Pensions  

How to engage with clients on a retirement pathway

  • Describe the importance of investment pathways
  • Identify the tasks facing financial advisers
  • Explain the fees surrounding investment pathways
CPD
Approx.30min

The numbering, order and standardised objectives of the four pathway options are mandatory for non-advised providers.  The explanatory text and solutions types are not.  In the table below, we also include our summary label for each option that may be more familiar to advisers.

 

Mandatory Wording

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Explanatory Text

Our summary label

Option 1

I have no plans to touch my money in the next 5 years

Provider determined

Stay invested

Option 2

I plan to set up a guaranteed income (annuity) within the next 5 years

Provider determined

Take annuity

Option 3

I plan to start taking a long-term income within the next 5 years

Provider determined

Drawdown

Option 4

I plan to take my money within the next 5 years

Provider determined

Lump-sum

What kind of investment solution for each Option?

Before we look at the specific investment characteristics of each investment options, it is worth considering what the requirements are regarding the price, type and format of investment solutions within a pathways context, and what this means for advisers.

Soft price cap: For all options, there is no price cap, but during the consultation, providers are expected to “challenge themselves on the level of charges they impose on investment pathways, using the charge cap on default arrangements [in workplace pension schemes] in accumulation of 0.75 per cent as a point of reference.”  So while there is no price cap, there is an anchor or point of reference.  We call this a “soft price cap”.  

What this means for advisers: for advisers, we believe a best practice retirement proposition uses investment solutions with a total cost of 0.75 per cent excluding advice.

Type agnostic: For all options there is no specification by the regulator as to what type solution (that is, type of fund or suite of funds) would be appropriate for each Option with reference to the standardised objectives. That is for providers to determine, and for their Independent Governance Committee/Governance Advisory Arrangement to oversee. There is, however, a requirement that there can only be a “single solution” per option. This means a single fund, or choice of fund from the same range of funds, per option.  

What this means for advisers: for advisers, we believe a best practice retirement proposition means limiting choice to a single highly governed investment solution for each option.  For options 2 & 4 where there is a specific liability to be met (annuity or cash) within a certain time frame, we believe a single fund solution makes sense. 

For options 1 and 3 where it is more open-ended, we believe a number of options, reflecting different risk profiles, or withdrawal profile, from the same range of funds or models, would be appropriate. 

Format agnostic: Similarly for all options, there is no specification as regards the format of product or solution in each pathway – for example single - or multi-asset active funds, or single- or multi-asset passive funds.  But for those direct-to-consumer providers which charge 0.45 per cent for their platform alone, this creates an effective OCF budget of max 0.30 per cent for the investment solutions they offer.  For direct-to-consumer providers which charge 0.15 per cent for their platform, this creates an effective OCF budget of max 0.60 per cent.

What this means for advisers: for advisers creating their retirement proposition, given platform costs can range from 0.15 per cent to 0.45 per cent, there is effectively a budget of 0.30 per cent to 0.60 per cent all-in costs for the investment solution excluding advice. This may steer towards the use of index-tracking or multi-index funds or model portfolios to achieve the required fee budget, but there are no mandatory requirements to do so.