Refinitiv Transaction Services Limited

Reference number: 206017

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Authorised by the FCA

This firm is on the FCA register and authorised to carry out regulated activities.

Identity

Check their details

Compare these against whatever you were given. Scammers clone real firm names and reference numbers but use their own phone number and website, so a detail that does not match the register is the clearest warning sign there is.

  • Verified phone number

    020 7797 1000

  • Verified address

    The London Stock Exchange plc, The London Stock Exchange, 10 Paternoster Square, London, City Of London, EC4M 7LS, United Kingdom

Also trades as
  • LSEG FX

Company details

From the company's Companies House record.

Company number
02089076
Company status
Active
Company type
Private limited company
Incorporated
13 January 1987 (39 years old)
Registered office
Five Canada Square, Canary Wharf, London, E14 5AQ, England
Nature of business
  • Financial intermediation not elsewhere classified (SIC 64999)
  • Activities auxiliary to financial intermediation not elsewhere classified (SIC 66190)

Current directors and secretaries

Name Role Born Appointed
Bart Paul Charles Joris Director Aug 1974 22 Mar 2019
Christopher Leonard-Appleton Director Apr 1983 1 Oct 2021
Jonathan Charles William George Director Sep 1971 11 Apr 2022
Simon Clive Jones Director Oct 1976 27 Mar 2025
Carla O'Hanlon Secretary Not published 3 Oct 2024

Activities and protection

What they can do, and how you are protected

  • Manage or trade investments FSCS may apply
    Eligible investment and pension claims are typically FSCS-protected up to £85,000 per person, depending on the product and your circumstances.
Show FCA detail (3 permissions)
  • Arranging (bringing about) deals in investments
  • Making arrangements with a view to transactions in investments
  • Operating a Multilateral Trading Facility (MTF)

Limits on what they may do

  • 1 Fair and orderly trading
    1 Fair and orderly trading The firm must, in relation to the operation of an ATS, have appropriate arrangements in place designed to ensure: (a) efficient pricing and the equitable treatment of users; (b) a trading methodology that enables fair and orderly trading; and (c) that sufficient information about quotes, orders and completed transactions is made available to users.
  • 2 Timing of publication
    2 Timing of publication (1) For the purposes of requirement 1, information about quotes, orders and transactions should be made available in a timely manner. In particular, information should be made available to users close to the time when the quote or order is given or the transaction is executed. Information may be made available to persons other than users with a reasonable delay. (2) The firm may make information about a large order, quote or transaction available to users under requirement 1 at a time later than that specified in (1), but only to the extent reasonably necessary to protect the interests of the relevant user who placed the order, gave the quote or executed the transaction.
  • 4 Meaning of "appropriate arrangements"
    4 Meaning of appropriate arrangements In requirements 1 and 3, appropriate means appropriate having regard to the nature of the system, the nature and liquidity of investments traded on the system, the experience of users, the extent to which the wider market in the particular investment involves private customers, and the significance of the system in the overall market for the investment and, also in relation to requirement 5, the susceptibility of the investment traded to market abuse.
  • 5 Access to sufficient publicly available info
    5 Access to sufficient publicly available information (1) The firm must, in relation to the operation of an ATS, provide, or be reasonably satisfied that there is publicly available, sufficient information to enable users who are customers to make a reasonably informed judgement about the value of each investment traded on the system and the risks associated with that investment. (2) In (1), sufficient means sufficient taking into account the nature and experience of users of the system who are customers and the type of investment traded on the system. (3) For the purposes of (1), if an investment is admitted to trading on an RIE, a regulated market or an EEA commodities market (and is not suspended from trading on the RIE or market), the firm may be reasonably satisfied that there is publicly available sufficient information about that investment to enable users who are customers to make a reasonably informed judgement about the investment.
  • 6 Interpretation
    6 Interpretation An expression in these requirements which is defined in the Glossary forming part of the Financial Services Authority's Handbook of rules and guidance has the same meaning in these requirements.
  • 3 Monitoring of trading
    3 Monitoring of trading (1) The firm must, in relation to the operation of an ATS: (a) have appropriate arrangements in place that enable it to monitor transactions undertaken on the ATS to identify suspected breaches of any rules relating to fair and orderly trading on the ATS and conduct that may constitute market abuse; (b) report suspected material breaches of its rules relating to fair and orderly trading on the ATS or suspected market abuse to the FSA and other appropriate organisations; and (c) supply relevant information to the FSA as soon as practicable regarding the suspected breaches or suspected market abuse and provide full assistance to the FSA in investigating the suspected breach or suspected market abuse. (2) The functions referred to in (1) may be performed by the firm itself or by another person (such as the operator of a regulated market for the particular investment) under a formal arrangement with the firm. (3) In (1), rules includes protocols, procedures or terms of, or established under, any agreement between the firm and a user.

Complaints: You can refer a complaint about this firm to the Financial Ombudsman Service for free, whichever activity it relates to.

Track record

FCA actions and complaints

No FCA disciplinary action, and no complaints recorded with the Ombudsman.

Previously registered as

The FCA register holds one earlier registered name for this firm. A registered name changes when a firm rebrands, and a partnership's changes whenever its partners do.

  • Reuters Transaction Services Limited

Names it no longer trades under

This firm has retired one trading name. If you were contacted under one of these, the name did belong to this firm, but check the current details above before going ahead.

Show the retired name
  • Refinitiv

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Common questions

Frequently asked questions

Is Refinitiv Transaction Services Limited FCA authorised?
Yes, Refinitiv Transaction Services Limited (FRN 206017) is authorised by the FCA to carry out regulated activities.
Is my money safe with Refinitiv Transaction Services?
It depends on the product, but eligible claims may be protected by the FSCS. You can also refer complaints about Refinitiv Transaction Services to the Financial Ombudsman Service, free of charge.
Is Refinitiv Transaction Services a scam or clone?
Refinitiv Transaction Services is a genuine FCA-listed firm. However, scammers sometimes clone authorised firms. Always check that the contact details you were given match those on the FCA register before sending money or sharing information.
What is Refinitiv Transaction Services's Firm Reference Number (FRN)?
Refinitiv Transaction Services's FRN is 206017. You can verify it on the FCA register.