Capital Market Compliance Without Pitfalls: 5 Common Mistakes – and How to Avoid Them
📉 Capital Market Compliance Without Pitfalls: 5 Common Mistakes – and How to Avoid Them
Capital market compliance is not a static set of rules but a dynamic playing field. With each new directive, each regulatory tightening, and each BaFin audit, your area of responsibility grows. But that’s exactly where the pitfalls lurk.
In this article, I show you 5 common mistakes that many companies make when implementing WpHG, MiFID II, MaComp, and MAR – and how you can specifically avoid them.
Only with a robust supervisory system can you remain compliant, audit-proof, and free of liability.

📍 Compact Capital Market Compliance
❗ Common Mistakes:
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Gaps in suitability assessment & target market
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Unclear MAR and insider processes
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Responsibilities not clearly defined
 
✅ How to do it right:
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Structurally document ESG preferences
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Clearly define product governance
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Set up practical control systems & training
 
🎓 Recommendation:
❶ Missing or Incomplete Suitability Assessment
The obligation for a suitability assessment according to § 64 WpHG in conjunction with Art. 54, 55 MiFID II-DelGO is not a mere formality.
It is one of the central audit subjects – and one of the most common weak points in internal audits.
❌ Common Mistakes:
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ESG preferences are not collected or inadequately documented
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Customer data is not regularly updated
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Advisory documentation is not clearly linked to the product recommendation
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One-time queries are not systematically processed further
 
✅ How to avoid this mistake:
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Use a standardized ESG questionnaire model and link it to the target market
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Implement an automated reminder system to update customer data
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Document the advisory process, including product choice, alternatives, and rejections, completely
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Use templates from the S+P Tool Box for suitability testing – including ESG integration
 
❷ Target Market Definition Without Reliable Product Governance
MiFID II requires you to create a target market definition for each financial instrument – before you distribute the product.
Nevertheless, many institutes lack a clean product governance process.
❌ Common Mistakes:
- 
Target market assessments are carried out post-hoc or only once
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Documentation is not standardized – no comparability or traceability
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ESG factors are not integrated into the target market assessment
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Sales team receives no clear instructions regarding target market compliance
 
✅ How to avoid this mistake:
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Develop an internal product governance framework with clear responsibilities and approval processes
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Use templates and checklists from the S+P Tool Box to define target markets in a comprehensible and standardized way
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Integrate ESG elements into the product approval process
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Document and control the sales execution regularly – including feedback loops
 
❸ Insider Law & MAR: Processes Are Unclear or Incomplete
The Market Abuse Regulation (MAR) has long been established supervisory practice. Yet many institutes struggle with inadequate market monitoring processes.
❌ Common Mistakes:
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Insider lists are incomplete, outdated, or missing entirely
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Market surveillance is performed manually or not at all
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Ad-hoc disclosure obligations are not documented or clearly allocated
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Reports to BaFin are made late or inadequately
 
✅ How to avoid this mistake:
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Create structured and regularly maintained insider lists according to MAR guidelines
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Define clear processes for market surveillance and suspicion reporting – including thresholds and action obligations
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Use reporting forms and schedules from the S+P Tool Box
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Regularly train your employees – particularly in recognizing and distinguishing insider information
 
❹ Unclear Responsibilities and Interfaces
WpHG compliance is teamwork – and this is exactly where the risk lies.
If the responsibilities between compliance function, sales, ESG office, and management are not clearly regulated, gray areas arise.
❌ Common Mistakes:
- 
The single officer is not officially named or without a clear job description
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The sales representative works without a control plan or reporting obligations
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Compliance controls but without feedback to the departments
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ESG integration remains a parallel project without connection to the target market and advisory system
 
✅ How to avoid this mistake:
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Define responsibilities in writing – e.g., with an organizational compliance manual
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Create a control and action plan with regular reports for the sales representative
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Integrate the ESG office as a cross-cutting function – especially for product approvals and target market analysis
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Use role and process plans from the S+P Seminar Capital Market Compliance Officer to clearly structure responsibilities
 
❺ Lack of Practical Relevance in Training & Controls
Compliance lives on comprehension – not on reading paragraphs.
Nevertheless, training is often conveyed too dryly, controls are formalistic and lose their usefulness.
❌ Common Mistakes:
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Training only addresses theory without referring to the specific work situation
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ESG training is not aligned with sales or target market assessment
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Controls are carried out sporadically but without systematic feedback or evaluation
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Lessons learned from audits or suspicions are not prepared
 
✅ How to avoid this mistake:
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Use case studies and real situations from the capital market business in your training
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Integrate ESG topics into target market, sales, and product workshops
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Utilize feedback loops from the internal audit and prepare them visually for compliance teams
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Use the case studies from the S+P Seminar Capital Market Compliance Officer as a basis for your own training units
 
🎓 Your Next Step: Practice Instead of PowerPoint
Do you want to avoid the mentioned mistakes, simplify processes, and set up your institution in an audit-proof way?
Then the S+P Seminar Capital Market Compliance Officer – WpHG & MiFID II in Practice is just right for you.
You will learn:
Fulfill duties as a WpHG Officer according to § 80 WpHG & MaComp
Implement suitability testing including ESG preferences professionally
Document and manage product approval and target market assessment
Anchor insider lists, ad-hoc reports & market surveillance according to MAR
And the best part: You receive a certificate + digital badge – for your resume, LinkedIn, and the next audit.
👉 Directly to the seminar:
🔗 S+P Seminar Capital Market Compliance Officer
📍 Conclusion
Capital market compliance today requires more than checklists. It’s about a deep understanding of regulatory requirements, their practical implementation, and the regular comparison with reality.
Avoid the five most common mistakes – and use tools that make your work easier. Because a good compliance system not only protects your company but also you personally.