On an annual basis Great Point Investments Limited (the Firm) is required to provide additional disclosures around the execution venues utilised and information on the quality of execution in line with the requirements of the Regulatory Technical Standard 28 of the Markets in Financial Instruments II Regulation and as transposed into UK regulatory requirements by the Financial Conduct Authority.

The Firm takes into consideration various execution factors, which are details within its best execution policy, when placing an order. There were no close links or conflicts of interest that affected best execution during the year. All of the Firm’s clients are treated on the same basis with regards to trade execution.

The Firm monitors its adherence to the best execution policy; during the year ending December 2019 the Firm has met its obligation to achieve the best possible results for its clients on a consistent basis.