Best Execution Factors Sample Clauses

Best Execution Factors. In using its best efforts to obtain the most favorable price and execution available, the Sub-Adviser, bearing in mind at all times the Fund’s best interests, shall consider all factors it deems relevant, including by way of illustration: price; the size of the transaction; the nature of the market for the investment; the amount of the commission; the timing of the transaction taking into account market prices and trends; the reputation, experience and financial stability of the broker, dealer, or futures commission merchant involved; and the quality of service rendered by the broker, dealer or futures commission merchant in other transactions.
Best Execution Factors. The Company shall take all sufficient steps to obtain the best possible result for its Clients, taking into consideration the following factors when executing Clients’ orders. The list of factors mentioned below is not exhaustive, and the order of presentation does not reflect the importance. When specific client instructions are provided to the Company, those are taken into consideration to execute an order accordingly:
Best Execution Factors. The Company takes into account the following criteria when carrying out Clients’ orders or acting on behalf of Clients: ● The characteristics of the Client, including their classification as Retail or Professional. ● The characteristics of the Client order. ● The characteristics of the financial instruments involved. ● The characteristics of the execution venues to which the order may be directed.
Best Execution Factors. The Company shall take all reasonable steps to obtain the best possible results for its customers, nevertheless, following factors might affect executing customers orders against the Company’s quoted prices: Such orders as Sell Limit, Sell Stop and Stop Loss, Take profit for opened long position are executed at BID price. The Company’s pricefor a given CFD is calculated by reference to the price of the relevant underlying asset, which the Company obtains from third party external reference sources. The Company’s prices can be found on the Company’s website. The Company updates its prices as frequently as the limitations of technology and communications allow. The Company reviews its third party external reference sources at least daily to ensure that the data obtained continues to remain competitive. The Company will not quote any price outside the Company’s operations time. For the ECN model, prices are obtained directly from well-known brokers and banks through an electronic execution system. The Company's execution system will automatically aggregate all available liquidity and will provide to Clients the best possible prices available If the price reaches an order such as: Stop Loss, Take Profit, Buy Limit, Buy Stop, Sell Limit, or Sell Stop, these orders are instantly executed. But under certain trading conditions, it may be impossible to execute orders (Stop Loss, Take Profit, Buy Limit, Buy Stop, Sell Limit, Sell Stop) at the declared customers price. In this case the Company has the right to execute the order at the first available price. The minimum level for placing Stop Loss, Take Profit, Buy Limit, Buy Stop, Sell Limit and Sell Stop orders, for a given CFD, is specified under Contract Specifications on company‘s website.
Best Execution Factors. Where best execution applies to your transaction, we will consider a range of factors when determining the best outcome for you. Please note that certain factors may be prioritized over others in accordance with your specific instructions and/or the then prevailing market conditions, aiming at fulfilling our best execution obligations to you. Key best execution factors include the following: (a) Price (b) Costs payable by Customer as result of the execution (c) Speed of execution and settlement (d) Likelihood of execution and settlement (e) Size on the transaction (f) Nature of transaction (g) Other considerations that are relevant to execution of the order Their relative importance may vary, taking into account the following criteria: (a) Types of the customers, including the categorization of customer such as retail or otherwise. (b) Types of capital market products (eg asset class) that are the subject of that order. (c) Characteristics of the execution venues or brokers to which that order can be directed. (d) Characteristics of the customer order (eg order size or type). Generally, we consider the most important best execution factor for our Customers to be the price. There may be circumstances where the more important best execution factor is not price and therefore price is no longer the dominant factor. The above best execution factors indicate the importance of exercising appropriate judgment in the best interests of the Customer given the differing needs and requirements of each Customer and each transaction of the same Customer. During the trading process when applying consideration to each best execution factor, we will use our experience and expertise to achieve the best balance across the full range of factors where a degree of conflict exists between one factor and another. Overall, this may mean that the Bank does not always achieve the best price for every Customer transaction, but the best result that can be reasonably expected given the information available during the execution process. We follow your specific instructions when we undertake a transaction and you therefore acknowledge that your specific instructions may prevent the Bank from taking the steps that it has designed and implemented as disclosed to you in this Statement to obtain the best possible result for the execution of your order from an objective perspective. When we place and/or execute an order following your specific instructions, it would be regarded as having sati...
Best Execution Factors. In using commercially reasonable efforts to obtain for the Fund the most favorable price and execution available, the Sub-Adviser, bearing in mind at all times the Fund’s best interests, shall consider all factors it deems relevant, including, but not limited to: price; the size of the transaction; the nature of the market for the investment; the difficulty of the execution; the amount of the commission; the timing of the transaction taking into account market prices and trends; the reputation, experience and financial stability of the broker, dealer, futures commission merchant or other counterparty involved; and the quality of service rendered by the broker, dealer, futures commission merchant or other counterparty in other transactions. The Sub-Adviser shall render reports to the Adviser and/or to the Board as reasonably requested regarding commissions generated as a result of trades executed for the Fund, as well as information regarding third-party services, if any, received by the Sub-Adviser as a result of trading activity relating to the Fund with brokers and dealers.

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