Information on the execution venues used by SG Option Europe

Societe Generale (“SG”) is authorized to provide investment services for the receipt and transmission of orders, the execution of orders on behalf of clients and the dealing on own account.

In accordance with MiFID II Directive 2014/65 / EU, Societe Generale must take all sufficient steps to obtain, when executing client orders, the best possible result for them. In particular, by establishing an execution and selection policy provided to the clients beforehand. In accordance with Articles 65 and 66 of Delegated Regulation (EU) 2017/565 and Commission Delegated Regulation (EU) 2017/576, Societe Generale shall review at least annually the effectiveness of its policy and the provisions it has put in place to transmit and execute client’s orders. In addition, SG shall publish information annually on the identity of the execution platforms and executing brokers selected, and on the quality of the execution obtained.

Affected clients and activities

The information and results presented herein are based on the analysis results for all orders executed in 2020, on behalf of retail and professional’s clients of Societe Generale, via its activities of corporate and investment banking.

Best Execution Monitoring

We have implemented a governance framework to monitor, on an ongoing basis, the effectiveness of the arrangements described in our Best Execution Policy.
In respect of our investment service of execution of orders on behalf of a client, we have a dedicated committee which, using an independent market data provider, conducts post trade analysis. The committee assesses the results achieved for clients compared to the pricing levels available on relevant markets.

If any deficiencies are detected, we will take steps to ensure that these are remedied as quickly as possible.
 

Summary of our analysis on Listed Derivatives


In 2020, a quarterly Best Execution committee took place for the listed derivative business. The best execution committee aimed at addressing the following items:

  • Reviewed and approved any proposed amendments to our Best Execution policy;
  • Ensured appropriate controls were in place to follow up our activities where they affect Best Execution;
  • Reviewed Best Execution performance and significant breaches; ensured follow up actions on poor performance items;
  • Reviewed and approved new venues or substantial changes to our market access;
  • Ensured staff awareness of Best Execution policy and procedures.

Through the quarterly best execution committee, SG reviewed the execution factors defined in our Best Execution policy relative to the listed derivative transactions and no significant breaches were reported in 2020.
For further details please refer to sections 3.1 (Execution Factors), 3.2 (Execution Criteria) and 5.2 (Factors used to select an Execution Venue for execution of a client order) of the policy.
Please note that SG is a shareholder of Euronext.

Summary of our analysis on Equities


In 2020, a quarterly Best Execution committee took place for the Cash Equity business. The best execution committee aimed at addressing the following items:

  • Reviewed and approved any proposed amendments to our Best Execution policy;
  • Ensured appropriate controls were in place to follow up our activities where they affect Best Execution;
  • Reviewed Best Execution performance and significant breaches; ensured follow up actions on poor performance items;
  • Reviewed and approved new venues or substantial changes to our market access;
  • Ensured staff awareness of Best Execution policy and procedures.

Through the monthly best execution committee, SG reviewed the execution factors defined in our Best Execution policy relative to the cash equity transactions and no significant breaches were reported in 2020. For further details please refer to sections 3.1 (Execution Factors), 3.2 (Execution Criteria) and 5.2 (Factors used to select an Execution Venue for execution of a client order) of the policy.
 

Summary of our analysis on other asset classes / investment products

In 2020, a quarterly Best Execution committee took place to cover transversal business. The best execution committee aimed at addressing the following items:

  • Reviewed and approved any proposed amendments to our Best Execution policy;
  • Ensured appropriate controls were in place to follow up our activities where they affect Best Execution;
  • Reviewed Best Execution performance and significant breaches; ensured follow up actions on poor performance items;
  • Ensured staff awareness of Best Execution policy and procedures.

Through the quaterly best execution committee, SG reviewed the execution factors defined in our Best Execution policy for relevant transactions and no significant breaches were reported in 2020. For further details please refer to sections 3.1 (Execution Factors), 3.2 (Execution Criteria) and 5.2 (Factors used to select an Execution Venue for execution of a client order) of the policy.

Please note that SG is a Shareholder of Euronext. 

2020 - Ranking of the execution venues used by SG Option Europe:

2019 - Ranking of the execution venues used by SG Option Europe: