*
plan & budget 2003/04
for the year ending 31 March 2004
*
*
contents
* Foreword by the chairman
chapter
1
executive summary
2
performance in the year 2002/03
3
business plans
4
complaint trends
5
productivity, timeliness and service quality
6
budget 2003/04
7
tariff and case fee information
 
appendix
A
pdf version compulsory jurisdiction
- general levy table
B
compulsory jurisdiction
- case fee table
C
voluntary jurisdiction
- levy tariff and case fees
 

 

complaint trends

new complaints
4.1

The difficulties involved in predicting numbers and patterns when forecasting new complaints are universally accepted. The number of complaints brought to the ombudsman service is affected by many different factors, including consumer experience and behaviour, product performance, the conduct of firms and the way in which firms deal with complaints.

 

4.2

Anecdotal evidence suggests that consumers in general are far more likely to voice their grievances than they were – say – twenty years ago. However, we need to look for more concrete factors when we forecast the likely levels of complaints reaching us.

The external issues that may impact on the level of complaints for the remainder of this year (2002/03) and the year ahead include:

a) mortgage endowments
It is certain that there will be a significant increase in mortgage endowment complaints to the ombudsman service, although exactly when it will reach us and how large it will be is less easy to predict.

Insurance companies have begun sending out ‘re-projection letters’ to their mortgage endowment policyholders, and they will need to complete this before the summer of 2003. This is not likely to impact on our service until some months after policyholders receive their letters.

It seems very likely that these letters will reveal greater shortfalls than before, leading to more complaints. In addition, fears about the potential impact of a time bar may drive larger numbers of customers to complain to us – at an earlier stage – than might otherwise be the case.

b) falling stock markets
Major falls in the market tend to uncover instances of mis-selling that a more benign environment would conceal. We expect investment complaints generally to rise quite substantially.

c) market-linked bonds
The small number of complaints that we are beginning to see in this area could increase as more of these bonds reach maturity.

d) split capital investment trusts
We have received over 1,700 complaints relating to split capital investment trusts and there is potential for more.

e) insurance and mortgage intermediaries
During 2003 we will extend our jurisdiction to these groups of firms on a voluntary basis, in advance of the likely extension to our compulsory jurisdiction in 2004. However, we do not expect this to have a significant impact on our overall figures during 2002/03.

f) improved complaint-handling by firms
Full compliance with the FSA’s complaint-handling regime remains patchy, and the sheer volume of complaints can put severe pressure on firms’ complaints-handling capabilities. However, the new complaint-handling rules should continue to improve firms’ performance in dealing with complaints, reducing the number of cases that might otherwise escalate and be referred to us.

g) ‘wider implications’ cases
We have put arrangements in place with the FSA for identifying cases that have more wide-ranging regulatory implications and might be susceptible to a regulatory solution.

h) complaints about dual variable mortgage rates
We are assuming that we are unlikely to see a recurrence of the surge of complaints we received in 2002, following the introduction by some lenders of dual variable mortgage rates.

 

4.3

Matching these factors against what we see as underlying trends, and taking into account both historical patterns and an overall ‘sensitivity check’, our 'base' case assumption is that in 2003/04 we will receive 55,000 new complaints, a similar number to that forecast for this year. For our ‘sensitivity check’ we have modelled the scenarios of a 10% decrease or a 10% increase on our ‘base’ case assumption.

 

customer contact division
4.4

Each week our initial contact point, the customer contact division, receives and deals with an average of 5,000 calls and 1,400 written communications from new customers. Approximately 1,100 of these initial contacts per week result in our needing to investigate the customer’s complaint. The division accounts for 15% of budgeted staff numbers and 10% of staffing costs.

We estimate that our emphasis on early complaint prevention (either by providing initial information to the customer, over the phone, or by contacting the firm) means that some 1,000 contacts every week are resolved without being formally referred to us as a complaint against a firm.

The general information we provide may also help a proportion of callers to avoid altogether the need to take up a complaint with a firm. We find that some of the customers who contact us direct about a ‘complaint’ may, for example, simply need reassurance about basic points of general procedure, or an explanation that matters such as a fall in the value of the stock market are not, in themselves, cause for complaint.

 

4.5

Up to the end of December 2002 we had received 190,000 telephone calls and 56,000 written complaints. We expect to have received 260,000 telephone calls and 70,000 new written enquiries by the end of March 2003.

9 months
actual
2002/03
12 months
forecast
2002/03
12 months
budget
2003/04
calls to our customer contact division phone number (0845 080 1800)
190,000
260,000
260,000
new written enquiries
56,000
70,000
67,000
total
246,000
330,000
327,000

 

4.6

The number of new complaints is increasing, but call volumes and written enquiries have remained stable. This is probably because growing numbers of consumers are visiting our website (www.financial-ombudsman.org.uk). The website now receives up to two thousand visits a day.

From the initial third of a million calls and enquiries we receive, we expect that only 55,000 will become new complaints for us to deal with (as ‘chargeable cases’). Our business process tries to ensure that as many enquiries as possible are resolved before they become new complaints.

 

4.7

We continue to invest in the training of our consumer consultants, with the aim of ensuring that they are all able to deal with enquiries about complaints involving the full range of financial services.

 

4.8

We use a software package that helps us maximise efficiency by allocating and switching staff resources between answering calls and dealing with post.

 

new complaints analysis
4.9

An analysis of new complaints by major product type is as follows:

product
actual 2001/02
forecast 2002/03
budget 2003/04
dual variable rate mortgages
575
6,200
0
endowment policies linked to mortgages
14,595
10,500
16,000
personal pension plans
5,881
6,000
6,000
non mortgage-linked endowments/whole-of-life policies
3,647
3,400
3,500
mortgage loans
3,301
2,900
3,400
motor insurance
1,609
2,400
2,400
single premium investment bond
362
1,700
2,500
split capital investment trusts
0
2,000
3,000
current accounts
1,280
1,400
1,500
savings accounts
1,230
1,300
1,500
buildings insurance
985
1,250
1,250
travel insurance
884
1,000
1,000
other banking products
1,642
3,300
3,500
other insurance products
3,277
4,850
4,850
other investment products
4,062
6,800
4,600
total
43,330
55,000
55,000

 

conclusion
4.10 Given the difficulties of forecasting complaint volumes, we are assuming that we will receive a similar number of complaints in 2003/04 to the number received in 2002/03. However, we have modelled two alternative scenarios – a 10% increase and a 10% decrease in complaint volumes.

 

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