X-Trade Brokers Dom Maklerski S.A. Group
Management Board report on the operations for the year ended 31 December 2020
(Translation of a document originally issued in Polish)
Administrative and control proceedings
The Company and the Group Companies are party to several administrative and control proceedings related to the Group’s
business. The Company believes that below are presented the most significant among them:
• On September 27, 2018, the Company received information about imposition onto the Company pursuant to art. 167
para. 2 point 1 in connection with art. 167 para. 1 point 1 of the act on Trading in Financial Instruments a fine of PLN
9.9 million in connection with the violation of the law, in particular in the area of providing brokerage services to the
Company's clients. In the Company’s opinion, the imposition of a fine for above-mentioned fraud is not justifiable and
is not reflected in the facts. The PFSA refused to take the evidence requested by the Company (including the expert’s
opinion) and did take into account independent expert’s opinions submitted by the Company. Acting in the best
interest of the Company, its employees and shareholders, as well as having clients best interest in mind, the
Management Board appealed the abovementioned decision by filing on October 29, 2018, complaint against the PFSA
decision to Provincial Administrative Court (hereinafter the “PAC”). On June 6, 2019, the PAC dismissed the Company's
plaint against the Commission's decision to impose a financial fine in the amount of PLN 9.9 million. The Court
decision is not legally binding yet. After delivery by PAC a copy of the ruling along with its justification, the Company's
Management Board decided to lodge a final cassation appeal to Supreme Administrative Court, which was lodged on
August 16, 2019.
• By letter dated July 16, 2019, the French supervisory authority, AMF, informed about initiation of control at the
Company’s French branch pursuant to Article L.621-9 of the French Monetary and Financial Code in order to verify
if the Company respects professional obligations. On July 19, 2019, inspection activities were initiated by AMF. The
control was a comprehensive assessment of activity of the Company's branch in France, among others, based on the
regulations of the MiFID II Directive, MIFIR Regulations, the European Securities and Markets Authority (ESMA)
requirements and the French anti-corruption law Sapin II.
On February 10, 2020, the Company received a control report indicating that the inspectors found irregularities and
deficiencies in the implementation and enforcement of the applicable laws and regulations by the Company’s branch
in France, in the response to which on March 9, 2020 the Company lodged substantiated objections in accordance
with the provisions in force. In a letter of October 9, 2020, the Company was notified of the commencement of
administrative proceeding initiated by AMF, with regard to the irregularities detected during the AMF’s inspection at
the Company's branch in France. The Company was requested to present its position regarding the detected
irregularities and the conducted implementations resulting from the protocol of February 10, 2020. The Company
submitted its clarification in a letter dated November 20
th
2020. Administrative proceeding conducted by AMF may
lead to the imposition of penalties or other sanctions on the Company under the AMF supervisory powers.
• In a letter dated March 30, 2020, the German pension insurance institution, Deutsche Rentenversicherung, informed
about the initiation of an inspection in the German branch of the Company starting from April 21, 2020 under paragraph
28p of the fourth book of the German Social Code (SGB IV). The subject of control was,
inter alia
, (i) correctness of
contributions and social security reports, including adequate security in the event of the insolvency of loan
agreements, fees under the Act on reimbursement of expenses and write-offs due to insolvency for the period from 1
January 2016 to 31 December 2019 (ii ) determination of salaries subject to accident insurance and their allocation to
individual risk points for a given insurer for the period from 1 January 2016 to 31 December 2019 (iii) taxes,
contributions and reporting obligations under the Act on social insurance for artists (in German: Künstlersozialkasse)
for the period from 1 January 2016 to 31 December 2019. On December 21
st
, 2020, the control protocol with the
administrative decision on the completion of the control was received in writing by the Company's Branch. According
to the letter in question, the inspection did not find any violations that would result in recommendations. The only
detected breach concerned the overpayment of benefits to the artists' social insurance fund in accordance with § 28p
1a SGB IV for the period 2016-2019, which will result in the reimbursement of overpaid contributions to the Company's
Branch.
• As part of exercising supervisory powers, in a letter of May 29, 2020, the PFSA announced the initiation of an inspection
starting from June 1, 2020. The subject of the inspection was to check whether the Company's operations comply
with the law, regulations, conditions set out in permits and fair trading principles or the interests of the principals. The
scope of the control covered the technical and organizational conditions of the business. On September 23, 2020, the
Company received a control protocol in which the inspectors indicated two violations of the law. The Company,
referring to the control protocol, undertook to exercise due diligence in order to eliminate the identified irregularities
and also submitted reservations to the protocol. On November 12
th
, 2020, the Company received a letter in which the
PFSA did not take into account the objections raised by the Company and on the same day a letter with three
recommendations for implementation within a 30-day period. However, it cannot be excluded that the identified by
PFSA irregularities in the Company's operations, may constitute the basis for,
inter alia
, initiation of administrative