Consumer Investments Strategy – 1 year update

Corporate documents Published: 18/10/2022 Last updated: 15/06/2023

We provide an update on our progress against the workstreams and outcomes we committed to in our Consumer Investments Strategy in September 2021.   

1. Summary of year 1 impact of the Strategy

Work delivered over the last 12 months that is already impacting the market

  • Continued progress to improve standards in the market, with approx. 1 in 7 new firm applicants in Consumer Investments prevented from entering the market (this figure has been updated following review).
  • Continued proactive supervision, with 116% more supervisory cases opened on high-risk investments (HRIs) or potential investment scams in 2021/22 (this figure has been updated following review).
  • Continued enforcement work to tackle bad actors, with £34.8m in consumer redress secured for unauthorised investment business.
  • Use of emergency powers to prevent financial advice firms, who advised members of the British Steel Pension Scheme (BSPS), from disposing of assets to avoid paying compensation.
  • Significant consumer facing work, with 1,844 consumer alerts published about unauthorised firms (a 40% increase), 59% more visitors to our ScamSmart website and the launch of our £11m InvestSmart Campaign.
  • Continued support to firms looking to launch innovative products and services through our Innovation Pathways and Regulatory Sandbox.

Work that will impact the market over the next 12 months

  • Implementation of the Consumer Duty for new and existing products and services by July 2023, with communications setting out our expectations in 2022.
  • Implementation of our strengthened financial promotions regime in February 2023.
  • Implementation of our strengthened regime to ensure authorised firms take greater responsibility for their appointed representatives from December 2022.
  • Further waves of our ScamSmart and InvestSmart campaigns.
  • Continued enforcement action, with 33 live enforcement investigations or proceedings relating to the conduct of regulated firms/individuals where consumers have invested in scams or HRIs.
  • Continued work to spot scam activity, with 100,000 websites scanned every day to identify those that appear to be scams.
  • Working with the Financial Ombudsman Service and the Financial Services Compensation Scheme to ensure consumers receive redress for self-invested personal pension (SIPP) advice failings as quickly as possible.
  • Continued use of data to identify high risk advice firms that offer advice on defined benefit pension transfers or on investing in non-standard investments within SIPPs.

Progress on longer term changes to the market

  • We will consult on a more proportionate advice regime for investing new money into stocks and shares ISAs in 2022.
  • We have announced our intention to conduct a wider review of the advice/guidance framework.
  • We are investigating changes to prudential requirements for non-MiFID adviser firms, to better enable them to meet their redress liabilities. We plan to set out further details on this in 2023.
  • We plan to publish a feedback statement on the review of the compensation regime.
  • We have collected data from Professional indemnity insurance (PII) providers and worked with firms to understand the extent to which the PII market is hardening and the drivers behind this.
  • Given the deteriorating economic context and the cost-of-living crisis we will continue to review the Consumer Investments Strategy and reinforce our work where we identify growing consumer harm.

 

We are publishing this 1-year update alongside our fourth Consumer Investments data review, showing our activities to protect consumers from investment harm in the period April 2021 to March 2022.

2. The consumer investment market today

The market has evolved over the last 2 years, with growth in consumer investments accounts and increases in consumers holding investments.

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The proportion of UK adults who hold investment products increased from 38% in 2020 to 41% in 2022. Ownership of individual shares and holdings in investment funds via stocks and shares ISAs remain the most common investments. However, cryptoassets saw the most significant growth in ownership from 2% to 6%.

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* Accounts opened by all firms offering retail investment services (on an execution only, advised or discretionary basis) which then go on to trade a MiFID instrument excluding European submissions.

New investment accounts increased by 11% in 2021 relative to 2020. However, they are significantly down in 2022 to date, with new investments accounts dropping by almost half (48%) in H1 2022 compared to H1 2021.

The economic context has deteriorated in 2022 along with consumers' willingness and ability to invest. Following Russia’s invasion of Ukraine, global inflationary pressures have grown sharply due to higher energy prices and other factors. Household real incomes have fallen as a result, driving a cost-of-living crisis. The household saving rate has declined and retail fund flows have turned negative. Reflecting these developments, global financial markets have been volatile in 2022.

Table 1: Deteriorating economic indicators since the Consumer Investments Strategy was published 

 

14th September 2021 

14th September 2022 

CPI inflation 

3.1% 

9.9% (August 2022) 

Quarterly GDP growth 

1.3% (Q4 2021) 

0.2% (Q2 2022) 

Bank of England base rate  

0.1% 

2.25% (current)

Consumer confidence index (Growth from Knowledge) 

-13%

-49% (September 2022) 

MSCI World Index of developed markets (MSCI)

3,126 (13th September 2021)

2,620 (13th September 2022) 

Households' saving ratio (ONS)

11.7% (Q2 2021)

7.6% (Q2 2022)

Net retail fund sales (The Investment Association)

 £19.3 bn (H2 2021)

 - £11.9bn (H1 2022)

The economic situation is expected to remain very challenging in 2023, with the Bank of England indicating that inflation will remain above 10% over the following few months. Given the risk of growing consumer harm from the cost-of-living crisis we will continue to monitor the market and reinforce our work where we identify harm.

3. Overall progress towards the outcomes

We set ourselves 4 outcomes in our Consumer Investments Strategy. Three of the outcomes targeted improvements by 2025, with the fourth by 2030. We committed to a significant work programme to deliver on these.

As it will take time to implement and see the impact of our interventions, we would not necessarily expect to see improvements in these long-term outcomes in the first year of the Strategy. There is a time lag for many of the outcome indicators. For example, current Financial Services Compensation Scheme (FSCS) costs reflect the impact of past misconduct. These outcomes are also affected by external factors, including the declining economic context.  

Overall, 3 of the outcome metrics have fallen, with 1 at risk of falling. Given this and the deteriorating economic context, we will continue to review the Consumer Investments Strategy and reinforce our work where we identify growing consumer harm. We will report again on progress in 2023.

Table 2: 1-year update on the 4 target outcomes

 

Baseline 

2022 update  

Trend 

Mainstream Investments 

55% (8.4m) of UK adults who have £10k or more investable assets hold the majority (75%+) or all in cash (Financial Lives 2020 Survey*)

58% (9.7m) of UK adults who have £10k or more investable assets hold the majority (75%+) or all in cash. Of these, 44% (4.2m) have some appetite to take investment risk (Financial Lives 2022 Survey**)  

3 percentage points increase in the proportion of UK adults who have £10k or more in investable assets who hold these mostly or all in cash in 2022, relative to 2020

Higher risk investments 

5% (2.4m) of UK adults held HRIs (cryptoassets, innovative finance ISAs, peer to peer lending or investment based crowdfunding products) in 2020 (Financial Lives 2020 Survey)

8% (4.1m) of UK adults hold these HRIs in 2022, rising to 11% (5.7m) when we include mini-bonds, contracts for difference and shares in unlisted companies. Of this 5.7m, 52% (3m) have one or more characteristics of vulnerability or their appetite for investment risk is very low (Financial Lives 2022 Survey**) 

3 percentage points increase in UK adults holding HRIs in 2022, relative to 2020

Scams & fraud 

£622m lost to investment fraud in 2020/21 (Action Fraud***)

£914m lost to investment fraud in 2021/22 (Action Fraud) 

47% increase in losses to investment fraud in 2021/22 relative to 2020/21  

Consumer Redress 

£454m compensation paid in 2020/21 (£131m for Investment Provision and £323m for Life Distribution & Investment Intermediation)

£385m compensation paid in 2021/22 (£122m for IP and £263m for LDII) 

15% decrease in LDII and IP compensation costs in 2021/22 relative to 2020/21

* Financial Lives data on the proportion of Investible Assets held in cash is calculated by comparing the amount of money each adult holds in cash savings products to the amount they hold in investment products (based on the current market value). Some adults did not tell us their cash and/or investment values, but rather their overall level of investible assets. These adults have been excluded from this analysis. As a result, population estimates (the number of adults in millions) are likely to be an under-estimate of the actual population.

** We ask survey respondents how willing they are to take risk when investing, on a scale of 0-10. We say people who scored themselves 4 or more have some appetite to take investment risk; people who scored themselves 0-3 have “very low” appetite.

***Action Fraud figures were obtained from the City of London Police, and are based on the data reported in the National Fraud Intelligence Bureau (NFIB) Fraud and Cyber Crime Dashboard for the following fraud codes: Pension Liberation Fraud, Fraud Recovery, Share Sales & Boiler Room Fraud, Pyramid or Ponzi Schemes and Other Financial Investment. These figures are based on reports by victims and the losses have not been verified.

3.1. Outcome 1: Mainstream Investments

Outcome 

20% reduction in number of consumers with higher risk tolerance holding over £10k entirely or over 75% in cash by 2025.

Update on the Strategy workstreams  

In our Consumer Investments Strategy, we committed to deliver the Consumer Duty, make it easier for firms to support consumers to invest in straightforward products and to improve consumer pension outcomes.

Improving consumer investment outcomes: In July, we published final rules for the new Consumer Duty alongside guidance to support firms to implement it. The Duty consists of a new Principle 12 of the FCA Principles for Businesses (a firm must act to deliver good outcomes for retail customers), supported by cross-cutting rules and rules on the 4 outcomes we want to see.

The Consumer Duty will help enable good consumer investment outcomes in several ways. This includes improving firms’ focus on appropriate target markets and providing support that meets their customers’ needs. Firms have until 31 July 2023 to comply with the Duty for new and existing products and services. They have until 31 July 2024 to comply for products and services which are no longer open to new customers (or for renewal). We will communicate with consumer investment firms later this year to set out our expectations.  

Giving consumers the confidence to invest: We will consult in 2022 on new rules and guidance for when firms provide advice to retail clients when investing new money into stocks and shares ISAs. This will set out a more proportionate regulatory regime for this advice area, providing greater clarity on firms’ suitability obligations, flexibility on how firms charge for their services and amended staff training and competence requirements. Our aim is to make it more cost-effective for firms to develop advisory services for consumers who might benefit from investing, while retaining appropriate consumer safeguards and limiting exposure to higher risk investments within an ISA using core ISA advice. We have also announced our intention to conduct a wider review of the advice/guidance framework.

We have also continued to provide support to firms looking to launch innovative products and services through our Innovation Pathways and Regulatory Sandbox. In 2021 these included firms seeking to filter consumers into funds matching their risk profiles and those providing robo-advice. 

Improving consumer pensions outcomes: Our Stronger Nudge rules came into force in June. They require pension providers to refer consumers to Pension Wise guidance, explain the purpose of this guidance and offer to book the consumer an appointment. We published feedback to our Call for Input on engaging consumers throughout their pensions journey. Building on this work and our close working relationship with the Pensions Regulator (TPR), we will publish an update to our 2018 joint regulatory strategy later this year outlining our joint work to improve pension outcomes.

Update on the outcome

Table 3: Outcome metrics

 

 

 2020  

 2021  

 2022  

 2020 - 2022 percentage point change  

Proportion of UK adults with £10k or more in investible assets, who hold the majority or all in cash (Financial Lives Survey)  

55% (8.4m)

N/A

58% (9.7m)

Up 3 percentage points (up 1.3m)

Proportion of these adults who have some appetite to take investment risk (Financial Lives Survey) 

N/A

N/A

44% (4.2m)

N/A

Proportion of these adults who have some appetite to take risk generally (Financial Lives Survey)

59% (5.0m)

N/A

58% (5.7m)

Down 1 percentage point (up 0.7m)

Proportion of UK adults who received advice in the previous 12 months (Financial Lives Survey) 

8% (4.1m)

N/A  

8% (4.4m)

Flat  

Among consumers with £10,000 or more of investible assets, 58% (9.7m UK adults) held the majority (75%+) or all of this in cash in 2022. Of these over two-fifths (4.2m UK adults) said they had some appetite to take risk when investing.

Accessing the right support is crucial to enabling consumers to make investment decisions. Three-quarters of consumers indicate they would not be comfortable deciding where they invest (72%) or managing their investments (73%) without support from an expert or other guidance.

However, advice is not reaching all parts of the market, with the proportion of the adult population taking advice remaining flat. 8% had taken advice in the previous 12 months in 2022 - the same as in 2020.  

Overall, consumers are still not getting the advice or support they need to invest with confidence and some who have an appetite to invest long-term are failing to consider the opportunities from investing. The cost-of-living crisis and investment volatility may weigh on consumers ability and appetite to invest in 2023. High inflation will also reduce the value of savings held as cash.

3.2. Outcome 2: Higher Risk Investments (HRIs)

Outcome

Reduce the number of consumers investing in HRIs who indicate a low risk tolerance or demonstrate one or more characteristics of vulnerability by 50% by 2025.

Update on the Strategy workstreams  

In our Consumer Investments Strategy, we committed to strengthen the financial promotion regime, launch our InvestSmart communications campaign and continue to use our regulatory toolkit to protect consumers from harm.  

Strengthening the financial promotions regime: We published new rules in August 2022 to strengthen our financial promotion rules for HRIs and firms approving financial promotions. These changes include rationalising the classification of HRIs, introducing friction into the consumer’s journey into HRIs and increasing the requirements on firms who approve financial promotions. The new regime will have full effect from 1st February 2023, with some rules coming into force in December 2022. This policy statement does not cover our proposed rules for cryptoasset promotions. We will make final rules for cryptoasset promotions once the relevant enabling legislation has been made by the Treasury.

InvestSmart advertising campaign: We launched our InvestSmart campaign in October 2021, a 5-year, £11m campaign aimed at helping consumers make better-informed investment decisions. This campaign is targeted at inexperienced investors who are more likely to invest in HRIs, driven by social media and investment hype. We have worked with influencers and advertised to our target audience using social media, search engines and online video placements. Our advertising has driven over 50,000 people to the InvestSmart homepage. 

Deploying our regulatory toolkit: As outlined in our Consumer Investments Data Review 2021/22 we have continued to focus our regulatory resources on acting against firms and individuals who cause consumer harm.

  • Preventing harm at the gateway: 1 in 7 new consumer investments firm applications were either withdrawn or rejected because they could not demonstrate they could meet minimum standards on an ongoing basis (this figure has been updated following review).
  • Regulatory oversight of the market: We opened 2,215 supervisory cases involving HRIs or potential investment scams in 2021/22, a 116% increase on 2020/21. 649 of these cases related to potentially unregistered cryptoasset business (these figures have been updated following review).   
  • Acting against firms and individuals who cause consumer harm: Over 2021/22 we secured £34.8m in consumer redress for unauthorised investment business and published 1,844 consumer alerts about unauthorised firms and individuals. We also took action that led to 39 Voluntary Applications for Imposition of Requirements (VREQs) and imposed 22 Own Initiative Imposition of Requirements (OIREQs), double the amount in 2020/21.
  • Providing direct consumer support through our Consumer Helpline: In 2021/22, we received nearly 105,000 enquiries from consumers, with nearly 20% about possible investment scams.  

Update on the outcome

Table 4: Outcome metrics

 

  

2020  

  

2021  

  

2022  

 2020 - 2022 % point change

Proportion of UK adults holding cryptoassets, P2P lending, Innovative Finance ISAs, investment based crowdfunding (Financial Lives Survey)

 5% (2.4m)

 N/A  

 8% (4.1m)

Up 3 percentage points (Up 1.7m)

Proportion of UK adults holding these investments who have one or more characteristics of vulnerability or have very low general risk tolerance (Financial Lives Survey)

42% (1m)

N/A

41% (1.6m)

Down 1 percentage point (Up 0.6m)

Proportion of UK adults holding cryptoassets, P2P lending, Innovative Finance ISAs, investment-based crowdfunding, CFDs, shares in unlisted companies, mini-bonds (Financial Lives Survey)

N/A

N/A

11% (5.7m)

N/A

Proportion of UK adults holding these investments who have one or more characteristics of vulnerability or have low or no appetite for investment risk (Financial Lives Survey)

N/A

N/A

52% (3.0m)

N/A

Ownership of HRIs has grown, with 8% of the adult population now holding cryptoassets, P2P (peer-to-peer) lending, Innovative Finance ISAs and/or investment-based crowdfunding according to our Financial Lives survey (FLS). We measured ownership of CFDs, shares in unlisted companies and mini bonds in 2022 for the first time. When these are included, 5.7m UK adults hold HRIs. Of this 11%, over half (3m UK adults) demonstrated one or more characteristics of vulnerability or had a low appetite for investment risk.

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While ownership of HRIs has increased significantly, FLS data indicates many consumers only hold small amounts in HRIs. Among UK adults who held HRIs, 67% held less than 10% of their money in HRIs. HMRC analysis of ownership of cryptoassets also shows us that 53% of owners hold under £1,000.

However, BritainThinks research in 2021 found that nearly 6 in 10 (59%) new (those who have invested for less than three years) non-advised investors who invested in HRIs said a significant investment loss would have a fundamental, negative impact on their current or future lifestyle. Ownership is also higher among younger age groups (16% of 25–34 year-olds hold HRIs vs 11% for the adult population as a whole) and men (16% of men hold HRIs vs 6% of women), indicating risk may be higher among some groups.

Overall, ownership of HRIs has grown both among the general adult population and among consumers who have low risk tolerance and/or demonstrate the characteristics of vulnerability. In the future, cost-of-living pressures may decrease demand for HRIs. On the other hand, declines in mainstream investment markets and income pressures may drive more consumers to seek higher returns through HRIs. We will monitor this, take action where needed and report on these trends again next year, to assess whether this increase in ownership has been sustained.  

3.3. Outcome 3: Scams and Fraud

Outcome

Slow the growth in investment fraud victims and losses.

Update on the Strategy workstreams  

In our Consumer Investments Strategy, we committed to continue to tackle scams and fraud through our targeted ScamSmart campaigns, our information-sharing and cooperation with external partners and our work to disrupt unauthorised businesses. 

Using our regulatory toolkit: We have continued to act against firms and individuals which are not authorised or exempt under FSMA but who carry on regulated activities. Many firms and individuals carrying on unauthorised activity are likely to be scam firms and involved in some aspect of investment fraud.  

Table 5: Action against unauthorised firms and individuals

 

2020/21 

2021/22 

Reports of potential unauthorised business 

30,493 

29,848 

Consumer alerts published 

1,317 

1,844 

ScamSmart consumer campaign: We have continued our ScamSmart campaign, increasing the use of our consumer protection resources by 59% in 2021/22.  As well as helping consumers spot and avoid scams and scam firms, our website Warning List tool also provides intelligence on scam trends to inform our work, eg type of investment offered, method of approach etc.

Table 6: ScamSmart visitors

 

2020/21 

2021/22 

Unique visitors to the ScamSmart website 

108,897 

173,199 

Visitors who checked a potential investment  

23,841 

26,553 

Visitors who searched for a firm on the warning list

23,921

26,322 

Tackling scams faster as part of our data strategy: We are using data to tackle online fraud faster by scanning approximately 100,000 websites created every day to identify those that appear to be scams. Where we identify fraudulent websites, we are proactive in asking the website host to shut them down, though we do not have the powers to require this. In 2021/22, we added 1,844 possible scams to our consumer warning list – 40% more than during the same period the previous year. 

Making reducing financial crime a business priority: Given the significant growth in scam and fraud activity, we announced in our 3-year strategy that reducing financial crime would be one of our strategic commitments across all sectors. Stopping financial crime requires a collective effort – from us, regulated firms, Government, law enforcement and our regulatory partners. We will continue to work closely with our partners – in the UK and internationally – to drive a whole-system response to stopping and preventing financial crime. 

Update on the outcome

Table 7: Outcome metrics

​ 

​2020/21

​2021/22

​YoY % change

FCA consumer helpline – Enquiries about possible investment scams

16,406​ 

​ 19,370 

​ Up 18%​ 

Action Fraud* – Investment fraud reported volumes​ 

24,641

28,064

Up 14%​

Action Fraud – Investment fraud losses

£622m

£914m

Up 47%

UK Finance – investment scam cases ​ 

​ 8,181​   (2020) 

​ 12,074​   (2021​) 

​ Up 48%​ 

UK Finance – Investment Scams losses​ 

​ £109.4m (2020)​ 

​ £171.7m (2021​) 

​ Up 57%​ 

*Action Fraud figures were obtained from the City of London Police, and are based on the data reported in the National Fraud Intelligence Bureau (NFIB) Fraud and Cyber Crime Dashboard for the following fraud codes: Pension Liberation Fraud, Fraud Recovery, Share Sales & Boiler Room Fraud, Pyramid or Ponzi Schemes and Other Financial Investment. These figures are based on reports by victims and the losses have not been verified.

All scam indicators are subject to uncertainty and reporting errors. However, the trend is clear - investment scam activity continues to grow significantly with volumes, losses and enquires to our Consumer helpline all rising. This outcome is deteriorating, and it will require a whole-system response to stop this trend.

UK Finance reported a 48% growth in investment scam cases among its members in 2021, with investment scam losses increasing by 57%. Action Fraud reports show a 14% increase in consumers reporting they had been victim of fraud in 2021/22, with reported losses increasing by 47%. 

Reports of possible investment scams to our consumer helpline also grew by 18% in 2021/22 with almost 19,500 calls received, continuing a year-on-year increase. We received over 36,000 enquiries about possible scams in total.

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3.4. Outcome 4: Consumer Redress

Outcome

Act to stabilise the FSCS Life Distribution & Investment Intermediation (LDII) and Investment Provision (IP) funding classes by 2025 and target a year-on-year reduction in these classes from 2025 to 2030.

Update on the Strategy workstreams  

In our Consumer Investments Strategy, we committed to address the drivers of redress costs, investigate changes to capital requirements for adviser firms, review the compensation regime, address misuse of the Appointed Representatives regime and respond to changes in the PII market.

Addressing the pension issues driving FSCS costs: FSCS compensation costs are primarily driven by 2 key issues – past failings in firms’ due diligence around non-standard assets held in SIPPs and unsuitable Defined Benefit (DB) pension transfer advice.

We have undertaken significant work to clear up these issues. We used emergency powers to prevent financial advice firms, who advised members of the British Steel Pension Scheme (BSPS), from disposing of assets to avoid paying compensation. On SIPPs, we are working with the Financial Ombudsman Service and FSCS to ensure consumers receive redress as quickly as possible.

We are also focused on preventing future harm:

  • On DB pensions advice, we are using data to identify high-risk firms and target our supervisory action. We also work with TPR to identify any problems with occupational schemes which might result in customers being advised to transfer out so that we can take action with the relevant advisers (eg our P&O warning).  
  • On SIPPs, we continue to use data to identify firms that offer NSIs and assess the due diligence they have conducted on recent business. We take action to restrict their business and retain assets where we find shortcomings.  

Investigating changes to prudential requirements for non-MiFID adviser firms: We have continued our work to review the prudential regime for non-MIFID investment advisers. This work aims to ensure that firms that create redress liabilities are better able to pay them. In doing so we are seeking to promote access to suitable advice and reduce the burden of the FSCS bill on the broader adviser population. We plan to set out further details on this next year, as we explore solutions to the key drivers of harm in the market.

Reviewing the compensation framework: We published a discussion paper in December 2021 on our compensation framework to get views on how to ensure it remains proportionate and appropriate. We plan to publish a Feedback Statement in due course.  

Addressing misuse of the Appointed Representatives (AR) regime: We confirmed new rules and guidance to clarify and strengthen the expectations of authorised firms in relation to their ARs. The changes are intended to improve principals’ oversight of ARs and require principals to provide us with more information on their ARs, allowing us to spot risks more quickly. 

Addressing the hardening of the PII market: We have been undertaking analysis of the PII market. This includes collecting data from PII providers and working with firms to understand the extent to which the PII market is hardening. Any findings will inform our work going forward. We have paused working with firms to better enable them to demonstrate good advice given as a way of reducing their PII premiums while this analysis is underway, to provide a more meaningful response to any issues it identifies.

Update on the outcome

Table 8: Outcome metrics

​ 

2020/21 

2021/22​ 

2022/23 (forecast May 2022 Outlook)​ 

YoY % change (2020/21 – 2021/22)

FSCS Total LDII & IP​ compensation costs paid to consumers

£454m

£385m

£446m

Down 15%​  

FSCS Life Distribution & Investment Intermediation (LDII)​ compensation costs paid to consumers

​ 

​£323m​ 

​ 

​£263m​ 

​ 

​£308m​ 

​ 

​Down 19%​ 

​ 

FSCS Investment Provision (IP) compensation costs paid to consumers ​ 

​ 

£131m​ 

​ 

£122m​ 

​ 

£138m​ 

​ 

Down 7%​ 

FSCS costs for investment business declined by 15% in 2021/22 relative to 2020/21. However, the FSCS forecast in its May 2022 outlook that compensation costs will rise by 16% in 2022/23. The reduction in levy costs in 2021/22 was partly because FSCS received fewer claims about self-invested personal pension (SIPP) operators than expected in 2021/22 as FSCS continued to wait on decisions from the Financial Ombudsman Service. Once these decisions are made, FSCS expects this to lead to several SIPP operators’ firms failing. The FSCS also indicated that some claims about pension transfer advice are expected to arise later than expected, with some costs falling to 2023/24.  

SIPPs and other pensions claims contributed 86% of LDII and IP compensation costs in 2021/22, with only £37m of compensation costs for general investment advice in 2021/22. Therefore, our supervisory actions to clear up these issues should help stabilise the redress costs. However, current costs relate to past misconduct, meaning past cases will need to come through the system before redress costs stabilise.

The PII market is also facing challenges. For many policyholders, rates have been increasing, it has become more difficult to renew policies and changes in terms are being introduced. For insurers, claims have been increasing, leading to changing risk appetite for higher-risk activities.

Therefore, while compensation costs decreased in 2021/22, costs could increase in future years. The FSCS will publish its next Outlook later this year which will provide an update to its levy forecast for 2022/23 and its initial view on 2023/24.

4. Future reporting

Our plans for future reporting 

We are rightly accountable for our work to protect consumers. We will report on progress of the Strategy again in 2023. We will also continue to publish our Consumer Investments data review which provides transparency about our activities. Our fourth review covering April 2021 to March 2022 is published alongside this strategy update. We have previously published this bi-annually, going forward we will publish this annually to better align with our annual reporting cycle. 

Improvements to our outcome data

This is the first time we have sought to measure ourselves against specific outcome metrics. As a data led regulator, we continually look to improve the way we measure our target outcomes. We are making the following changes to our outcome baselines to improve our ability to track them over the long term.

  • Mainstream investments: In our last publication, we said there were 8.6m consumers with £10k or more investable assets in cash. This referred to consumers holding the majority or all of this in cash and this has been revised to 8.4m. Our FLS data now enables us to capture those consumers who have no, low, medium or high willingness to take investment risk. Going forward, we will be measuring consumers who hold over £10k investable assets entirely or over 75% in cash and have some appetite to take investment risk. 
  • Higher risk investments: In our last publication, we said 6% of adults were invested in HRIs during the pandemic; this was a reference to the proportion of adults who held investments at the end of February 2020 and went on to increase their holdings or invest for the first time in HRIs (0.8m, not 3.15m as stated). As this question has not been replicated, we have changed our metrics.  FLS data now enables us to capture the number of consumers holding high-risk investments who demonstrate the characteristics of vulnerability or low willingness to take investment risk. Going forward, we will use this as our metric. 
  • Scams and fraud: Reducing and preventing financial crime is now one of the 13 strategic commitments in the FCA Strategy. This strategy focuses on slowing the growth of investment fraud victims and losses. So we have aligned our fraud outcome in the Consumer Investment Strategy with our strategic commitment. For this publication, we have used figures obtained directly from the City of London Police; the 2020/21 figures are higher than those included in our previous publication, which were taken directly from the public NFIB Fraud & Cyber Crime dashboard.
  • Consumer redress: We will be switching from using forecast FSCS compensation costs to using actual FSCS compensation costs to track our consumer redress outcome to improve accuracy of reporting.  

Our Financial Lives Survey is published biennially, with FLS 2022 surveying concluded in May 2022. There will be no FLS data available until 2024, so we will have to publish alternative progress measures in 2023. We track several other indicators for these outcomes which may prove suitable, however we welcome views on alternatives. For mainstream investments alternative measures could include MIFID data on new retail investment accounts opened and transactions and PSD data on stocks and shares ISA accounts opened. For higher risk investments this could include Ipsos Mori monthly data on ownership of HRIs and ownership of HRIs among consumers who are vulnerable or have lower risk tolerance.