Information Duties (DL 81-C/2017 of 7 July)
{franchisee_legal_name}, with NIPC {franchisee_vat_number}, with its registered office at {franchisee_headquarters_location}, is registered with the Bank of Portugal and carries out the activity of Credit Intermediation in accordance with the requirements established by Decree-Law 81-C/2017 of 7 July.
This document complies with Article 53(1) of the aforementioned law, Duties of Information. It is therefore stated that:
| Contact |
E -mail: {franchisee_responsible_email} Telephone: {franchisee_responsible_phone} |
|---|---|
| Bank of Portugal Registration Number | {franchisee_record_number_pt_bank} |
| Address of establishment | {franchisee_establishment_location} |
| Verification of Registration with the Bank of Portugal | {franchisee_record_url_pt_bank} |
| Category of Credit Intermediary | {franchisee_category_label} |
| Credit Institutions with whom it has a binding agreement | {franchisee_partners} |
| Credit Intermediation Services authorised by Banco de Portugal |
Services related to Mortgage Credit and Consumer Credit, namely: {franchisee_services} |
| SRC Mortgage Credit policy number and validity Policy |
Policy – {franchisee_policy_number_accs} Validity – from {franchisee_policy_validity_from_accs} to {franchisee_policy_validity_to_accs} |
| SRC Consumer Credit policy number and validity Policy |
Policy – {franchisee_policy_number_accs} Validity – from {franchisee_policy_validity_from_accs} to {franchisee_policy_validity_to_accs} |
| Total restriction on receiving amounts | Under no circumstances may {franchisee_legal_name} receive any amounts from consumers that are related to the establishment, execution and early fulfilment of loan agreements, under the terms of article 46 of the aforementioned legislation: Decree-Law 81-C/2017 of 7 July. |
| Supervisory body for the credit intermediation activity to which MAXFINANCE is subject | Bank of Portugal |
| Dispute Resolution Centres | {franchisee_resolution_centers} |
| Make Claims | www.livroreclamacoes.pt |