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1. Introduction

Monte Edge Capital is committed to providing the best possible execution for client orders. This Order Execution Policy outlines the processes and considerations taken to achieve this goal, ensuring compliance with regulatory standards.

2. Scope

This policy applies to the execution of orders on behalf of clients in financial instruments, including but not limited to Contracts for Difference (CFDs), forex, and other derivative products offered by Monte Edge Capital.

3. Execution Factors

Monte Edge Capital considers the following factors when executing client orders:

  • Price: The price at which the order can be executed.

  • Costs: The costs related to the execution, including any fees, commissions, or charges.

  • Speed: The time it takes to execute the order.

  • Likelihood of Execution and Settlement: The probability that the order will be executed and settled.

  • Order Size and Nature: The size and specific characteristics of the order.

  • Market Impact: The effect that the order might have on the market.

4. Execution Venues

Monte Edge Capital utilizes a range of execution venues to ensure the best possible outcome for client orders. These venues include:

  • Regulated markets

  • Multilateral Trading Facilities (MTFs)

  • Organized Trading Facilities (OTFs)

  • Market makers and other liquidity providers

Monte Edge Capital does not have any close links, conflicts of interest, or common ownerships with respect to any execution venues used.

5. Order Handling

Orders will be handled promptly, fairly, and expeditiously. Comparable client orders will be executed in the order they are received unless prevailing market conditions make this impracticable or the client's interests require otherwise.

6. Client Instructions

If a client provides specific instructions regarding the execution of an order, Monte Edge Capital will follow those instructions to the extent possible. However, specific instructions may prevent Monte Edge Capital from taking the steps designed to obtain the best possible results for the execution of those orders.

7. Aggregation and Allocation

Monte Edge Capital may aggregate client orders with orders of other clients or its own orders if it believes that aggregation will not work to the disadvantage of any client. If an aggregated order is partially executed, it will be allocated in a manner that is fair and equitable.

8. Monitoring and Review

Monte Edge Capital regularly monitors the effectiveness of its order execution arrangements and this policy to identify and, where appropriate, correct any deficiencies. The policy is reviewed at least annually and whenever a material change occurs that affects the firm's ability to continue to obtain the best possible result for its clients.

9. Client Consent

By entering into an agreement with Monte Edge Capital for the provision of investment services, clients consent to this Order Execution Policy.

10. Contact Information

For any questions or further information regarding this Order Execution Policy, please contact:

Monte Edge Capital

askme@monteedge.com

+85281931914

นโยบายการดำเนินการตามคำสั่ง Monte Edge Capital