Key dates
5 October 2021
Product issuers and distributors will be subject to a new ‘Design and Distribution Obligations’ (DDO) regime
This site is for financial adviser use only.
You can now find our Target Market Determinations at zurich.com.au/tmd
From 5 October 2021, product issuers and distributors across many financial product categories - including life insurance and managed funds - will be subject to a new ‘Design and Distribution Obligations’ (DDO) regime.
The essence of the DDO regime is to ensure financial products are designed for, and distributed to, the right people.
The regime imposes a range of new and significant obligations on both product issuers and distributors. Platform providers, as both product issuers and distributors, will have obligations on both fronts.
The central concept underpinning DDO is that of the target market.
Product issuers are obliged to:
Issuers and distributors must take ‘reasonable steps’ to ensure those products reach consumers in that target market.
Obligation |
Key issues |
More details |
Not engage in retail product distribution without a TMD |
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Not engage in retail product distribution where a TMD may no longer be appropriate |
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Take reasonable steps so that distribution is in accordance with the TMD |
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Collect, keep and provide distribution information |
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Report on complaints |
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Notify the issuer of any significant dealings inconsistent with the TMD |
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One of the key instruments in reinforcing suitability of products for specific classes of customers is the Target Market Determination (TMD).
Under DDO, product issuers will be required to make publicly available a TMD for each product. Depending on the type of product, a TMD may be issued for an overall product (more likely for direct-sold life insurance) or for each individual cover type, for example TPD cover or Income protection cover.
The TMD will describe the typical objectives, financial situation and needs of consumers in the target market, describe the product features, and explain why those features are likely to meet consumers’ needs. The TMD will generally also articulate time horizon, risk level, and other relevant suitability criteria. In some cases, a TMD may identify the ‘negative target market’ - those consumers for whom the product is not deemed suitable, although this is not mandatory.
While ASIC does not specify the exact format of a TMD, many insurers, including Zurich, will be reasonably aligned with the standardised templates developed by the Financial Services Council (FSC). Such standardisation should help advisers become more familiar with TMDs more quickly and will help streamline the product comparison process.
Zurich TMDs will be publicly available on the Zurich website and on other online locations. These links will be available in the product PDSs.
Distributors will be obliged to report any ‘significant dealings’ in the product to consumers falling outside the defined Target Market. RG 274 - the applicable ASIC Regulatory Guide - does not define ‘significant’ (nor does the Corporations Act) and recognises that its meaning is likely to vary between product types and issuers, depending on:
1. The proportion of consumers who are not in the target market acquiring the financial product.
2. The actual or potential risk of harm to a consumer including any financial loss;
3. The nature and extent of inconsistency
4. With insurance products, some consideration of premiums or gross income; and
5. The time period during which these dealings took place.
The TMD will also specify any events that suggest the TMD is no longer appropriate - known as ‘review triggers’ - along with the normal schedule of TMD reviews.
Importantly for distributors, the TMD will also specify when the distributor should provide information about the numbers of complaints to the issuer; and what information distributors must report to the issuer and how frequently, in order to enable the issuer to identify whether the TMD may no longer be appropriate.
While every product provider is likely to have their own requirements, we are committed to standardising processes wherever possible. To this end we are in consultation with a range of industry stakeholders about informational requirements and will provide more clarity once available.
Distributors are required to provide information regarding complaints received by the distributor in relation to the product during the reporting period specified in the TMD. This information needs to be provided within 10 business days after the end of the relevant reporting period.
The relevant reporting period is specified in the TMD. The general reporting periods are outlined below:
TMD |
Reporting frequency |
First report due |
Zurich Retail Life TMDs (Wealth Protection and Active) |
Half-yearly (end of March and September) |
For the period ending March 2022 |
Zurich Insurance-only Superannuation Plan TMDs (Wealth Protection and Active) |
Half-yearly (end of March and September) |
For the period ending March 2022 |
Zurich Direct Life Insurance TMDs |
Half-yearly (end of June and December) |
For the period ending June 2022 |
Zurich Investments TMDs |
Quarterly (end of December, March, June, September) |
For the period ending December 2021 |
Zurich Master Superannuation Fund TMDs |
Half-yearly (end of March and September) |
For the period ending March 2022 |
Zurich Financial Services Australia (Zurich) has signed onto Iress’ blockchain-based industry solution for managing its obligations under the Design and Distribution Obligations (DDO) legislation. Reports may be submitted using the chatbot here.
Distributors must notify a product issuer of a significant dealing that is not consistent with the product’s TMD within 10 business days after becoming aware. Distributors should consult with their compliance team whether a dealing is significant.
Zurich Financial Services Australia (Zurich) has signed onto Iress’ blockchain-based industry solution for managing its obligations under the Design and Distribution Obligations (DDO) legislation. Reports may be submitted using the chatbot here.
5 October 2021
Product issuers and distributors will be subject to a new ‘Design and Distribution Obligations’ (DDO) regime
5 October 2021
Product issuers and distributors will be subject to a new ‘Design and Distribution Obligations’ (DDO) regime