Terms of Use
Aquiti Gestion, SAS with capital of 1 000 000,00 € at 31/12/2023
11 Rue des Gamins, Bâtiment B2, 7ème étage – 33800 BORDEAUX, France - N° Tél : 05 56 15 11 90
RCS no. 839 043 130 – Greffe de Bordeaux - CODE APE : 8299Z,
AMF approval no. GP-19000017, AMF website : https://www.amf-france.org/fr
Host : OVH, SAS au capital de 10 174 560 € - RCS Lille Métropole 424 761 419 00045.
Code APE 2620Z, N° TVA : FR 22 424 761 419
Head office : 2 rue Kellermann - 59100 Roubaix - France
OVH SAS is a subsidiary of OVH Groupe SA, registered with the Lille Trade and Companies Register under number 537
407 926 sise 2, rue Kellermann, 59100 Roubaix.
Intellectual property
The content of this website is governed by French legislation on copyright and intellectual property.
La SAS Aquiti Gestion is the exclusive owner of all intellectual property rights relating to the structure of the site.
All texts, images, photographs, trademarks and other distinctive signs reproduced on the website are subject to copyright and intellectual property rights, except for royalty-free images, photographs and logos. Any total or partial reproduction of these elements and of the website is therefore strictly forbidden, without the prior written consent of SAS Aquiti Gestion.
Failure to comply with this prohibition constitutes an infringement liable to engage the civil and criminal liability of the infringer.
Aquiti Gestion is not responsible for hypertext links to this site. The hypertext links established towards other sites do not engage the responsibility of the SAS Aquiti Gestion, particularly with regard to the content of these sites.
Customer complaints
Any complaint addressed to SAS AQUITI Gestion will be given special attention.
AQUITI Gestion undertakes to acknowledge receipt of your claim within a maximum of 10 working days.
The acknowledgement of receipt will indicate :
- The maximum period within which a response will be provided (2 months maximum from the date the claim is sent);
- The contact details of the person in charge of processing the claim;
- If applicable, the forwarding of the claim to another processing body (in the event that the final response is not entirely favorable to you, it will set out the remedies available, including the contact details of the AMF Ombudsman).
Depending on the method of communication used, Aquiti Gestion reserves the right to request a letter of complaint from its clients/prospects so that there can be no doubt as to the purpose or reason for the complaint. The client or prospect is then asked to provide their contact details (postal address, e-mail address, telephone number).
- Contact persons within SAS AQUITI Gestion :
Clients and prospects, you may address your complaint to:
- The department dedicated to handling client complaints, i.e. the General Secretariat: sg@aquiti.fr or to 11 Rue des Gamins, Bâtiment B, 7e étage, 33800 BORDEAUX, FRANCE.
As a last resort, if a disagreement persists following our response, you may refer the matter free of charge to the AMF Ombudsman.
- The Mediation officer of the Autorité des Marchés Financiers
You can contact the Mediation officer of the Autorité des Marchés Financiers by sending a letter to the following address:
Le Médiateur de l’Autorité des Marchés Financiers
17 Place de la Bourse
75082 Paris Cedex 2
Please consult the AMF website for further information:
https://www.amf-france.org/fr/le-mediateur et https://www.amf-france.org/fr
Conflicts of interest management policy
The prevention and management of conflicts of interest by Aquiti Gestion are governed by the general principles set out in the French Monetary and Financial Code and the General Regulations of the AMF.
In this context, SAS Aquiti Gestion is equipped with :
- A conflict of interest management policy, which is regularly updated;
- A register of actual or potential conflicts of interest, which is regularly updated;
- A map of actual or potential conflicts of interest, which is regularly updated.
Aquiti Gestion informs subscribers/shareholders of any unresolved and/or significant conflicts of interest or potential conflicts of interest.
The purpose of this policy is to ensure the protection and primacy of the interests of the unitholders of the various funds and mandates it manages.
On simple request addressed to the Aquiti Gestion General Secretariat, we will send you our Conflicts of Interest Management Policy.
Data protection policy
Please see the “Privacy policy” page for more information.
Voting policy
Aquiti Gestion investors, or any other person mandated by Aquiti Gestion, are responsible for analyzing the resolutions put forward at shareholder meetings.
Sustainable finance
Please see the “ESG” page for more information.
At 12/31/2024, please note that SAS Aquiti Gestion manages:
- Two Article 8 funds within the meaning of SFDR regulations (FPCI RNA and FPCI AVA I);
- Three Article 6 funds within the meaning of SFDR regulations (FPCI NACI I, SCR ACI and SCR PCE);
- 0 Article 9 funds within the meaning of SFDR regulations.
Please note that in accordance with the RNA and AVA I FPCI regulations, the funds do not have a sustainable investment objective, have not opted for principal negative impacts (PAI) on sustainability factors and therefore do not report negative impact indicators on sustainability factors.
Please note that a significant part of carried is linked to the achievement of extra-financial objectives.
At 12/31/2024, please note that as Aquiti Gestion is below the thresholds of the SFDR Directive (article 4), the management company is not required to declare PAIs.
Warning
Aquiti Gestion reminds investors that its funds are not capital-guaranteed, that they entail risks of capital loss and particular risks associated with companies not listed on regulated markets, and that they are subject to a long lock-up period (approximately 8/10 years). Past performance is no guarantee of future results.
Whistleblowing
Although Aquiti Gestion is not subject to the “Sapin 2” law, it has taken measures to combat corruption.
Knowing that a whistleblowing system helps to spread a culture of ethics and compliance within a company and to increase transparency in the management of a company's activities, Aquiti Gestion has set up its own whistleblowing system to make the reports provided for below:
- Offences which include corruption, violation of laws and regulations, non-compliance with ethical standards;
- Discrimination and harassment in the workplace, including, but not limited to, with regard to gender equality policies;
- Risks or dangers to which employees may be exposed, where applicable;
- Major environmental incidents;
- Misuse of personal data;
- Behavior or irregularities to the detriment of Aquiti Gestion.
In this context, please do not hesitate to contact the following address: whistleblowing@aquiti.fr