Risk Management Policy
Risk Management Policy
Risk Management Policy
ADOPTED
BY
FOR
NSE/BSE/MCX-SX/USE
IN
CASH/FNO/CURRENCY SEGMENT
RISK MANAGEMENT POLICY
Excel Mercantile Pvt. Ltd. (EMPL) has introduced sound Risk Management Policies to provide
hassle free trading / investment facility to the registered clients. Risk Management Policies are
formulated to take care of the interests of both clients and the Company. Risk Management being an
ongoing exercise is reviewed periodically and necessary steps are initiated in this direction. Risk
Management Measures followed by EMPL are detailed below:
Trading account opened shall be in inactive mode till the client makes a request over dedicated
telephone no. to EMPL for activation of the same. EMPL may at any time temporarily suspend the
trading account of the client based on the written request received in this regard from the client.
Where the client has requested for temporary suspension of the account, no trades shall be permitted
in such account. To reactivate such suspended accounts, Client is required to make a written request
to EMPL. Before reactivating such accounts EMPL may ask the client to provide for financial
statement or other documents as it deems fit and reactivation shall be solely at the discretion of
EMPL.
EMPL may suspend the accounts from trading on notices received from Statutory, Government or
Local Bodies, Income Tax, Judicial or a Quasi-Judicial authority, Regulators etc. or client reported to
have expired.
For closure of the trading account, the client is required to submit a written request to EMPL. EMPL
shall examine the same in the light of the compliance requirements, pending queries, security / funds
dues if any from the client. The account shall be closed after the necessary approvals as above and
after the notice period as decided by EMPL as per the terms of the agreement and regulatory
requirements from time to time.
Exposure is permitted based on the funds / securities put on hold by the client through the portal / the
dealer in the account linked to the trading account or based on the deposits, balances and collaterals
available. EMPL also permits exposure to the clients to the tune of value of sale proceeds of T day
under the delivery based trading product. Unused exposure on account of such value of sale proceeds
is carried forward till T+ 2 day. Mark to Market loss if any shall be reduced from the available
exposure of the client.
CASH SEGMENT:
EMPL stipulates 100% margin by way of hold on funds for the value of buy orders and hold of
securities to the extent of sale order for delivery trades. For non delivery (Intraday) trades EMPL
provides exposure based on the multiple of fund put on hold for both buy and sell orders. However,
for trades under BTST (Buy Today Sell Tomorrow) no separate margins are stipulated by EMPL as
the client has already paid the full value of share under delivery trade. Leveraged exposures are
provided to the clients at the sole discretion of EMPL and is subject to change based on the market
conditions and client profile.
FNO SEGMENT:
Clients are required to provide Initial Margin i.e. SPAN Margin and Exposure as stipulated by NSE,
MCX-SX, USE and an additional margin as decided by EMPL from time to time and Margin Report
Statement of Initial /Exposure Margin for FNO will be sent to client on daily basis by way of courier
with Contract Notes. Clients are required to provide the margins as stipulated above for both buy and
sell of Future contracts and for Sell / Writing of Options. The premium on purchase of options is
recovered upfront by way of available balance in the form of hold in bank accounts or
credit in the account maintained with EMPL.
CDS SEGMENT:
Clients are required to provide Initial Margin i.e. SPAN Margin and Extreme Loss Margin as
stipulated by NSE/MCX-SX/USE and an additional margin as decided by EMPL from time to time
and Margin Report Statement of Initial /Exposure Margin for FNO will be sent to client on daily
basis by way of courier with Contract Notes. Clients are required to provide the margins as stipulated
above for both buy and sell of Future contracts.
EMPL shall have the absolute discretion to restrict its clients from placing buy or sell orders in
Penny / illiquid stocks inspite of client providing adequate hold of funds, Margin / balance in his / her
/ its account. To this end EMPL, may at its discretion accept and /or refuse any buy or sell order for
penny / illiquid stocks from clients over phone. EMPL at its sole discretion, introduce online blocks
to restrict clients from order placement in such penny / illiquid stocks through the online trading
portal. EMPL may seek declarations from the clients before accepting such orders. EMPL may
place such restrictions at the beginning or in between the market hours notwithstanding the client has
/ had previously purchased and / or sold such scrip / contracts through EMPL itself in the past.
Further, client while placing buy or sell order for penny stocks / illiquid stocks shall not specify the
price which is substantially different from the then existing market price. Client must ensure that
placing of such orders doesn’t result in creation of artificial bid / offer / volume or misleading or
false appearance of trading. Client shall also ensure that their trading in penny stocks doesn’t operate
as a device to inflate or depress or cause fluctuations in the price of such stocks. EMPL may at its
discretion, restrict intraday trading in such illiquid / penny stocks and also does not make available
far month future / option contracts for trading in FNO segment of NSE. EMPL at its sole discretion
may restrict order placement in any other contracts or scrip which are extremely volatile and / or
subject to market manipulations.
EMPL at its discretion may cancel the pending orders in full or pending portion of the partly
executed orders placed by the clients / dealers in respect of such illiquid / penny stocks. EMPL shall
not be responsible for any opportunity loss or financial loss to the client consequent to non
acceptance or cancellation of the pending orders. Further, the client shall indemnify EMPL for any
loss caused / may cause to EMPL on account of client’s trading in penny / illiquid stocks.
E. INTERNAL SHORTAGE:
There is a possibility that the delivery shortage of one client is compensated by the long position of
other client of the Company. In such case the shortage will be an internal shortage and shall not be
auctioned on the Exchange as the settlement takes place after netting out the position of all clients
across the Trading Member. Client hereby agrees that if he/she/it has short delivered any securities
against his/her/its pay in obligation which resulted into internal shortage and could not be auctioned
in the market, then EMPL may either go in for a Self Auction on BSE or close the transaction at and
the closeout price will be 10% above, the closing price on the auction day or closing price of trading
day or the settlement day whichever is higher. EMPL may revise the percentage from time to time.
In case of purchaser he/she/it will receive a credit the amount calculated as per the above formula.
EMPL may resort to any other method of settlement of transaction if it is mutually agreed by both
the parties and EMPL. Decision of EMPL in the matter shall be final and binding upon both the
parties.
Following are the basic risks involved in trading on the Stock Exchanges in Equity and other
Instruments, which the clients should be aware before commencing the trade / operation of the
trading account.
Risk of Higher Volatility:
Volatility refers to the dynamic changes in price that securities / F&O Contracts / Currency
Derivatives Contracts undergo when trading activity continues on the Stock Exchange. Generally,
higher the volatility of a security/contract, greater is its price swings. There may be normally greater
volatility in thinly traded securities/contracts than in active securities/contracts. As a result of
volatility, order may only be partially executed or not executed at all, or the price at which order got
executed may be substantially different from the last traded price or change substantially thereafter,
resulting in notional or real losses.
Risk-reducing orders:
Most Exchanges have a facility for investors to place “limit orders”, “stop loss orders” etc”. The
placing of such orders (e.g., “stop loss” orders, or “limit” orders) which are intended to limit losses to
certain amounts may not be effective many a time because rapid movement in market conditions may
make it impossible to execute such orders.
1. “Market” order will be executed promptly, subject to availability of orders on opposite side,
without regard to price and that, while the customer may receive a prompt execution of a “market”
order, the execution may be at available prices of outstanding orders, which satisfy the order
quantity, on price time priority. It may be understood that these prices may be significantly different
from the last traded price or the best price in that security.
2. “Limit” order will be executed only at the “limit” price specified for the order or a better price.
However, while the customer receives price protection, there is a possibility that the order may not be
executed at all.
3. “Stop Loss” order is generally placed “away” from the current price of a stock / contract, and such
order gets activated if and when the stock / contract reaches, or trades through, the stop price. Sell
stop orders are entered ordinarily below the current price, and buy stop orders are entered ordinarily
above the current price. When the stock reaches the pre-determined price, or trades through such
price, the stop loss order converts to a market/limit order and is executed at the limit or better. There
is no assurance therefore that the limit order will be executable since a stock / contract might
penetrate the pre-determined price, in which case, the risk of such order not getting executed arises,
just as with a regular limit order.
Risk of Rumours:
Rumours about companies at times float in the market through word of mouth, newspapers, websites
or news agencies, etc. The investors should be wary of and should desist from acting on rumours.
System Risk:
High volume trading will frequently occur at the market opening and before market close. Such high
volumes may also occur at any point in the day. These may cause delays in order execution or
confirmation. During periods of volatility, on account of market participants continuously modifying
their order quantity or prices or placing fresh orders, there may be delays in order execution and its
confirmations. Under certain market conditions, it may be difficult or impossible to liquidate a
position in the market at a reasonable price or at all, when there are no outstanding orders either on
the buy side or the sell side, or if trading is halted in a security / contract due to any action on account
of unusual trading activity or stock hitting circuit filters or for any other reason.
System/Network Congestion:
Trading on NSE/BSE/MCX-SX/USE is in electronic mode, based on satellite/leased line based
communications, combination of technologies and computer systems to place and route orders. Thus,
there exists a possibility of communication failure or system problems or slow or delayed response
from system or trading halt, or any such other problem/glitch whereby not being able to establish
access to the trading system/network, which may be beyond the control of and may result in delay in
processing or not processing buy or sell orders either in part or in full. Clients are cautioned to note
that although these problems may be temporary in nature, clients having outstanding open positions
or unexecuted orders, these represent a risk because of their obligations to settle all executed
transactions.
As far as Futures and Options segment and Currency Derivatives Segment are concerned,
Client shall get acquainted with the following additional features: -
Effect of “Leverage” or “Gearing” The amount of margin is small relative to the value of the
derivatives contract so the transactions are ‘leveraged’ or ‘geared’. Derivatives trading, which is
conducted with a relatively small amount of margin, provides the possibility of great profit or loss in
comparison with the principal investment amount. But transactions in derivatives carry a high degree
of risk.
Therefore the client should completely understand the following statements before actually trading in
derivatives trading and also trade with caution while taking into account one’s circumstances,
Financial resources, etc. If the prices move adversely to the position of the client, then the client may
Lose a part of or whole margin equivalent to the principal investment amount in a relatively short
period of time. Moreover, the loss may exceed the original margin amount.
Futures trading involve daily settlement of all positions. Every day the open positions are marked to
market based on the closing level of the index / F&O Contract / Currency Derivatives Contract.
Based on the movement of the index / price of underlying client will be required to deposit the
amount of loss (notional) resulting from such movement. This margin will have to be paid within a
stipulated time frame, generally before commencement of trading next day.
If client fails to deposit the additional margin by the deadline or if an outstanding debt occurs in
client’s account, EMPL may liquidate a part of or the whole position or substitute securities. In this
case, Client will be liable for any losses incurred due to such close-outs.
Under certain market conditions, an investor may find it difficult or impossible to execute
transactions. For example, this situation can occur due to factors such as illiquidity i.e. when there
are insufficient bids or offers or suspension of trading due to price limit or circuit breakers etc.
In order to maintain market stability, the following steps may be adopted: changes in the margin rate,
increases in the cash margin rate or others. These new measures may also be applied to the existing
open interests. In such conditions, client will be required to put up additional margins or reduce
positions. Client must ask EMPL to provide the full details of the derivatives contracts which he /
she / it plans to trade i.e. the contract specifications and the associated obligations.
Collections of Funds:-
Cash will not be accepted under any circumstances except cheque bouncing.
Collection of cheques from clients must be done by T+2 days except clients who have authorized us
to have running account balance.