Description of our approach for our discretionary management
This obligation applies to most of our "Core strategy", "Multi-funds", "Conviction mandate" and "Personalised" discretionary management mandates, which in most cases are products covered by Article 8 of the SFDR Regulation.
As each client may have their own sustainability preferences in the context of MiFID II, Degroof Petercam is not in a position, and is not authorized for confidentiality reasons, to provide more detailed information on the website for each mandate.
Consequently, the information below is limited to a description of our overall approach to discretionary management. Please refer to the pre-contractual information and SFDR reporting sent to you by Degroof Petercam, which provide specific information about your managed portfolio.