1. Purpose
As a licensed Category I Crypto Asset Service Provider (CASP) and financial services provider, Exclusive Advisory Services, trading as RandCrypto (“RandCrypto”, “we”, “us”), must identify and manage conflicts of interest between us, our staff, and our clients. This page summarises how we do that.
2. What we consider a conflict
A conflict of interest can arise wherever our interests, or a staff member’s interests, could influence the advice or service a client receives — for example, an incentive to favour one product, counterparty, or outcome over what best suits the client.
3. How we manage conflicts
Where reasonably possible, we structure roles and pricing so that the people quoting or executing an OTC trade do not have a personal financial stake in its size or direction beyond their ordinary remuneration. Where a conflict cannot be avoided, we manage it through internal oversight and, where appropriate, disclose it to the affected client before proceeding.
4. Third-party arrangements
If we receive a referral fee, commission, or other benefit from a third party in connection with a service we provide to you, we will disclose it to you where required by law before you are affected by it.
5. Staff dealing
Staff who could access material non-public information about client activity are subject to internal rules on their own crypto asset dealing, to prevent them from acting on it.
6. More information
This page summarises our approach in plain language; it is not our full internal conflict of interest management policy. To ask about a specific situation, or to request a copy of the full policy, contact support@randcrypto.co.za.