Important Regulatory Notice
Please be advised that Rediecapital ltd and LendtecUK LTD are not authorised or regulated by the Financial Conduct Authority (FCA). As such, the products and services we offer are unregulated and not subject to the protections afforded by the Financial Services and
Markets Act 2000 (FSMA) or the FCA’s Consumer Credit Sourcebook (CONC).
All loans provided by Rediecapital ltd and LendtecUK LTD are strictly for business purposes only and are not intended for personal, consumer, or household use. By proceeding, the borrower confirms that funds will be used wholly or predominantly for the purposes of a business carried on, or intended to be carried on, by them.
Caution: If you secure a loan against your home or other property, you risk losing it if you do not keep up with the repayments.
Before entering into any credit agreement, we strongly recommend that you seek independent legal and financial advice to fully understand your obligations and the risks involved.
Important terms and conditions.
Terms of Business
1. Introduction
By engaging with Rediecapital ltd and LendtecUK LTD, you agree to the following Terms of Business, which govern our relationship and the services we provide.
2. Definitions
- Client: The individual or entity engaging our services.
- Services: The financial consulting and arrangement services provided by Rediecapital ltd and LendtecUK LTD in relation to specialist lending.
- Exclusivity: The Client’s commitment not to engage any other service for the identified facility during the engagement period.
- Confidential Information: Any non-public information disclosed by either party that is designated as confidential or should reasonably be considered confidential.
3. Engagement of Services
By signing this agreement, the Client appoints Rediecapital ltd or LendtecUK LTD as their exclusive finance provider for arranging lending facilities secured against assets they may own now or in the future.
4. Exclusivity
The Client agrees to grant Rediecapital ltd or LendtecUK LTD exclusivity in arranging the desired financial facilities throughout the duration of this agreement. The Client shall not engage or seek alternative services for the same facilities during this period.
5. Fees and Charges
- Non-Refundable Fees: The Client agrees to pay Rediecapital ltd or LendtecUK LTD the fees outlined in our Fee Schedule. All fees are non-refundable unless expressly stated otherwise.
- Loan Processing Costs: If a loan does not proceed after acceptance of the loan agreement or at the instruction of solicitors, the Client will be liable for the Lender’s Acceptance Fee and Solicitor’s costs.
6. Termination
Either party may terminate this agreement with written notice. All outstanding fees remain payable upon termination.
7. Governing Law
This agreement shall be governed by the laws of England, Scotland, and Wales.
8. Acceptance of Terms
By engaging our services, the Client acknowledges having read, understood, and agreed to these Terms of Business.
Redie Capital Ltd Company Registration Number: 16147624
LendtecUK LTD Company Registration Number: 16079998
Registered Address: 3rd Floor, 86-90 Paul Street, London, EC2A 4NE
Treating Customers Fairly (TCF) Policy & Procedure
1. Introduction
This policy ensures clients are treated fairly at all stages of the brokering process, aligning with Financial Conduct Authority (FCA) guidelines and regulatory standards.
2. Purpose
The purpose is to:
· Ensure fair treatment and ethical service to customers.
· Foster a culture of prioritising fair customer outcomes.
· Maintain compliance with industry regulations.
· Promote transparency, integrity, and professionalism.
1. Scope
This policy applies to all employees, brokers, and stakeholders involved in customer interactions and service delivery.
2. Key Principles
We are committed to:
· Clear Communication: Providing accurate, understandable information.
· Product Suitability: Ensuring our products and services meet customer needs.
· No Unfair Barriers: Making our products and services accessible.
· Complaint Handling: Addressing complaints efficiently and fairly.
· Ongoing Support: Ensuring clients understand their rights and responsibilities.
5. Customer Interaction Guidelines
Employees should:
· Provide clear, honest, and non-misleading information.
· Recommend services based on client needs, preferences, and risk tolerance.
· Inform clients of all costs, terms, and conditions before agreeing to services.
· Offer additional support to vulnerable customers.
6. Monitoring and Reporting
· Customer feedback is regularly analysed for improvements.
· Key performance indicators (KPIs) are used to assess fair treatment.
· Unfair treatment concerns should be reported to the Compliance Officer.
7. Complaint Handling
• Clients can submit complaints through various channels (email, phone, online forms).
· Complaints will be acknowledged within five business days, with a reference number assigned for tracking.
· The investigation will be fair and transparent.
· If unsatisfied, clients can escalate their complaint to higher management or an external authority.
8. Training and Awareness
· Regular training on TCF principles is provided to all employees.
· Training includes customer rights, transparency, and compliance.
9. Consequences of Non-Compliance
· Non-compliance may result in disciplinary action, including termination of employment or regulatory penalties.
· Non-compliance may also harm the company’s reputation and customer trust.
10. Review and Updates
This policy will be reviewed periodically to reflect changes in regulations and best practices.
Data Protection Policy & Privacy Notice
1. Introduction
This policy outlines how we collect, store, and protect client data in compliance with data privacy laws, including GDPR and other regulations.
2. Data Collection
We collect data through:
· Direct interactions (forms, emails, phone calls).
· Automated technologies (cookies, tracking tools).
· Third-party sources (partners, public records).
3. Types of Data Collected
We may collect:
· Personal Identification Data (e.g., name, contact information).
· Financial Data (e.g., payment details, transactions).
· Technical Data (e.g., IP address, browser type).
· Communication Data (e.g., emails, messages).
4. Purpose of Data Collection
Client data is collected for:
• Providing requested services.
· Managing customer relationships.
· Legal and regulatory compliance.
· Marketing, research, and business analysis.
· Enhancing security and fraud prevention.
5. Data Security
We implement strong security measures, including:
· Encryption of sensitive data.
· Secure storage systems with restricted access.
· Regular security audits and employee training.
6. Data Sharing
We do not sell client data but may share it with:
· Service providers assisting with business operations.
· Regulatory authorities when required by law.
· Business partners with client consent.
1. Data Retention
Client data is retained only as long as necessary. Once the retention period expires, it is securely deleted or anonymised.
2. Client Rights
Clients have the right to:
· Access, correct, or update their data.
· Withdraw consent for data processing.
· Request data deletion (where legally permissible).
· Lodge a complaint with data protection authorities.
1. Contact Information
For any inquiries regarding data protection, contact:
Harry Esqulant, harry@rediecapital.co.uk
2. Policy Updates
This policy may be updated periodically. Clients will be notified of significant updates.
Complaint Policy & Register
1. Purpose
This policy ensures a clear and transparent process for handling and recording client complaints, fostering continuous improvement and client trust.
2. Scope
This applies to all clients and stakeholders wishing to raise complaints.
3. Principles
We are committed to:
· Accessibility: Easy complaint submission via multiple channels.
· Fairness: Impartial and objective handling of complaints.
· Confidentiality: Protecting personal information.
· Timeliness: Addressing complaints within a reasonable timeframe.
· Continuous Improvement: Reviewing complaints to improve services.
4. Complaint Process
· Step 1: Submission via email or phone.
· Step 2: Acknowledgement within five business days.
· Step 3: Investigation by a designated complaints officer.
· Step 4: Resolution within a set timeframe, with written response provided.
· Step 5: Closure and documentation in the Complaints Register.
5. Complaints Register
The Complaints Register records:
• Reference number, date, complainant’s details (if provided), nature of the complaint, actions taken, resolution status, and date of closure.
1. Monitoring & Review
Complaints will be analysed periodically to identify trends and improvements. This policy will be reviewed annually.
2. Contact Information
For inquiries, contact:
Redie Capital Ltd, 3rd Floor, 86-90 Paul Street, London, EC2A 4NE