Regulatory Information

Deutsche Bank executes transactions in securities and other financial instruments on the basis of our principles for the execution of orders in financial instruments (hereinafter the “Order Execution Policy”).

 

The Order Execution Policy determines the execution channels and potential execution venues. The objective is to consistently achieve the best possible results for our clients and for the relevant types of financial instruments. Therefore, we take into account the price, costs, speed, likelihood of execution and settlement, size, nature, or any other consideration relevant to order execution.

 

To increase transparency related to executing client orders on trading venues, Deutsche Bank will summarize and make public on an annual basis the top five execution venues in terms of trading volumes. This is done on the basis of executed client orders in the preceding year and information on the quality of the execution obtained.

MiFID II EMEA 

 

MiFID II EMEA Order Execution Policy

 

MiFID II Top 5 Venue Report (DB Suisse)
Retail clients (csv) Professional clients (csv) Accompanying text (pdf)

 

MiFID II Top 5 Venue Report (DBUK Bank Limited)
Retail clients (csv) Accompanying text (pdf)

MiFID II Top 5 Venue Report (DB Luxembourg)
Retail clients (csv) Professional clients (csv) Accompanying text (pdf)