Consumer Duty: separating today from 'Day 2'

Creating clarity about what day 2 plans need to include — and in what order

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As firms have rightly prioritised critical activity to achieve substantive compliance with the Duty, a wide variety of further work has consequently been deferred. However, as a result, the phrase 'Day 2' has now become so widely used, that it often creates confusion as to when (and in what order) 'Day 2' activity will be completed — and what the associated timescales are. 

Day 2 activity for the Consumer Duty is multifaceted and interconnected. In this article, to support firms navigate what 'Day 2' entails, KPMG in the UK has segmented Day 2 into the seperate workstreams of activity and shares insights into how many firms are approaching each of them.

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Segmentation of 'Day 2' activity


Conclusion and next steps

This article illustrates the depth and breadth of activity that the Consumer Duty still requires and will help firms segment Consumer Duty activity focusing its time, budgeting and resourcing in the right areas (and sequence). The final complication will be that whilst firms are designing and implementing their Day 2 plans, the FCA will be sharing its regulatory findings, commentary, required actions and/or opinions on how the Duty is operating in practice for open products. Inherent agility and flexibility will therefore also need to be factored into these Day 2 plans too. 

This detailed and systematic approach will help firms to meet regulatory expectations whilst identifying the significant commercial opportunities that the Duty will generate. As this article shows, some of this activity is required today, whilst others are definitively Day two considerations. Recognising the difference is vital.

To read more Consumer Duty insights from KPMG in the UK in other articles, visit our Consumer Duty Hub.

How can KPMG in the UK support?

We have specialists with experience supporting firms with the development and implementation of solutions addressing the challenges detailed in this article including assurance reviews, frameworks and methodologies for remediation and rectification, supporting firms' closed product programmes as well as helping firms recognising the longer terms strategic opportunities of the Duty. We are already delivering technology and tooling developed specifically to assist firms implement the Duty — through  implementation, into BAU and into driving sustainable, customer-led growth.

If you'd like to discuss our view on the Consumer Duty Day 2, hear from one of our specialists on other insights/implementation challenges or require specific support on your Consumer Duty implementation plans, please do not hesitate to get in touch.

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