed with
relatively greater price difference
or may not be executed at all.
1.2.1 Buying/selling
without intention of giving and/or
taking delivery of a security, as
part of a day trading strategy,
may also result into losses, because
in such a situation, stocks may
have to be sold/purchased at a low/high
prices, compared to the expected
price levels, so as not to have
any obligation to deliver/rec eive
a security.
1.3 Risk of Wider Spreads:
Spread refers to the difference
in best buy price and best sell
price. It represents the differential
between the price of buying a security
and immediately selling it or vice
versa. Lower liquidity and higher
vo latility may result in wider
than normal spreads for less liquid
or illiquid securities / contracts
. This in turn will hamper better
price formation.
1.4
Risk-reducing orders:
Most Exchanges have a facility for
investors to place "limit orders”,
"stop loss orders" etc".
The placing of such orders (e.g.,
"stop loss” orders, or
"limit" orders) which
are intended to limit losses to
certain amounts may not be effective
many a time because rapid movement
in market conditions may make it
impossible to execute such orders.
1.4.1 A "market"
order will be executed promptly,
subject to availability of orders
on opposite side, without regard
to price and that, while the customer
may receive a prompt execution of
a "market" order, the
execution may be at available prices
of outstanding orders, which satisfy
the order quantity, on price time
priority. It may be understood that
these prices may be significantly
different from the last traded price
or the best price in that security.
1.4.2 A "limit"
order will be executed only at the
"limit" price specified
for the order or a better price.
However, while the customer receives
price protection, there is a possibility
that the order may not be executed
at all.
1.4.3 A stop loss
order is generally placed "away"
from the current price of a stock
/ contract, and such order gets
activated if and when the stock
/ contract reaches, or trades through,
the stop price. Sell stop orders
are entered ordinarily below the
current price, and buy stop orders
are entered ordinarily above the
current price. When the stock reaches
the pre -determined price, or trades
through such price, the stop loss
order converts to a market/limit
order and is executed at the limit
or better. There is no assurance
therefore that the limit order will
be executable since a stock / contract
might penetrate the pre-determined
price, in which case, the risk of
such order not getting executed
arises, just as with a regular limit
order.
1.5 Risk of News Announcements:
Issuers make news announcements
that may impact the price of the
securities / contracts . These announcements
may occur during trading, and when
combined with lower liquidity and
higher volatility, may suddenly
cause an unexpected positive or
negative movement in the price of
the security / contract.
1.6 Risk of Rumours:
Rumours about companies at times
float in the market through word
of mouth, newspapers, websites or
news agencies, etc. The investors
should be wary of and should desist
from acting on rumours.
1.7 System Risk:
High volume trading will frequently
occur at the market opening and
before market close. Such high volumes
may also occur at any point in the
day. These may cause delays in order
execution or confirmation.
1.7.1 During periods
of volatility, on account of market
participants continuously modifying
their order quantity or prices or
placing fresh orders, there may
be delays in order execution and
its confirmations.
1.7.2 Under certain
market conditions, it may be difficult
or impossible to liquidate a position
in the market at a reasonable price
or at all, when there are no outstandingorders
either on the buy side or the sell
side, or if trading is halted in
a security due to any action on
account of unusual trading activity
or stock hitting circuit filters
or for any other reason.
1.8 System/Network Congestion:
Trading on NSE/BSE is in electronic
mode, based on satellite/leased
line based communications, combination
of technologies and computer systems
to place and route orders. Thus,
there exists a possibility of communication
failure or system problems or slow
or delayed response from system
or trading halt, or any such other
problem/glitch whereby not being
able to establish access to the
trading system/network, which may
be beyond the control of and may
result in delay in processing or
not processing buy or sell orders
either in part or in full. You are
cautioned to note that although
these problems may be temporary
in nature, but when you have outstanding
open positions or unexecuted orders,
these represent a risk because of
your obligations to settle all executed
transactions.
2. As far as Futures and
Options segment is concerned, please
note and get yourself acquainted
with the following additional features:-
2.1 Effect of "Leverage"
or "Gearing"
The amount of margin is small relative
to the value of the derivatives
contract so the transactions are
'leveraged' or 'geared'. Derivatives
trading, which is conducted with
a relatively small amount of margin,
provides the possibility of great
profit or loss in comparison with
the principal investment amount.
But transactions in derivatives
carry a high degree of risk. You
should therefore completely understand
the following statements before
actually trading in derivatives
trading and also trade with caution
while taking into account one's
circumstances, financial resources,
etc. If the prices move against
you, you may lose a part of or whole
margin equivalent to the principal
investment amount in a relatively
short period of time. Moreover,
the loss may exceed the original
margin amount.
A. Futures trading
involves daily settlement of all
positions. Every day the open positions
are marked to market based on the
closing level of the index. If the
index has moved against you, you
will be required to deposit the
amount of loss (notional) resulting
from such movement. This margin
will have to be paid within a stipulated
time frame, generally before commencement
of trading next day.
B. If you fail
to deposit the additional margin
by the deadline or if an outstanding
debt occurs in your account, the
broker/member may liquidate a part
of or the whole position or substitute
securities. In this case, you will
be liable for any losses incurred
due to such close-outs.
C. Under certain
market conditions, an investor may
find it difficult or impossible
to execute transactions. For example,
this situation can occur due to
factors such as illiquidity i.e.
when there are insufficient bids
or offers or suspension of trading
due to price limit or circuit breakers
etc.
D. In order to
maintain market stability, the following
steps may be adopted: changes in
the margin rate, increases in the
cash margin rate or others. These
new measures may also be applied
to the existing open interests.
In suchconditions, you will be required
to put up additional marg ins or
reduce your positions.
E. You must ask
your broker to provide the full
details of the derivatives contracts
you plan to trade i.e. the contract
specifications and the associated
obligations.
2.2. Risk of Option holders
1. An option holder runs
the risk of losing the entire amount
paid for the option in a relatively
short period of time. This risk
reflects the nature of an option
as a wasting asset which becomes
worthless when it expires. An option
holder who neither sells his option
in the secondary market nor exercises
it prior to its expiration will
necessarily lose his entire investment
in the option. If the price of the
underlying does not change in the
anticipated direction before the
option expires to an extent sufficient
to cover the cost of the option,
the investor may lose all or a significant
part of his investment in the option.
2. The Exchange
may impose exercise restrictions
and have absolute authority to restrict
the exercise of options at certain
times in specified circumstances.
2.3 Risks of Option Writers
1. If the price movement
of the underlying is not in the
anticipated direction, the option
writer runs the risks of losing
substantial amount.
2. The risk of
being an option writer may be reduced
by the purchase of other options
on the same underlying interest
and thereby assuming a spread position
or by acquiring other types of hedging
positions in the options markets
or other markets. However, even
where the writer has assumed a spread
or other hedging position, the risks
may still be significant. A spread
position is not necessarily less
risky than a simple 'long' or 'short'
position.
3. Transactions
that involve buying and writing
multiple options in combination,
or buying or writing options in
combination with buying or selling
short the underlying interests,
present additional risks to investors.
Combination transactions, such as
option spreads, are more complex
than buying or writing
a single option. And it should be
further noted that, as in any area
of investing, a complexity not well
understood is, in itself, a risk
factor. While this is not to suggest
that combination strategies should
not be considered, it is advisable,
as is the case with all investments
in options, to consult with someone
who is experienced and knowledgeable
with respect to the risks and potential
rewards of combination transactions
under various market circumstances.
3. GENERAL
3.1 Commission and other
charges
Before you begin to trade, you should
obtain a clear explanation of all
commission, fees and other charges
for which you will be liable. These
charges will affect your net profit
(if any) or increase your loss.
3.2 Deposited cash and
property
You should familiarise yourself
with the protections accorded to
the money or other property you
deposit particularly in the event
of a firm insolvency or bankruptcy.
The extent to which you may recover
your money or property may be governed
by specific legislation or local
rules. In some jurisdictions, propertywhich
has been specifically identifiable
as your own will be pro-rated in
the same
manner as cash for purposes of distribution
in the event of a shortfall. In
case of any dispute with the member,
the same shall be subject to arbitration
as per the byelaws/regulations of
the Exchange.
3.3 For rights and obligations
of the clients, please refer to
Annexure-1 enclosed with this document.
3.4 The term ‘constituent’
shall mean and include a client,
a customer or an investor, who deals
with a member for the purpose of
acquiring and/or selling of securities
through the mechanism provided by
NSE/BSE.
3.5 The term ‘member’
shall mean and include a trading
member, a broker or a stock broker,
who has been admitted as such by
NSE/BSE and who holds a registration
certificate as a stock broker from
SEBI.
I hereby acknowledge that I have
received and understood this risk
disclosure statement and
Annexure-1 containing my rights
and obligations .
Customer Signature (If Partner,
Corporate, or other Signatory, then
attest with
company seal.)
DD MMM YYYY
ANNEXURE-1
INVESTORS’ RIGHTS AND OBLIGATIONS:
1.1 You should
familiarise yourself with the protection
accorded to the money or other property
you may deposit with your member,
particularly in the event of a default
in the stock market or the broking
firm’s insolvency or bankruptcy.
1.1.1 Please ensure
that you have a documentary proof
of your having made deposit of such
money or property with the member,
stating towards which account such
money or property deposited.
1.1.2 Further,
it may be noted that the extent
to which you may recover such money
or property may be governed by the
Bye-laws and Regulations of NSE/BSE
and the scheme of the Investors’
Protection Fund in force from time
to time.
1.1.3 Any dispute
with the member with respect to
deposits, margin money, etc., and
producing an appropriate proof thereof,
shall be subject to arbitration
as per the Rules, Byelaws/Regulations
of NSE/BSE or its Clearing Corporation
/ Clearing House.
1.2 Before you
begin to trade, you should obtain
a clear idea from your member of
all brokerage, commissions, fees
and other charges which will be
levied on you for trading. These
charges will affect your net cash
inflow or outflow.
1.3 You should
exercise due diligence and comply
with the following requirements
of the NSE/BSE and/or SEBI:
1.3.1 Please deal
only with and through SEBI registered
members of the Stock Exchange and
are enabled to trade on the Exchange.
All SEBI registered members are
given a registration no., which
may be verified from SEBI. The details
of all members of NSE/BSE and whether
they are enabled to trade may be
verified from NSE/BSE website (www.nseindia.com
/ www.bseindia.com).
1.3.2 Demand any
such information, details and documents
from the member, for the purpose
of verification, as you may find
it necessary to satisfy yourself
about his credentials.
1.3.3 Furnish
all such details in full as are
required by the member as required
in "Know Your Client"
form, which may also include details
of PAN or Passport or Driving Licence
or Voters Id, or Ration Card, bank
account and depository account,
or any such details made mandatory
by SEBI/NSE at any time, as is available
with the investor.
1.3.4 Execute a
broker-client agreement in the form
prescribed by SEBI and/or the Relevant
Authority of NSE or its Clearing
Corporation / Clearing House from
time to time, because this may be
useful as a proof of your dealing
arrangements with the member.
1.3.5 Give any
order for buy or sell of a security
in writing or in such form or manner,
as may be mutually agreed. Giving
instructions in writing ensures
that you have proof of your intent,
in case of disputes with the member.
1.3.6 Ensure that
a contract note is issued to you
by the member which contains minute
records of every transaction. Verify
that the contract note contains
details of order no., trade number,
trade time, trade price, trade quantity,
name of security, client code allotted
to you and showing the brokerage
separately. Contract notes are required
to be given/sent by the member to
the investors latest on the next
working day of the trade. Contract
note can be issued by the member
either in electronic form using
digital signature as required, or
in hard copy. In case you do not
receive a contract note on the next
working day or at a mutually agreed
time, please get in touch with the
Investors Grievance Cell of NSE/BSE,
without delaying.
1.3.7 Facility
of Trade Verification is available
on NSE/BSE website (www.nse-india.
com / www.bseindia.com), where details
of trade as mentioned in the contract
note may be verified from the trade
date upto five trading days. Where
trade details on the website, do
not tally with the details mentioned
in the contract note, immediately
get in touch with the Investors
Grievance Cell of NSE/BSE.
1.3.8 Ensure that
payment/delivery of securities against
settlement is given to the concerned
member within one working day prior
to the date of pay-in announced
by NSE/BSE or it’s Clearing
Corporation / Clearing House. Payments
should be made only by account payee
cheque in favour of the firm/company
of the trading member and a receipt
or acknowledgement towards what
such payment is made be obtained
from the member. Delivery of securities
is made to the pool account of the
member rather than to the beneficiary
account of the member.
1.3.9 In case
pay-out of money and/or securities
is not received on the next working
day after date of pay-out announced
by NSE/BSE or its Clearing Corporation
/ Clearing House, please follow-up
with the concerned member for its
release. In case pay-out is not
released as above from the member
within five working days, ensure
that you lodge a complaint immediately
with the Investors’ Grievance
Cell of
NSE/BSE.
1.3.10 Every member
is re quired to send a complete
'Statement of Accounts', for both
funds and securities settlement
to each of its constituents, at
such periodicity as may be prescribed
by time to time. You should report
errors, if any, in the Statement
immediately, but not later than
30 calendar days of receipt thereof,
to the member. In case the error
is not rectified or there is a dispute,
ensure that you refer such matter
to the Investors Grievance Cell
of NSE/BSE, without delaying.
1.3.11 In case
of a complaint against a member/registered
sub-broker, you should address the
complaint to the Office as may be
specified by NSE/BSE from time to
time.
1.4 In case where
a member surrenders his membership,
NSE/BSE gives a public notice inviting
claims, if any, from investors.
In case of a claim, relating to
"transactions executed on the
trading system" of NSE/BSE,
ensure that you lodge a claim with
NSE/BSE/NSCCL/Clearing House within
the stipulated period and with the
supporting documents.
1.5 In case where
a member is expelled from trading
membership or declared a defaulter,
NSE/BSE gives a public notice inviting
claims, if any, from investors.
In case of a claim, relating to
"transactions executed on the
trading system" of NSE/BSE,
ensure that you lodge a claim with
NSE/BSE within the stipulated period
and with the supporting documents.
1.6 Claims against
a defaulter/expelled member found
to be valid as prescribed in the
relevant Rules/Bye -laws and the
scheme under the Investors’
Protection Fund (IPF) may be payable
first out of the amount vested in
the Committee for Settlement of
Claims against Defaulters, on pro-rata
basis if the amount is inadequate.
The balance amount of claims, if
any, to a maximum amount of Rs.10
lakhs per investor claim, per defaulter/expelled
member may be payable subject to
such claims being found payable
under the scheme of the IPF.
Notes:
1. The term ‘constituent’
shall mean and include a client,
a customer or an investor, who deals
with a trading member of NSE/BSE
for the purpose of acquiring and
/ or selling of securities through
the mechanism provided by NSE/BSE.
2. The term ‘member’
shall mean and include a member
or a broker or a stock broker, who
has been admitted as such by NSE/BSE
and who holds a registration certificate
as a stock broker from SEBI.
3. NSE/BSE may
be substituted with names of the
relevant exchanges, wherever applicable.
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