Pillar III Disclosures
VM Vita Markets Ltd, in its capacity as a Cypriot Investment Firm (CIF) is required to disclose to its clients, inter alia, information on the Company’s own funds, capital requirements, exposure to counterparty credit risk, exposure to market and operational risks. VM Vita Markets Ltd is required to disclose the risk management objectives and policies for each identified category of risk, including the strategies and processes adopted for managing those risks, the scope and nature of risk reporting and measurement systems and a declaration that the risk management systems put in place are adequate with regard to the company’s profile and strategy. The Pillar III Disclosures of the Company can be found here.
VM Vita Markets Ltd, in its capacity as an Investment Firm under the provisions of the Markets in Financial Instruments Directive 2014/65/EC (herein “MiFID II”) is required to publish on an annual basis, for each class of financial instruments, information on the top five execution venues in terms of trading volume where it has executed client orders (in accordance with RTS 28).
VM Vita Markets Ltd wishes to clarify that it entered into transactions only with Professional Clients in 2019. The annual RTS 28 report for 2019 can be found here(PDF & XLSX).