Documentos legais
Class of Instrument | All Classes (FX, Indicies and Commodities) | |||||
Client Type | Retail Clients | |||||
Notification if < 1 average trade per business day in the previous year | N | |||||
Top five execution venues ranked in terms of trading volumes (descending order) | Venue LEI | Proportion of volume traded as a percentage of total in that class | Proportion of orders executed as a percentage of total in that class | Percentage of passive orders | Percentage of aggressive orders | Percentage of directed orders |
IS Prime Limited | 549300F62BRRDZKCUZ58 | 34.31% | 38.79% | 0.00% | 0.00% | 0.00% |
Hantec Markets (Australia) Pty Limited | 2138005UV993RK5NUH73 | 33.13% | 40.46% | 0.00% | 0.00% | 0.00% |
Sucden Financial Limited | 213800W2XOTEIWVRS823 | 15.40% | 5.98% | 0.00% | 0.00% | 0.00% |
H&E Limited | 213800T1FUTJV3AAYW55 | 10.49% | 9.16% | 0.00% | 0.00% | 0.00% |
Hantec Markets Limited | 213800BKZJJXCMAN9Z43 | 3.66% | 2.99% | 0.00% | 0.00% | 0.00% |
- You have less than six months prior experience self-trading margined CFD and Currency products;
- Your annual income is less than $25,000.00 USD (or currency equivalent);
- Your liquid net worth is less than $10,000 USD (or currency equivalent); or
- You are under 21 or over 65 years
- You understand the risks of CFD/Currency trading and you confirm that you have the necessary knowledge and expertise to fully appreciate the risks.
- You understand that CFD/Currency trading is highly leveraged and that you could lose your entire original You are able to assess the risks involved and deem them appropriate for you.
- You have gained sufficient experience and expertise in dealing in shares and other similar investment instruments, and you understand the complexities of CFD/Currency.
- You have attended relevant courses or seminars on CFD/Currency trading that have given you sufficient knowledge and expertise to assess the risks.
When a firm provides service to a customer, conflicts of interest may arise in one or more of the following situations when a firm or a relevant person:
- is likely to make a financial gain, or avoid a financial loss, at the expense of the customer;
- has an interest in the outcome of a service provided to or a transaction carried out on behalf of the customer, which is different from the customer’s interest in that outcome;
- has financial or other incentives to favour the interest of another customer(s) over the interests of the customer;
- carries on the same business as the customer; or
- receives or will receive from a person other than the customer an inducement, other than standard commission or fee in relation to a service provided to the customer.
- In respect to HML, the following is the main conflict of interest that may occur when providing services to our customers.
- The characteristics of the client;
- The characteristics of the client order; and
- The characteristics of the financial instruments that are the subject of that order.
- Make immediate changes to your account, including but not limited to, the liquidity provided by us and the spread quoted.
- Immediately terminate your account and your access to our servers.
- Void any trade (i.e., treat the trade as if the trade had never taken place) which was part of any Scalping activity.
- Close any trade, which was part of any Scalping activity, on the basis of our current market price.
- Call: +41 225 510215
- Email: [email protected]
- Please write to us: Compliance Department, Suite 207, 2nd Floor, The Catalyst, Silicon Avenue, 40 Cybercity, 72201 Ebene, Republic of Mauritius.
- Name and contact data: We collect your full name, email address, personal postal address, phone number, and other similar contact data.
- Demographic data: We collect data about you, such as your date and place of birth, gender, country, and preferred language.
- Location data: For certain products and services, we collect imprecise data about your location that includes, for example, a location derived from your IP address.
- Profession and employment details: We collect details of your employment and your source of income.
- Government-issued photographic identification: We collect copies of passports, national ID cards, driving licenses and other acceptable forms of ID that contain photos.
- Financial and tax information: We collect information about your income, assets and liabilities, balances of your accounts, trading and financial statements, bank details, tax identification numbers and other identification numbers used for tax purposes.
- Trading information: We keep records of products you trade with us and their performance.
- Credentials: We collect passwords, password hints, and similar security information used for authentication and account access.
- Content: We collect the content of all telephone conversations and electronic communications between us that result in placing and/or closing an order or a trade, including communications that are intended to result in placing and/or closing an order or a trade, irrespective of the outcome.
- We collect the content of files and communications we receive from you when necessary to provide you with the products and services you use or intend to use. This includes files and communications sent and received by us via Outlook, our Client Portal and by post.
- We also gather the information you provide to us and the content of messages you send to us, such as feedback and service reviews you write or questions and information you provide for customer support. When you contact us, such as for customer support, phone conversations or chat sessions with our business development team may be monitored and recorded.
- To perform essential business operations (including monitoring and improving ) and provide the products and services we offer;
- To perform administration on the account, you may hold with us on an ongoing basis, including keeping records we hold accurate and up-to-date;
- Other companies within the Hantec Group
- Vendors, service providers and specialist advisers who have been contracted to provide us with administrative, IT, financial, compliance, legal, regulatory, insurance, research or other services and who work on our behalf for the purposes described in this notice and may need access to personal data to provide those functions. Vendors, service providers and specialist advisers who have been contracted to provide us with administrative, IT, financial, compliance, legal, regulatory, insurance, research or other services and who work on our behalf for the purposes described in this notice and may need access to personal data to provide those functions.
- Introducing brokers with whom we have a mutual contractual relationship;
- Anyone authorised by you
- Courts, tribunals, law enforcement or other government agencies, applicable competent authorities as required by law or requested to comply with applicable law for internal investigations and to report or respond to valid legal process;
- Right to be informed about the data processing activities undertaken by us. This information is provided in this Privacy Notice.
- Right to access your personal information.
- Right to rectify your personal information.
- Right to request that your personal information is erased. Subject to any retention limits, we are required to comply with in accordance with applicable laws and regulations.
- Right to restrict the use of your personal information.
- Right to data portability (In certain specific circumstances.
- Right to object to the processing of your personal information.
- Overview
- Definition
- Risk-based Approach
- Anti Money Laundering Program
- Suspicious Transaction Reports (STRS)
- Customer Due Diligence
- Enhanced Due Diligence (EDD)
- Politically Exposed Person (PEP)
- Monitoring Accounts For Suspicious Transactions
- Record Keeping
- Financial Services Act 2007;
- Code On The Prevention Of Money Laundering & Terrorist Financing 2012;
- Financial Intelligence and Anti-Money Laundering Act 2002;
- Securities Act 2005; and
- The relevant acts, guidelines, rules and regulations under the laws of Mauritius.
- the adequacy/shortcomings of internal controls and other AML/CFT;
- procedures implemented;
- recommendations to remedy the deficiencies identified above;
- the number of internal reports made by staff; and
- the number of reports made to the Financial Intelligence Unit.
- collect certain identification information from each customer who opens an account;
- utilize risk based measures to verify the identity of each customer who opens an account; and
- record customer identification information and the verification methods and results;
- Prior to opening of account, the Company collect the following information:
- Name, incorporation number, legal status, date and country of incorporation or registration (for an entity other than an individual);
- Date and place of birth (for an individual);
- Occupation, public position held and where appropriate, the name of the employer (for an individual) or Anti-Money Laundering and Counter-Terrorism Financing Policy (for an entity other than an individual);
- A current address, which will be residential (for an individual) or registered office address and principal place of business (where different from the registered office, for an entity other than an individual);
- Passport number and country of issuance, identification card number and country of issuance of any other government issued document evidencing nationality or residence and bearing a photograph or other similar safeguard e.g. national identity cards, current valid passports or current valid driving licenses; and
- The identity of underlying principles (including beneficial owners, controllers, directors or equivalent)with ultimate effective control over the capital or assets of an entity other than an individual in addition to evidence that any person who purports to act on behalf of the legal person is duly authorized and identify that person.
- Customers who refuse to provide information
- Verifying information
- Establishing a business relationship with a new client;
- The Company suspects money laundering or terrorist financing; or
- The Company has doubts about the veracity or adequacy of documents, data or information previously obtained for the purpose of CDD.
- Methods of verification
- For an individual: a current government issued identification evidencing nationality, residence, and bearing a photograph or similar safeguard, such as a driver’s license or passport; and
- For a person other than individuals, documents showing the existence of the entity, such as Certificate of Incorporation, Articles of incorporation, a government issued business license (if applicable), etc.
- Contacting a customer;
- Independently verifying the customer’s identity through the comparison of information provided by the customer with information obtained from Internet and/or other source;
- Checking references with other financial institutions; or
- Obtaining a financial statement.
- When the Company is unfamiliar with the documents the customer presents for identification verification;
- When there are other circumstances that increase the risk that the Company will be unable to verify the true identity of the customer through documentary means.
- Lack of verification
- Not proceed with or terminate any business with the customer;
- File a STR in accordance with applicable laws and regulations.
- If the Company establishes a business relationship with a customer from a country that has insufficient anti-money laundering and countering financing of terrorism systems or measures in place; or
- If a customer seeks to conduct, through Hantec Markets Limited., a complex, unusually large transaction or unusual pattern of transactions that have no apparent or visible economic or lawful purpose
- Information relating to the source of the funds or the source of wealth of the customer will be required.
- Carrying out more frequent and extensive ongoing monitoring on the customer and comparison with provided lists of terrorists and other criminals within openly accessible media sources (World-Check, internet) will be conducted.
- Seek further information from the customer or from the Company’s own research and third party sources in order to clarify or update the customer’s information, obtain any further or additional information, clarify the nature and purpose of the customer’s transactions with the Company.
- Take enhanced due diligence measures to establish the source of funds and source of wealth of the PEP.
- Conduct enhanced ongoing monitoring of the business relationships involving the PEP.
- Establish or continue the business relationship only with senior management approvals.
- Customers who wish to maintain a number of trustee or client accounts that do not appear consistent with the type of business, including transactions involving nominee names.
- Matching withdrawals with deposits by different ways on the same or previous day.
- Exposure or abuse of transfers without completing trading operations on the trading account.
- Revelation of unusual nature of operations that do not have obvious economic substance or obvious legal purpose.
- Customers who give conflicting information to different staff members.
- Large cash withdrawals from a previously inactive account, or from an account which has just received an unexpected large credit from abroad.
- A customer exhibits an unusual level of concern for secrecy, particularly with regard to the customer’s identity, type of business or source of assets.
- A corporate customer lacks general knowledge of its own industry.
- A customer is unconcerned with the risks, commissions or other costs associated with trading.
- Revelation of circumstances implying that the operations are performed for the purpose of money laundering or financing terrorism.
- Responding to red flags and suspicious activity
- The execution date of the transmittal order;
- The name and address of the recipient;
- The amount of the transmittal order;
- The identity of the recipient’s financial institution, and;
- The account number of the recipient.
- Hantec Markets Ltd is authorized and regulated by the Mauritius Financial Services Commission (FSC) in the Republic of Mauritius. License Number: C114013940 (hereinafter the “Company” or “Hantec”).
- The negative balance protection policy (hereinafter the “Negative Balance Protection Policy” or “NBPP”) offered by Hantec will be available to Eligible Clients only subject to the terms listed hereinafter (known as “Terms and Conditions”).
- Subject to, and without prejudice to, the Client Agreement and all other business terms and policies, the NBPP is available to Hantec clients who have satisfied the Eligibility Criteria for the offer (“Eligible Clients”) as set out in the sections hereinafter.
- Only persons who can form legally binding contracts under the laws applicable in their country of residence may participate in the NBPP. Without limiting the foregoing, participation in the NBPP is not allowed for persons under the age of 18 or otherwise under legal age in their country of residence.
- Collusion of Intermediaries/Related Parties of any kind, including but not limited to abusing the NBPP is prohibited. If the registration and / or trading data of a Client corresponds with the registration and / or trading information, including but not limited to IP address, of another client, Hantec reserves the sole right in its absolute and sole discretion to regard this matching as a reason for immediate disqualification from Eligibility to the NBPP. For the purposes hereof, the term “Intermediaries/Related Parties”, when used in these Terms & Conditions, unless the context otherwise requires, shall mean to include any person or entity bearing a relationship with any other Hantec client, including, without limitation:
- family members, such as brothers, sisters, spouses, ancestors, lineal descendants and collateral descendants;
- person or entity, directly or indirectly through one or more intermediaries, controls, or whom, directly or indirectly, through one or more intermediaries, is controlled by, or is under common control with any other Hantec client; for purposes of this definition, the term control (including, with correlative meaning, the terms “controlled by“ and “under common control with”), as used with respect to any Hantec client, shall mean the possession, directly or indirectly through one or more intermediaries, of the power to direct or cause the direction of management policies of such person or entity, whether through ownership of voting securities or otherwise.
- Eligible Clients’ main account and any sub-accounts, including funds held in a wallet and accounts held in joint ownership constitute a single contractual agreement and are treated as one account (known as an “Account”) for the purpose of realized client balances in connection with the NBPP. This means that all account opening conditions, agreements and provisions between Hantec with regards to the main account are equally valid and applicable to all accounts held by an Eligible Client individually and/or jointly, and any realized negative balances may be netted against other accounts either held in the same name and/or being controlled from the same IP address or related IP addresses.
- In the case of a Force Majeure Event causing extreme volatility in the markets, Hantec has the right and the sole discretion to nullify the NBPP and the NBPP will not be actioned for any and all Eligible Clients.
- In this Clause 5, a “Force Majeure Event” means an emergency or an exceptional market condition event beyond the control of Hantec, which includes but is not limited to and determined in our reasonable opinion:
- any act, event or occurrence (including without limitation any strike, riot or civil commotion, act or threat of terrorism, war, industrial action, acts and regulations of any governmental or supra national bodies or authorities) that, in our opinion, prevents us from maintaining an orderly market in any of our products
- act of God (such as, but not limited to, fires, explosions, earthquakes, drought, tidal waves and floods);
- war, hostilities (whether war be declared or not), invasion, act of foreign enemies, mobilisation, requisition, or embargo;
- rebellion, revolution, insurrection, or military or usurped power, or civil war;
- contamination by radio-activity from any nuclear fuel, or from any nuclear waste from the combustion of nuclear fuel, radio-active toxic explosive, or other hazardous properties of any explosive nuclear assembly or nuclear component of such assembly;
- riot, commotion, strikes, go slows, lock outs or disorder, unless solely restricted to employees of the Supplier or of his Subcontractors;
- the suspension or closure of any market or the abandonment or failure of any event on which we base, or to which we in any way relate, our quote, or the imposition of limits or special or unusual terms on the trading in any such market or on any such event;
- the occurrence of an excessive movement in the any global foreign currency markets that are related to our markets for any products or our anticipation (acting reasonably) of the occurrence of such a movement;
- any breakdown or failure of transmission, communication or computer facilities, interruption of power supply, or electronic or communications equipment failure; or
- failure of any relevant vendor, intermediate broker, agent or principal of ours, custodian, sub-custodian, dealer, exchange, clearing house or regulatory or self-regulatory organisation, for any reason, to perform its obligations.
- Eligible Clients, who meet the criteria set forth herein will receive additional protection from the NBPP whereby any trading losses which exceed the existing net deposited funds on your Account will be cleared, up to a maximum of 10,000 USD (known as an “Adjustment”).
- The Adjustment will only be made to Eligible Clients who have no open trades on their Account and an Adjustment calculation at any point in time will always factor both realized and unrealized profits and/or losses.
- This NBPP applies to both new and existing clients of Hantec only. Existing Clients and Clients who are introduced to Hantec via an Introducing Broker (IB) are also eligible for the NBPP.
- The maximum clearance that can be applied to any Account is 10,000 USD, regardless of the size of the Eligible Client’s initial deposit or further deposits.
E. General Terms
- Please note that it may take up to 24 business hours before any Adjustment is added to the account of an Eligible Client who meets all the criteria set forth herein.
- Hantec reserves the right, at its reasonable and sole discretion:
- to decline the eligibility of any client to the NBPP; and
- to disqualify and remove any relevant trading activity from any client who tampers or attempts to tamper with the operation of the NBPP, or breaches these terms, the Client Agreement and/or any of the Hantec terms and policies set forth on Hantec’s website.
- Hantec reserves the right, at its reasonable discretion, to discontinue the offering of this NBPP to any of its clients at any time and without prior notice.
- Hantec reserves the right to alter, amend or terminate the NBPP or any aspect of it at any time. Prior notice of such changes will be given to clients and Hantec will post any such changes on its website and/or terms and conditions. It is recommended that Eligible Clients of the NBPP consult these Terms & Conditions on Hantec’s website regularly. Please note that all Eligible Clients accept and agree to abide by any such alterations, amendments and/or changes.
- Any indication or suspicion, in Hantec’s sole discretion, of any form of arbitrage (including but not limited to risk free profiting), abuse (including but not limited to participant’s trading activity patterns that indicate that the participant solely aims to benefit financially from the Adjustment without being genuinely interested in trading in the markets and/or taking market risk), fraud, manipulation, cash-back arbitrage connected to an Adjustment or any other forms of deceitful or fraudulent activity, will nullify the NBPP and the NBPP will not be actioned. In these circumstances, Hantec reserves the right, at its sole discretion to close/suspend (either temporarily or permanently) all such Eligible Client’s real trading account(s) with Hantec, cancel all orders and annul all suspected previous trades of such Eligible Client. In these circumstances, Hantec shall not be liable for any consequences of the Adjustment cancelation, including, but not limited to, order(s) closure by stop out.
- You have less than six months prior experience self-trading margined CFD and Currency products;
- Your annual income is less than $25,000.00 USD (or currency equivalent);
- Your liquid net worth is less than $10,000 USD (or currency equivalent); or
- You are under 21 or over 65 years
- You understand the risks of CFD/Currency trading and you confirm that you have the necessary knowledge and expertise to fully appreciate the risks.
- You understand that CFD/Currency trading is highly leveraged and that you could lose your entire original You are able to assess the risks involved and deem them appropriate for you.
- You have gained sufficient experience and expertise in dealing in shares and other similar investment instruments, and you understand the complexities of CFD/Currency
- You have attended relevant courses or seminars on CFD/Currency trading that have given you sufficient knowledge and expertise to assess the risks that may arise from.
Introduction
As a financial institution, Hantec Markets Limited (hereafter “Hantec Markets”) faces actual and potential conflicts of interest from time to time. By identifying the existing and potential conflicts of interest, Hantec Markets will take all sufficient steps to establish, implement and maintain an effective Conflicts of Interest Policy to prevent or mitigate any risk that may damage the interests of our clients.
This statement discloses the conflicts of interest that you, as an existing or potential customer, might face when engaging in business dealings with Hantec Markets; the laws and regulations subject to conflicts of interest that Hantec Markets is required to comply with; and the Policy Hantec Markets adopts for the aim of preventing and managing the conflicts of interest.
Laws and Regulations
The FCA recognises that conflicts of interest exist in the financial services industry and does not aim to eliminate them. Nevertheless, Principle 8 of the FCA’s Principles for Business (PRIN) sets out that a firm must manage conflicts of interest fairly, both between itself and its customers, and between a customer and another customer. Furthermore, within the Senior Management Arrangements, Systems and Controls (SYSC) of the FCA handbook, in particular the SYSC 10, firms are required to manage the conflicts so that they do not damage the customers’ interest. Under the Markets in Financial Instruments Directive (“MiFID II”), Hantec Markets is required to maintain and operate effective organisational and administrative controls to take all appropriate steps to identify, prevent or manage conflicts of interest.
Identification of Conflicts
A conflict of interest may arise where our interests or those of a member of our staff could conflict with a duty we have to a client. Part of staff training in this area is to recognise and remediate or escalate potential conflicts in the course of business. However, to help identify potential conflicts of interest, we have considered a number of areas. The following services and activities have the possibility to give rise to a conflict of interest and potentially, but not necessarily, be detrimental to the interests of our clients:
- Hantec Markets may receive or will receive from a person other than the customer an inducement, other than standard commission or fee in relation to a service provided to the customer;
- Hantec Markets may carry on the same business as the customer;
- Hantec Markets is likely to make a financial gain, or avoid a financial loss, at the expense of the customer;
- Hantec Markets may have a financial or other incentive to favour the interest of another customer(s) over the interests of the customer;
- Hantec Markets may have an interest in the outcome of a service provided to or a transaction carried out on behalf of the customer, which is different from the customer’s interest in that outcome; or
- Hantec Markets may have an interest in maximising trading volumes in order to increase commission revenue, which opposes the client’s objective to minimise transaction costs.
These are general potential conflicts that will be managed in accordance with this Conflicts of Interest Policy. Any additional conflicts will be recorded in the Register of Conflicts of Interest.
Management of Potential Conflicts Identified
Hantec Markets keeps records of the business activities or services carried on by us (or which are carried on our behalf) so that we can identify any conflict that might arise that would have a material risk of damage to the interests of our customers.
Employees are required to report specific potential conflicts of interest in writing to the Compliance department as soon as practicable. To identify the potential conflicts of interest that require reporting, employees take into account whether Hantec Markets or its employee:
- could be in a position where the ability to act in a client’s best interests is potentially affected by any other matter
- is aware of any situation where the interest of one client may conflict with those of another
- is likely to make a profit or avoid a loss at the expense of the client
- has an incentive, financial or otherwise, to favour the interest of one client or group of clients over another;
Trading for Group Companies
Other sister companies within the Hantec group may hold accounts with Hantec Markets. Such accounts will be treated the same as any other client accounts with regard to the priority and execution of orders.
Personal Account Dealing
Hantec Markets has policies and procedures to monitor employees’ personal account dealing. Hantec Markets requires its employees to apply good judgement and act with integrity, taking all appropriate steps to avoid personal Conflicts in their personal account dealings and proactively escalate personal conflicts that do arise.
Best Execution
Hantec Markets’ Execution Policy is created to ensure that when executing orders, Hantec Markets acts in the client’s best interest. This applies irrespective of any potential or existing conflicts of interest and reduces the risk of Hantec Markets acting in favour of itself or a client over another client.
Managing Conflicts of Interest
Hantec Markets maintains a register of the potential conflicts of interests that have been identified. The records contained within the register allow the appropriate management of specific conflicts, whilst information on the management of general type of conflicts of interest is recorded in this Policy.
Review
Hantec Markets is devoted to provide more services and products to meet our customers’ demand. At the same time, Hantec Markets frequently reviews and assesses our conflicts of interest policy so that it can ensure the adequacy of such policy in compliance with our regulatory obligations.
Hantec Markets Policy
As required by law, Hantec Markets implements and maintains an effective Conflicts of Interest Policy for the aim of preventing conflicts of interest or potential conflicts of interest from causing a material risk of damage to the interests of customers.
Hantec Markets’ conflicts of interest policy adopts procedures and measures to manage and control the conflicts of interest identified, including segregation of duties and responsibilities; separate supervision of relevant persons; Personal Account Dealing policy, Gifts and Inducement policy, public interest disclosure policy; acting in the best interest of the clients; and in some cases declining to act for a customer or potential customer. These are also monitored on an ongoing basis within the company’s Compliance Monitoring Programme.
Hantec Markets also maintains and operates effective product governance arrangements to ensure that our products meet the needs of our clients and remain appropriate at all times.
Disclosure
Whilst Hantec Markets is devoted to implement and maintain our conflicts of interest policy, in some cases, such policy might not be sufficient to prevent risks of damage to the interest of a customer. In such a case, as a solution of last resort, Hantec Markets shall disclose the general nature and sources of conflicts of interest to the customer so that enables the customer to make an informed decision whether to proceed with the transaction in question.
- The characteristics of the client including the categorisation of the client as retail, professional or an eligible counterparty;
- The characteristics of the client order; and
- The characteristics of the financial instruments that are the subject of that order.
- Make immediate changes to your account, including but not limited to, the liquidity provided by us and the spread quoted.
- Immediately terminate your account and your access to our servers.
- Void any trade (i.e., treat the trade as if the trade had never taken place) which was part of any Scalping activity.
- Close any trade, which was part of any Scalping activity, on the basis of our current market price.
- protect the interests of our customers in all areas of our dealings with them and at each stage of the product life cycle, from promotion right through to after-sales service
- meet the needs of each customer by offering a transparent and professional service, and to constantly review our service to identify areas where we can improve it
- To ensure the products that we offer are appropriate for you and are consistent with your needs;
- To provide timely and best execution at all times;
- To maintain a superior level of system and platform availability;
- To ensure all staff implement TCF in their daily business activities;
- To ensure your complaints are assessed fairly and impartially and handled professionally should you ever become unhappy with our service;
- To encourage staff to recommend improvements to service following customer complaints;
- To ensure that promotional material is clear, compliant and appropriately targeted ;
- To provide accurate, complete and timely communications;
- To ask for and listen to your feedback and place your interests first.
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- Analytical and Performance Cookies collect anonymous information about how visitors use the site. They help us understand your preferences so we can offer you a better
- Marketing Cookies collect information about your browsing habits in order to present you with more relevant content and adverts based on your browsing activity.
Type of Cookie | Source of Cookie | Function |
---|---|---|
Referral ID | Hantec Markets | Identifies the referral ID, and allows the website to determine if the registering clients came from a referral. |
Campaign | Hantec Markets | Allows the website to determine if the registering clients should be under a campaign. |
IP Address | Hantec Markets | It identifies the client’s IP Address, and allows the website to determine the location country. |
Country | Hantec Markets | Identifies the client’s location country, and allows the website to display the appropriate content to the client. |
Country Code (2-ISO) | Hantec Markets | Identifies the client’s location country code, and allows the website to display the appropriate content to the client. |
Chatra Functional | Third Party | This is used to support our Live Chat function. A random token is assigned to each user. No personal data is recorded. |
Type of Cookie | Source of Cookie | Function |
---|---|---|
Google Analytics | Third Party | Registers a unique ID that is used to generate statistical data on how the visitor uses the website. |
Google Analytics Throttle | Third Party | Used by Google Analytics to throttle request rate. |
Marketing Cookies
The purpose of this type of cookie is to collect information about your browsing habits to provide advertising that is more relevant to you. The cookies remember which websites you have visited and are usually placed by third party companies with our permission. They serve to limit the number of times you see the same advertisement as well as to measure the effectiveness of advertising campaigns.Type of Cookie | Source of Cookie | Function |
---|---|---|
Google Analytics | Third Party | Used to send data to Google Analytics about the visitor’s device and behaviour. Tracks the visitor across devices and marketing channels. |
Facebook Ads | Third Party | Used by Facebook to deliver a series of advertisement products such as real time bidding from third party advertisers. |
Facebook Impression | Third Party | Used by Facebook to register impression on pages with the Facebook login button. |
Facebook Pixel | Third Party | Used by Facebook to see how many people take action on ads and which Facebook Ad led to a conversion. |
Third Party | Used by the social networking service, LinkedIn, for tracking the use of embedded services. | |
Third Party | Used by the social networking service, Twitter, for tracking the use of embedded services. |
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- Choose ‘Settings’ and then ‘View advanced settings’
- Under ‘Cookies’ choose either ‘Don’t block cookies’ or ‘Block only third party cookies’
- To disable cookies, click on ‘Block all cookies’
- verify your identity for security reasons and block abusing user
- determine what browser you are using and its settings to display content correctly
- allow the site owners and third-party advertisers to modify content according to your preference
- Functional Cookies are required for the smooth running of the website. If these are disabled you won’t be able to access key pages of the site
- Analytical and Performance Cookies collect anonymous information about how visitors use the site. They help us understand your preferences so we can offer you a better
- Marketing Cookies collect information about your browsing habits in order to present you with more relevant content and adverts based on your browsing activity.
Type of Cookie | Source of Cookie | Function |
---|---|---|
Referral ID | Hantec Markets | Identifies the referral ID, and allows the website to determine if the registering clients came from a referral. |
Campaign | Hantec Markets | Allows the website to determine if the registering clients should be under a campaign. |
IP Address | Hantec Markets | It identifies the client’s IP Address, and allows the website to determine the location country. |
Country | Hantec Markets | Identifies the client’s location country, and allows the website to display the appropriate content to the client. |
Country Code (2-ISO) | Hantec Markets | Identifies the client’s location country code, and allows the website to display the appropriate content to the client. |
Chatra Functional | Third Party | This is used to support our Live Chat function. A random token is assigned to each user. No personal data is recorded. |
Type of Cookie | Source of Cookie | Function |
---|---|---|
Google Analytics | Third Party | Registers a unique ID that is used to generate statistical data on how the visitor uses the website. |
Google Analytics Throttle | Third Party | Used by Google Analytics to throttle request rate. |
Marketing Cookies
The purpose of this type of cookie is to collect information about your browsing habits to provide advertising that is more relevant to you. The cookies remember which websites you have visited and are usually placed by third party companies with our permission. They serve to limit the number of times you see the same advertisement as well as to measure the effectiveness of advertising campaigns.Type of Cookie | Source of Cookie | Function |
---|---|---|
Google Analytics | Third Party | Used to send data to Google Analytics about the visitor’s device and behaviour. Tracks the visitor across devices and marketing channels. |
Facebook Ads | Third Party | Used by Facebook to deliver a series of advertisement products such as real time bidding from third party advertisers. |
Facebook Impression | Third Party | Used by Facebook to register impression on pages with the Facebook login button. |
Facebook Pixel | Third Party | Used by Facebook to see how many people take action on ads and which Facebook Ad led to a conversion. |
Third Party | Used by the social networking service, LinkedIn, for tracking the use of embedded services. | |
Third Party | Used by the social networking service, Twitter, for tracking the use of embedded services. |
Google Chrome
- Click the menu icon in the browser’s toolbar
- Select ‘Settings’
- Click ‘Show advanced settings’
- Choose ‘Privacy’ and then ‘Content settings’
- To enable cookies, in the ‘Cookies’ section, tick ‘Allow local data to be set (recommended)’. This option enables both first and third-party cookies.
- To allow only first-party cookies, enable ‘Block all third-party cookies without exception’
- To disable cookies, select ‘Block sites from setting any data’
Mozilla Firefox
- Click on the menu button at the top of the browser (or ‘Tools’ if using Windows XP)
- Select ‘Options’
- Click ‘Privacy’
- Set ‘Firefox will’ to ‘Use custom settings for history’
- Select ‘Accept cookies from sites’ and your preferred treatment of third-party cookies
- To disable cookies, remove the check mark from ‘Accept cookies from sites’
- Click ‘OK’ to close the window
Opera
- In the browser’s menu, select ‘Settings’
- Under cookies, tick ‘Allow local data to be set (recommended)’
- To disable cookies, select ‘Block sites from setting any data’
- To stop only third-party cookies, select ‘Block third-party cookies and site data’
Safari
- In the menu bar, select ‘Safari’, then choose ‘Preferences’
- Click on ‘Privacy’
- Under ‘Cookies and website data:’, select ‘Allow from the websites I visit’
- To disable cookies, select ‘Always block’
Microsoft Internet Explorer
Versions 9-11- Select ‘Tools’ from the top of your browser
- Choose ‘Internet Options’
- Navigate to the ‘Privacy’ tab
- Click ‘Advanced’. Here you can choose to ‘Accept’ ‘Block’ or ‘Prompt’ both first and third-party cookies
- To disable cookies, tick ‘Block’
Microsoft Edge
- Click the menu button
- Choose ‘Settings’ and then ‘View advanced settings’
- Under ‘Cookies’ choose either ‘Don’t block cookies’ or ‘Block only third party cookies’
- To disable cookies, click on ‘Block all cookies’